11493 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 MONDAY, MAY 23, 2005 20 21 8:30 A.M. 22 23 (PAGES 11493 THROUGH 11539) 24 25 26 27 REPORTED MICHELE MATTSON McNEIL, RPR, CRR, CSR #3304 28 BY: Official Court Reporter 11493 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 The Interpreter: Rose O’Neill 21 22 23 24 25 26 27 28 11494 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 DEFENDANT’S 10 WITNESSES DIRECT CROSS REDIRECT RECROSS 11 GOMEZ, Maria 12 (Re-called) 11497-SA 11503-SN 11508-SA 13 RADAKOVICH, Mike 11512-SA 11530-A 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 11495 1 E X H I B I T S 2 FOR IN DEFENDANT’S NO. DESCRIPTION I.D. EVID. 3 5097 Washington Mutual Bank 4 statement, 12-22-00 through 1-25-01 11513 11525 5 5098 Washington Mutual Bank 6 Check payable to Hollywood Ford 11513 11525 7 5099 Check from Michael Alder 8 payable to Janet Arvizo 11519 11525 9 5100 1-2-03 City of Los Angeles check payable to 10 Janet Arvizo 11522 11525 11 5101 $637 check dated 1-2-03 payable to Raymond 12 Trujillo from Jay D. Jackson 11522 11525 13 5102 2-15-03 City of Los 14 Angeles check payable to Janet Arvizo 11522 11525 15 5103 2-25-03 check payable to 16 Raymond Trujillo from Jay D. Jackson 11522 11525 17 5104 3-17-03 City of Los 18 Angeles check payable to Janet Arvizo 11522 11525 19 5105 Analysis of certain 20 financial transactions of Arvizo family, June 15, 21 2000, to present 11512 22 23 24 25 26 27 28 11496 1 Santa Maria, California 2 Monday, May 23, 2005 3 8:30 a.m. 4 5 THE COURT: Good morning, everyone. 6 THE JURY: (In unison) Good morning. 7 COUNSEL AT COUNSEL TABLE: (In unison) 8 Good morning, Your Honor. 9 THE COURT: Call your next witness, please. 10 MR. SANGER: We would call Maria Gomez back 11 to the stand, please. 12 THE COURT: All right. Come forward to the 13 witness stand. You’re still under oath, so when you 14 get to the witness stand, you may be seated. 15 MR. SANGER: May I proceed, Your Honor? 16 THE COURT: You may. 17 18 MARIA GOMEZ 19 Having been previously sworn, resumed the 20 stand and testified further as follows: 21 22 DIRECT EXAMINATION 23 BY MR. SANGER: 24 Q. Okay. Miss Gomez, we’ve called you back to 25 the stand to ask you more questions. First of all, 26 did you participate in a test of the bells at 27 Neverland outside Mr. Jackson’s private suite? 28 A. Yes. 11497 1 Q. And first of all, remind us how long you’ve 2 worked out there at Neverland. 3 A. I have worked there nearly 11 years. 4 Q. And when was the first time you went down 5 that hallway and heard the bells go off? 6 A. When the first time was? 7 Q. Sure. About how many months or years ago 8 was that when you first heard those bells go off? 9 A. Oh, many years ago. 10 Q. Okay. And it would have been before 11 February of 2003; is that correct? 12 A. Yes. 13 Q. Okay. And has the -- excuse me one second. 14 At the time you did this alarm test, or 15 this -- let me withdraw that, I’m sorry. At the 16 time you did this test with Mr. Nimmer where you 17 walked in and out, do you remember that? 18 A. Yes, that was about, I don’t know exactly, 19 but just a few days ago. 20 Q. Okay. Sometime this year, correct? 21 A. Yes. 22 Q. When you heard the bells at that time, is 23 that what the bells have always sounded like over 24 the last few years? 25 A. Yes. 26 MR. SANGER: Your Honor, I’d like to have 27 permission to play the -- Exhibit 5096. It’s the 28 short one, if that’s all right. 11498 1 THE COURT: All right. 2 MR. SANGER: I can’t find the remote 3 control. Do you see it? 4 Oh, here it is. Thank you. 5 Q. Miss Gomez, we’re going to play 5096 and I’m 6 just going to ask you to watch it and see if you 7 recognize yourself in there and recognize what was 8 going on, and then I’m going to ask you some 9 questions about it after it’s over, okay? 10 A. Fine. 11 (Whereupon, a portion of a DVD, Defendant’s 12 Exhibit 5096, was played for the Court and jury.) 13 MR. SANGER: With the Court’s permission, 14 I’m going to stop it after the first test to ask 15 some questions. 16 THE COURT: All right. 17 Q. BY MR. SANGER: Okay. Miss Gomez, you 18 recognize yourself in that film? 19 A. Yes. 20 Q. All right. And you remember Mr. Nimmer, the 21 man who was shooting this? 22 A. Yes. 23 Q. What were you asked to do in that particular 24 test? 25 A. I was supposed to walk outside to a -- like 26 a hallway that’s right in front of the house, and 27 that I should walk all the way in to the room, 28 passing by the doors. I had to punch in the code 11499 1 and then I could open the door. 2 Q. Okay. So when you -- when you went out, you 3 went all the way down the hallway to the end of the 4 hallway that’s near the front door; is that right? 5 A. Yes. Outside of the house, yes. 6 Q. All right. So did you actually go out of 7 the hallway into the front door area? 8 A. Yes. 9 Q. Now, do you know anything about the 10 technology of how this alarm system is set up? 11 A. No. No, I don’t know anything about that. 12 Q. Is there some point when you’re walking down 13 the hall that it makes the bell ring? 14 A. Yes, when you reach about halfway down the 15 hallway, it begins to ring. 16 Q. All right. And then it continues to ring 17 for a number of rings; is that right? 18 A. It will stop for a few moments and then when 19 you arrive at the door, I don’t know if it’s 20 stepping into the lift or -- it begins again. 21 Q. All right. Now, the sound that you heard on 22 that tape, is that the sound of the alarm that you 23 have heard for the last few years? 24 A. Yes. 25 Q. Are there any changes to it that you know 26 of? 27 A. No. 28 MR. SANGER: All right. I’m going to resume 11500 1 playing this, if it’s all right, Your Honor. 2 THE COURT: Yes. 3 (Whereupon, a portion of a DVD, Defendant’s 4 Exhibit 5096, was played for the Court and jury.) 5 MR. SANGER: Let me just pause it right 6 there. 7 Q. There’s a door down at the bottom of the 8 stairway there. 9 A. Yes. 10 Q. All right. And the door appears to be open 11 right now; is that correct? 12 A. Yes. 13 Q. Okay. Did you do a test where you left that 14 door open? 15 A. Once. 16 Q. Okay. And then the second time you closed 17 the door; is that right? 18 A. When I went out, I closed it. 19 MR. SANGER: All right. And I’m going to 20 resume playing. 21 (Whereupon, a portion of a DVD, Defendant’s 22 Exhibit 5096, was played for the Court and jury.) 23 Q. BY MR. SANGER: Okay. I’m going to pause it 24 right there on the blank screen. 25 And for that test, you went down the stairs, 26 correct? 27 A. Yes. 28 Q. You went out the door, we could see, at the 11501 1 bottom of the stairs? 2 A. Yes. 3 Q. And then you went out the main door to Mr. 4 Jackson’s suite? 5 A. Yes, it’s all in the same process. I went 6 all the way out. 7 Q. So then you went all the way down the hall, 8 out the end of the hall, turned around and walked 9 back; is that right? 10 A. Yes. 11 Q. All right. And you could hear the bell in 12 that tape, correct? 13 A. Yes. 14 Q. Okay. And that’s the same bell that you’ve 15 heard for years; is that right? 16 A. It’s the same -- it’s the same bell. 17 MR. SANGER: All right. Okay. And then 18 we’ll resume, if we may. 19 (Whereupon, a portion of a DVD, Defendant’s 20 Exhibit 5096, was played for the Court and jury.) 21 MR. SANGER: All right. Thank you. 22 Q. On that last test, you did the very same 23 thing that you did the time before except you closed 24 the door at the bottom; is that right? 25 A. Yes, that’s the only different thing. 26 Q. All right. And let me ask you, did you do 27 this a whole bunch of times or did you just do it 28 these three times? 11502 1 A. I did it, not very many times, but.... 2 Q. So when -- I’m talking about when they 3 filmed it. Did Mr. Nimmer film it more than three 4 times or he just had you do the three tests and he 5 filmed what you did? 6 A. He filmed it -- well, the first one he did 7 it once, the first time. And then the other times, 8 like when I went up to the room, since he did two 9 different tests, perhaps he taped more than one. 10 Q. Okay. So he did the first one, the second 11 one and the third one? 12 A. Yes. Yes. 13 MR. SANGER: All right. Okay. I have no 14 further questions. Thank you. 15 16 CROSS-EXAMINATION 17 BY MR. SNEDDON: 18 Q. Good morning. 19 A. Good morning. 20 Q. How many times did you go up and down the 21 stairs? 22 A. I cannot recall, but at that I did do more. 23 Three or four times. 24 Q. So we saw two times on the film, correct? 25 A. Yes. 26 Q. But there were other times that did not 27 appear on the film? 28 A. Maybe one or two times, I believe. 11503 1 Q. In each time you walked out of the doors of 2 the room, you walked all the way to the end of the 3 hallway, correct? 4 A. Yes. 5 Q. And then you turned around -- you went 6 through the doors, correct? 7 A. Yes. 8 Q. And you turned around and came right back, 9 correct? 10 A. Yes. 11 Q. So in each of the occasions that we saw on 12 the film, you did exactly the same thing? 13 A. In the first -- the first test, I just got 14 to the point and then returned. And then when I 15 went up the stairs to the room, I waited -- I 16 counted to about 15 and then I repeated the process. 17 I came back. 18 Q. And where was it that you counted to 15? 19 A. In front of the main doorway. 20 Q. So you go all the way out, count to 15, and 21 then come back? 22 A. Yes. 23 Q. The chimes that go off, you can hear them 24 when you go through the first door to begin your 25 route down the hallway, correct? 26 A. What do you mean, when you’re just about to 27 go in? 28 Q. Okay. You’re outside of the hallway to Mr. 11504 1 Jackson’s room, near the entrance of the front door 2 of the house, correct? 3 A. I am inside the house by the doorway to the 4 main residence. 5 Q. Correct. And you’re going to go through the 6 first set of doors heading towards Mr. Jackson’s 7 bedroom? 8 A. Yes. 9 Q. And when you go through those doors the 10 bells, the chimes, go off, correct? 11 A. When you reach about halfway down the hall. 12 Q. And then they stop -- well, and then the 13 second set of chimes goes off right before you get 14 to Mr. Jackson’s door to his bedroom? 15 A. When you go in the doorway, the door to his 16 room, then they begin to sound. 17 Q. For the second time? 18 A. Yes. I don’t know if it’s because you’re 19 standing by the lift or when you press the code or 20 what it is. 21 Q. Now, during the year -- during the time of 22 February and March of 2003, were you responsible for 23 cleaning Mr. Jackson’s room? 24 A. No. 25 Q. During February and March of 2003, did you 26 go into Mr. Jackson’s room for any reason? 27 A. No. 28 Q. In -- were you at work the day that the 11505 1 sheriff’s deputies came to the ranch and executed 2 the search warrant? 3 A. Yes. 4 Q. And that was November of 2003, correct? 5 A. Yes. 6 Q. And at that time were you responsible for 7 cleaning Mr. Jackson’s room? 8 A. No. 9 Q. Had you gone into Mr. Jackson’s room during 10 2003 at all? 11 A. No. 12 Q. In 2004, the next year - okay? -- 13 A. Yes. 14 Q. -- were you responsible for cleaning Mr. 15 Jackson’s room at that time? 16 A. I have never been in that position. 17 Q. And during 2004, did you ever go into Mr. 18 Jackson’s bedroom? 19 A. Perhaps. 20 Q. Do you remember -- let’s go back to 2003. 21 Do you remember during 2003 whether both of those 22 chimes were working? 23 A. Yes. 24 Q. And if you didn’t go into Mr. Jackson’s 25 bedroom during that time, what were you doing going 26 down the hallway? 27 MR. SANGER: Objection. Argumentative as 28 phrased. 11506 1 THE COURT: Overruled. 2 You may answer. 3 THE WITNESS: Could you repeat that again? 4 Q. BY MR. SNEDDON: Yes. You told the jury 5 that during 2003, you did not go into Mr. Jackson’s 6 bedroom. 7 A. Yes. 8 Q. And I’m asking you, if you did not go into 9 his bedroom, why would you be in the hallway leading 10 to his bedroom? 11 A. There is a bathroom in that hallway. 12 Q. Okay. 13 A. And that hallway is our responsibility to 14 clean. And then -- and then when one is walking in 15 that hallway, you will hear the chimes. 16 Q. Okay. That’s what I wanted to get to. 17 Now, during 2003 you did clean that 18 bathroom, correct? 19 A. Yes. 20 Q. And when you do that, the alarm only goes 21 off once, correct, when you go through the first set 22 of doors? 23 MR. SANGER: Objection. Misstates the 24 evidence and compound. 25 THE COURT: Overruled. 26 THE WITNESS: It -- it rings -- I don’t 27 know. It will ring and then it stops. 28 Q. BY MR. SNEDDON: During 2003, in November, 11507 1 when the sheriff’s deputies came to Mr. Jackson’s 2 ranch, is it your testimony that the alarm through 3 the first set of doors was working? 4 A. Yes. 5 Q. And in December of 2004, do you recall 6 sheriff’s deputies coming back to Mr. Jackson’s main 7 residence on another occasion? 8 A. Yes. 9 Q. And you were there? 10 A. Yes. 11 Q. And is it your testimony that the chimes at 12 the first set of doors were working during December 13 of 2004? 14 A. Yes. 15 MR. SNEDDON: All right. Nothing further. 16 17 REDIRECT EXAMINATION 18 BY MR. SANGER: 19 Q. I believe you said that the alarm goes off 20 the first time when you’re just about the middle of 21 the hallway; is that correct? 22 A. Yes. 23 Q. And this is a hallway that has a lot of 24 stuff in it; is that right? 25 A. Yes. 26 Q. Okay. And you need to dust and clean in 27 there; is that correct? 28 A. Yes, we are responsible for that place. 11508 1 Q. All right. So aside from the bathroom 2 that’s off that hallway, you need to go down the 3 hallway to Mr. Jackson’s door and dust and do 4 things, right? 5 A. Yes. 6 Q. So the alarm that we heard is the same alarm 7 that you’ve heard for years in that hallway; is that 8 right? 9 A. Yes. 10 Q. Okay. And you were just asked by Mr. Nimmer 11 to help him by walking, right? 12 A. Yes. 13 Q. This was not your idea to be in this, was 14 it? 15 A. Oh, no. No, no. 16 MR. SANGER: All right. Your Honor, what 17 I’d like to do is play Exhibit 345, which is already 18 in evidence, and this was the People’s version of 19 the alarm that they taped on November 18, 2003. 20 THE COURT: All right. 21 MR. SANGER: If I may play that. 22 I’m going to play that in one second, and 23 when I do, I’m simply going to ask that you watch 24 this and then -- I’ll play this one all the way 25 through. It’s very short. And when we get through 26 playing it, then I’ll ask you a few questions about 27 it, okay? And I don’t believe you were there at the 28 time, so I’m just going to ask you to watch it. 11509 1 (Whereupon, a DVD, Plaintiff’s Exhibit 345, 2 was played for the Court and jury.) 3 Q. BY MR. SANGER: Okay. Now, that’s a very 4 short film there, and we don’t know exactly where 5 the cameraman was on that picture. Did you hear a 6 bell in that? 7 A. Yes. 8 Q. Was that the first bell or the second bell; 9 do you know? 10 A. The second bell. 11 Q. All right. So the first bell would have 12 already gone off from somebody going through the 13 middle of the hallway? 14 MR. SNEDDON: Object. Calls for a 15 conclusion and speculation as to that point in time. 16 THE COURT: Sustained. 17 Q. BY MR. SANGER: All right. Did you hear the 18 bell that goes off when you go through the middle of 19 the hallway in that tape? 20 A. I wasn’t present at that time. 21 MR. SANGER: Okay. All right. Okay. I 22 have no further questions. 23 MR. SNEDDON: No questions, Your Honor. 24 THE COURT: All right. Thank you. You may 25 step down. 26 Call your next witness. 27 MR. SANGER: Can I just have one second, 28 Your Honor? 11510 1 (Off-the-record discussion held at counsel 2 table.) 3 MR. AUCHINCLOSS: May we approach, Your 4 Honor? 5 THE COURT: Yes. 6 (Discussion held off the record at sidebar.) 7 MR. SANGER: All right. My apologies, Your 8 Honor. As the Court knows, we’re all getting down 9 to the end here, so we’ve got a few details to work 10 out. 11 We would call Mr. Radakovich, whose name I 12 probably mispronounced. I apologize in advance. 13 THE COURT: Come forward, please. When you 14 get to the witness stand, please remain standing. 15 Face the clerk over here, raise your right 16 hand. 17 18 MIKE RADAKOVICH 19 Having been sworn, testified as follows: 20 21 THE WITNESS: Yes, I do. 22 THE CLERK: Please be seated. State and 23 spell your name for the record. 24 THE WITNESS: My name is Mike Radakovich. 25 R-a-d-a-k-o-v-i-c-h. 26 THE CLERK: Thank you. 27 // 28 // 11511 1 DIRECT EXAMINATION 2 BY MR. SANGER: 3 Q. Okay. I did mispronounce your name, but you 4 weren’t in the room so you didn’t hear it. 5 Mr. Radakovich, what do you do for a living? 6 A. I’m a certified public accountant. 7 Q. How long have you done that? 8 A. Around 30 years. 9 Q. All right. And where do you have your 10 office? 11 A. In San Luis Obispo, California. 12 Q. And do you work in this area, in the Santa 13 Maria area as well? 14 A. Yes, I’ve testified both in Santa Maria and 15 San Luis Obispo County. 16 Q. In addition to doing forensic work, which is 17 testifying in court, do you do ordinary CPA-type 18 duties? 19 A. Yes, I do. 20 MR. SANGER: All right. I’m going to -- 21 maybe I should have this marked first, Your Honor, 22 as defense next in order. I’m going to ask that a 23 chart, an analysis chart, be marked, and my guess is 24 that would be 5105. 25 May I approach, Your Honor? 26 THE COURT: Yes. 27 Q. BY MR. SANGER: I’m going to -- I’m going to 28 show you 5105 for identification and ask you if you 11512 1 prepared that chart? 2 A. Yes, I did. 3 Q. And did you prepare that chart after 4 reviewing certain documents? 5 A. Yes, I did. 6 Q. All right. Now, I’m going to show you 7 what’s been marked for identification as 5097, which 8 appears to be a Washington Mutual Bank statement, 9 and also 5098, which appears to be a Washington 10 Mutual Bank copy of a cashier’s check. 11 May I approach for that purpose? 12 MR. AUCHINCLOSS: Can I see that? 13 MR. SANGER: Yeah. 14 Q. Okay. Now I’m showing you those two 15 documents. 16 And for the record, Your Honor, those have 17 been retrieved from subpoenaed documents from 18 Washington National Bank. I believe counsel’s 19 indicated they have no objection to the foundation 20 as being subpoenaed business records. 21 MR. AUCHINCLOSS: That’s correct. 22 Q. BY MR. SANGER: Okay. Were those two of the 23 documents that you looked at in the course of 24 preparing your analysis sheet? 25 A. Yes, it was. 26 Q. Now, on your analysis sheet, there are two 27 entries at the very beginning that indicate “Date” 28 and “Source,” and the “Source” on those first two 11513 1 entries are “Louise Palanker” and the amounts on 2 those two entries are $10,000 apiece. Do you see 3 those? 4 A. That is correct. 5 Q. And you reviewed copies of those checks; is 6 that correct? 7 A. Yes, I did. 8 Q. And you put those on your analysis sheet, 9 correct? 10 A. Correct. Those are two checks. One was 11 written to Ms. Janet Arvizo and one was to Mr. David 12 Arvizo. 13 MR. AUCHINCLOSS: Your Honor, I’m going to 14 object to statements being read from this report 15 and -- 16 BAILIFF CORTEZ: Can’t hear you, sir. 17 MR. AUCHINCLOSS: I’m going to object to 18 statements being read into the record from this 19 report, as well as referencing this document as an 20 analysis before there is some foundation laid as to 21 its admissibility on the basis of hearsay, 22 authentication and relevance. 23 MR. SANGER: I don’t think I asked him, Your 24 Honor, to read from the report. I just asked him if 25 he made an entry as to two checks. 26 MR. AUCHINCLOSS: I believe counsel has 27 already read the first two entries to the witness. 28 THE COURT: So I think what -- your objection 11514 1 is that the items are not in evidence yet? 2 MR. AUCHINCLOSS: They’re not in evidence 3 and no foundation has been laid. 4 MR. SANGER: Your Honor, I believe they are 5 in evidence. I believe these were admitted in 6 evidence by the prosecution some time ago. 7 THE COURT: What number? 8 MR. AUCHINCLOSS: I’m not referring to the 9 items. I’m referring to this document that counsel 10 is reading from. My foundation and hearsay -- 11 THE COURT: That’s the question. What I 12 need to know is are they in evidence. 13 MR. SANGER: The two Palanker checks are in 14 evidence, Your Honor. And I know you’re going to 15 ask me the number and I don’t have the number off 16 the top of my head. 17 THE COURT: That’s all right. Do both sides 18 agree they’re in evidence? 19 MR. AUCHINCLOSS: Yes, I believe those two 20 documents are in evidence, those two checks. 21 THE COURT: Your objection is overruled. 22 Q. BY MR. SANGER: So now we go down to -- so, 23 before we go down there, as to those two checks, did 24 you simply record, from the information on the 25 checks, the date, the source, the amount, and a 26 brief description? 27 A. Yes, sir. 28 Q. All right. Now we’re going to go down to 11515 1 the next lines and we’ll try to take these all at 2 once. They would be the next five lines. And those 3 appear to be references to deposits in the 4 Washington Mutual account. 5 A. Yes, those are the same deposits that appear 6 on this bank statement that you handed me, Exhibit 7 No. 5097, as being deposits into that Washington 8 Mutual account. 9 Q. So 5097 appears to be a bank statement; is 10 that correct? 11 A. Yes, sir. 12 Q. And that bank statement is from what bank? 13 A. Washington Mutual Bank. 14 Q. And who is the account holder? 15 A. The name at the top of the statement is 16 Janet Arvizo, FBO Gavin Anton Arvizo. 17 Q. What does FBO mean? 18 A. My understanding, that’s “for the benefit 19 of.” 20 Q. That’s an account that Janet Arvizo -- under 21 ordinary banking practices, Janet Arvizo would have 22 the ability to sign on and she is putting it in the 23 form that it’s for the benefit of somebody else; is 24 that right? 25 A. Yes, sir. 26 Q. All right. Now, from that exhibit, 50 -- 27 which exhibit was that? 5097? 28 A. The bank statement is 5097, yes. 11516 1 Q. Yeah. From 5097, did you record the date of 2 the various deposits? 3 A. Yes, sir. Those appear in the column headed 4 “Date.” 5 Q. And then we’ll skip “Source” for a second. 6 Under “amount,” you indicated the amounts that were 7 deposited into the account; is that correct? 8 A. Yes, sir. 9 Q. And then you have, under “Description,” 10 “Deposit into” that particular bank account number, 11 “Janet Arvizo, FBO Gavin Anton Arvizo,” correct? 12 A. Yes, sir. 13 Q. All right. Now, the source says, 14 “Fund-raiser.” Were you asked to assume that there 15 had been testimony in this case that moneys were 16 deposited in that account from fund-raisers? 17 A. Yes, that was my assumption. 18 Q. Okay. So between that assumption and what 19 you saw on Exhibit 5097, the next five entries would 20 be correct; is that right? 21 A. Yes, sir. 22 MR. AUCHINCLOSS: I’m going to object to 23 foundation as to the source and assumptions made by 24 the witness regarding specifics -- specific sources 25 for these five deposits. I don’t think there’s been 26 any testimony concerning those specific deposits and 27 the sources. 28 MR. SANGER: Your Honor? 11517 1 THE COURT: Yes. 2 MR. SANGER: There was testimony that this 3 account was set up by Janet Arvizo; that she had set 4 up an account and she admitted on cross-examination 5 that the money had gone in and she had withdrawn it 6 all. 7 So this is an expert witness -- although his 8 expertise for the purposes of this is very limited, 9 but he’s an expert witness who’s being asked to 10 simply organize these facts. And I asked him to 11 assume hypothetically that there had been proof that 12 this money came from a fund-raiser, which is 13 consistent with prior testimony. 14 MR. AUCHINCLOSS: And that is a matter of 15 contention. 16 THE COURT: As to whether it came from the 17 prior testimony or not? 18 MR. AUCHINCLOSS: Yes, and the specific 19 source for these deposits on these individual dates. 20 THE COURT: Well, I’ll allow the witness to 21 make that assumption. 22 (To the jury) It goes back to an 23 instruction I gave you a long time ago, it seems 24 now, about hypothetical questions. Remember that? 25 It was a short instruction, but basically it tells 26 you that when a hypothetical question is proposed to 27 a witness or propounded to a witness, the jury, the 28 fact finder, still has to determine whether or not 11518 1 the underlying hypotheticals are proven or not, when 2 you consider this witness’s testimony. 3 So I’ll just remind you of that instruction, 4 and allow the attorney to proceed with this line, 5 making it clear that you’re -- 6 Use the word “hypothetical,” if you would, 7 so that the jury understands that, and then I’ll -- 8 based on that, I’ll overrule the prosecution’s 9 objection. 10 Q. BY MR. SANGER: All right. So other than 11 the characterization of “Fund-raiser” on those next 12 five lines, the rest you simply recorded from the 13 documents, from the Washington Mutual records, 14 correct? 15 A. That is correct. 16 Q. All right. Now, I’m going to show you 5099 17 for identification. 18 If I may approach, Your Honor. 19 THE COURT: You may. 20 Q. BY MR. SANGER: 5099 is a copy of a check; 21 is that correct? 22 A. Yes, sir. 23 MR. SANGER: And, Your Honor, that also 24 comes from the materials that were business records 25 that were subpoenaed, and there’s a stipulation as 26 to the foundation. 27 Q. As to 5099, did you record on the next line 28 of your analysis the date that that check was 11519 1 written? 2 A. I recorded the date it was deposited. It 3 was actually written on November 2nd. 4 Q. All right. And it was deposited November 5? 5 A. Yes, sir. 6 Q. And that was 2001; is that correct? 7 A. Yes, sir. 8 Q. The source is Michael Adler? 9 A. Yes, Michael Adler. 10 Q. And it looks like it says “Alder” here. 11 A. It is -- it’s hard to read a copy of the 12 copy, but I think it is Alder. A-l-d-e-r. 13 Q. And then the amount is $32,308; is that 14 correct? 15 A. Yes. 16 Q. And that amount was deposited in that same 17 account; is that correct? 18 A. That’s correct. 19 Q. All right. Now, there’s a notation, “J.C. 20 Penney lawsuit.” Do you see that under 21 “Description”? 22 A. Yes, that’s under the “Description,” “J.C. 23 Penney lawsuit.” On the check itself it says, under 24 “Memo,” “Arvizo settlement.” 25 Q. All right. And were you asked to assume 26 that there had been testimony -- for the purpose of 27 a hypothetical for the entry of this material on 28 your analysis, that there had been testimony that 11520 1 the settlement source was a J.C. Penney lawsuit? 2 A. Yes, sir. 3 Q. All right. Now, I’m going to ask you to 4 look at 5098, which is a document dated November 9, 5 2001; is that correct? 6 A. Yes. 7 Q. And what does that appear to represent? 8 A. About four days after the $32,000 is 9 deposited, Ms. Arvizo withdraws $29,000 from the 10 same account, and it’s made into a money order 11 payable to Hollywood Ford. 12 Q. All right. Now, could you determine that on 13 November 9, 2001, Janet Arvizo withdrew $29,000, 14 approximately, from her Washington Mutual Bank 15 account? 16 A. I see that same amount clearing the bank 17 after this check is drawn. 18 Q. All right. So you determined that from the 19 Washington Mutual Bank account records; is that 20 correct? 21 A. Yes, sir. 22 Q. All right. And then the actual document 23 that you have in front of you is a -- what appears 24 to be a cashier’s -- a copy of a cashier’s check; is 25 that correct? 26 A. Yes. 27 Q. Now, do you know if that cashier’s check 28 actually was cashed by Hollywood Ford? 11521 1 A. I do not know where it was cashed. I do 2 know that there’s a withdrawal from the bank around 3 that time for $29,000. 4 Q. All right. And is there any indication that 5 $29,000 went back into the account? 6 A. I never saw it go back into the account. 7 Q. All right. Now, the next line under the 8 analysis is December 2001 -- 9 A. Yes, sir. 10 Q. -- is that correct? 11 Were you asked for the purpose of preparing 12 this analysis to assume that Azja Pryor had 13 testified in this court that she had given $600 to 14 Janet Arvizo in December of 2001? 15 A. That’s the assumption that I’ve made, yes. 16 Q. And -- okay. And I’m sorry, I couldn’t help 17 overhearing Mr. Sneddon, so I apologize, but it was 18 a stage whisper. 19 Whether it’s cash or a cashier’s check, were 20 you asked to assume that money was given to Azja 21 Pryor? 22 A. I assumed money was given to Azja Pryor. 23 Q. You assume that because you were asked to 24 assume that, for the purpose of preparing this, 25 correct? 26 A. Yes, sir. 27 Q. All right. Now, if -- we’re going to 28 skip -- no, we aren’t. We’re going to go from 11522 1 January 2 through March 17, and I’m going to show 2 you a series of checks and these checks are Nos. 3 5100 through 5104. 4 May I approach, Your Honor? 5 THE COURT: Yes. 6 MR. SANGER: Thank you. 7 Q. I’m showing you 5100 through 5104. Those 8 are documents that came from the bank records that 9 have been subpoenaed of Jay Jackson, and I’m going 10 to ask you if you reviewed those for the purpose of 11 preparing this analysis? 12 A. Yes, I did. They are listed on my schedule. 13 Q. And is the information listed on the 14 schedule the information that comes directly off of 15 all of those checks? 16 A. Yes, sir. 17 MR. AUCHINCLOSS: Could we have the actual 18 exhibit numbers traced to the individual exhibits? 19 MR. SANGER: Sure. So 5100 would be the 20 January 2 welfare check of $769; is that correct? 21 A. That is correct. 22 Q. And that was deposited into Jay Jackson’s 23 Bank of America account; is that correct? 24 A. Yes, it was. 25 Q. And then 5101 was the same date, January 2, 26 2003, and that’s a check from Jay Jackson to Raymond 27 Trujillo, rent for Soto Street apartment. 28 A. That is correct. 11523 1 Q. And then 5102 is a February 24 welfare check 2 for $769, and that was deposited in Jay Jackson’s 3 Bank of America account? 4 A. Actually, the check is February 15th. I 5 think it was deposited February 24th. 6 Q. Okay. So the date of the check is the 15th, 7 deposited February 24th? 8 A. That is correct. 9 Q. All right. And there’s a notation that 10 apparently somebody switched the numbers around at 11 the bank, and they had to correct that error? 12 A. Yeah. Being an accountant, it’s not unusual 13 to transpose numbers. And when it was first 14 deposited, it was deposited as $796, and the bank 15 caught that. And so when it first -- it shows up as 16 a deposit on his bank deposit as $796, and Bank of 17 America catches it and takes $27 back out of the 18 account. 19 Q. All right. So the bottom line -- aside from 20 all that accounting business within the bank, the 21 bottom line is the welfare check of $769 was 22 deposited into Jay Jackson’s Bank of America 23 account, correct? 24 A. That is correct. 25 Q. And the next one is 5103, and that’s a check 26 from Jay Jackson of $425, a rent payment to Raymond 27 Trujillo for the Soto Street apartment; is that 28 correct? 11524 1 A. That is correct. 2 Q. And the last one, 5104, appears to be a 3 welfare check; is that correct? 4 A. Yes, dated March 17th, 2003. 5 Q. And that’s for $769? 6 A. Yes, it is. 7 Q. And that appears to have been cashed by 8 Janet Arvizo? 9 A. It’s hard to read, but I -- it looks like 10 it’s her signature. 11 MR. SANGER: All right. Okay. Your Honor, 12 we would move into evidence 5097 through 5104, which 13 are those documents as exhibit records from the 14 various accounts. 15 MR. AUCHINCLOSS: No objection. 16 THE COURT: They’re admitted. 17 Q. BY MR. SANGER: Now, looking at your 18 analysis for the moment, or back to that, the last 19 five entries are entries for which you did not have 20 specific documentation; is that correct? 21 A. Correct. Except for the February 6th 22 through March 12th, I did review what I referred to 23 as Exhibits 414 and 416. 24 Q. All right. Well, let’s start with that. 25 Did you have an occasion to look at court exhibits 26 414 and 416? 27 A. Yes, sir. 28 Q. And what did those appear to be? 11525 1 A. They appeared to be expense -- I guess you’d 2 call them expense reports that showed various 3 expenses being made and the notation on those was 4 for Janet Arvizo. 5 Q. All right. And who -- whose bank account -- 6 what was the name -- I’m sorry, let me withdraw 7 that. 8 What was the name of the entity for which 9 this expense report was prepared? 10 A. It was my understanding it was Neverland 11 Valley Entertainment. 12 Q. All right. Now, were you able to come up 13 with a precise number as to how much money had been 14 expended on behalf of Janet Arvizo or her children 15 as opposed to expended indirectly on her behalf in 16 some other fashion? 17 A. No, I was not, but it appeared to be several 18 thousand dollars. 19 Q. All right. And were you asked to assume for 20 the purpose of preparing this chart that there was 21 testimony in this court indicating that several 22 thousand dollars had been spent on behalf of Janet 23 Arvizo and her children during this period of time? 24 A. Yes. 25 Q. All right. So under the “Amount,” rather 26 than putting an exact dollar amount, you just put 27 “Several Thousand Dollars”; right? 28 A. That’s correct. 11526 1 Q. Was your purpose to come up with a bottom 2 line that was going to be computed? 3 A. No. 4 Q. It was just to record these various 5 transactions so we’d have them all in one place; is 6 that right? 7 A. Yes, sir. 8 Q. All right. And then February -- the next 9 line is February 5th to February 24th, 2003. And 10 this says, “Source,” “Michael Jackson.” 11 Were you asked to assume, for the purpose of 12 preparing this, that there had been testimony that 13 money had been expended on behalf of Janet Arvizo 14 and her children for a trip to Miami, body wax, 15 children’s braces, lodging, travel, food expenses 16 and so on? 17 A. Yes, sir. 18 Q. You indicated in the “Amount” column 19 “Several Thousand Dollars,” correct? 20 A. Yes, sir. 21 Q. Once again, did you have any ability to do 22 an accounting as to what Mr. Jackson expended on 23 behalf of these particular individuals? 24 A. No, sir. 25 Q. Okay. All right. And then I see there’s 26 actually maybe a typo here. The next line is 27 February 7 to March 12th, 2003. There’s an 28 indication, “Several Thousand Dollars,” “Living 11527 1 Expenses at Neverland Ranch”? 2 A. Yes, sir. 3 Q. All right. And it says, for some reason, 4 “MJ Sounds” and I have no idea why it says “Sounds” 5 there. Why don’t we just strike that word out. 6 A. That’s fine. 7 Q. Was it -- were you asked to assume there had 8 been testimony that this family had been living at 9 the Neverland Ranch, the previous one was living 10 elsewhere and other expenses for them, but this line 11 being living expenses while they’re at Neverland 12 Ranch? 13 A. That is correct. 14 Q. All right. And again, you didn’t know how 15 much so you put “Several Thousand Dollars”; is that 16 correct? 17 A. That is correct. 18 Q. Now, the next line is February 20, 2003, and 19 you indicated “Hamid Moslehi,” and the total amount 20 of $2,000, and “Description,” “Cash.” 21 Were you asked to assume that there was 22 testimony in this trial that Hamid Moslehi had given 23 Janet Arvizo $2,000 in cash on February 20th? 24 A. Yes, I was. 25 Q. And were you asked to assume whether that 26 was a loan or a gift or anything else or just that 27 it was $2,000? 28 A. I assumed that he received $2,000 -- or the 11528 1 Arvizo family received $2,000 from that gentleman. 2 Q. All right. And then the last entry is 3 November 2 to present. It says “Source” is Jay 4 Jackson. “Amount” is “Unknown.” 5 Were you asked to assume that there had been 6 testimony from Gavin and from Jay Jackson that Janet 7 Arvizo had been living with Jay Jackson off and on 8 from November 2002 to the present? 9 A. That is correct. 10 Q. And so you’ve indicated there would be some 11 sort of lodging and use of an automobile based on 12 the assumptions that we asked you to make; is that 13 correct? 14 A. Yes, sir. 15 Q. All right. Based on all of that, is this 16 chart now a fair and accurate depiction of what you 17 have just testified to, that is, the documents you 18 received and looked at, and also the assumptions you 19 were asked to make from the prior testimony? 20 A. That is correct. 21 MR. SANGER: Your Honor, I would move into 22 evidence Exhibit 5105. 23 MR. AUCHINCLOSS: I’d object to the 24 admission of that evidence, Your Honor. I’d like to 25 take the witness on voir dire. 26 BAILIFF CORTEZ: Microphone’s off again, 27 sir. 28 THE COURT: I’ll -- I won’t rule on the 11529 1 admissibility until after your cross-examination. 2 MR. AUCHINCLOSS: All right. 3 MR. SANGER: I was going to request to 4 publish it so I could just show it to the jury, but 5 I’ll hold off, if that’s all right, if I would be 6 allowed to do that after Mr. Auchincloss concludes 7 his cross, assuming it’s admitted. 8 THE COURT: I’m going to hold off on the 9 ruling until he examines. We could do it by voir 10 dire or cross, but I think it’s better just to do it 11 by cross. 12 MR. SANGER: With that exception, I would 13 like to put this up if it’s admitted later. I’ll 14 defer to Mr. Auchincloss. 15 THE COURT: All right. 16 17 CROSS-EXAMINATION 18 BY MR. AUCHINCLOSS: 19 Q. Good morning, Mr. Radakovich. 20 A. Yes, sir. 21 Q. Did I pronounce that correctly? 22 A. Perfectly. 23 Q. All right. I’m looking at Exhibit 5105 and 24 I’m going to go through that with you somewhat 25 quickly, but I want to focus on the items for which 26 you do not have any evidence before you. There’s 27 several things you were asked to assume in this 28 document and I want to talk about those, first of 11530 1 all. 2 Beginning at the top of this document, you 3 have a June 15th, 2000, entry from Louise Palanker, 4 $10,000, check to Janet Arvizo. Have you seen that 5 check, first of all? 6 A. Yes, I have. 7 Q. Do you know if Janet Arvizo actually 8 received, personally received, that $10,000? 9 A. I saw a signature that appeared to be her 10 signature on the back of it, cashing it. I don’t 11 know what happened to the funds. 12 Q. Okay. How about the check to David Arvizo, 13 the next entry, July 10th? Can you tell us whether 14 or not Janet Arvizo actually received that $10,000? 15 A. The check was made out to David Arvizo. 16 Q. Okay. 17 A. And it looked -- I’ve never seen his 18 signature before to compare, because that was the 19 only document that his signature was on, but it 20 looked like he cashed it. 21 Q. Okay. But you have no evidence to lead you 22 to believe or conclude that Janet Arvizo received 23 that $10,000? 24 A. No, sir. 25 Q. Now, what were you specifically asked to do 26 in preparing this document, Exhibit 5105? 27 A. Well, to look at particular transactions, 28 and to basically list the pieces of information from 11531 1 those documents in the order that shows up on the 2 schedule. 3 Q. Was the idea here to create a list of income 4 that Janet Arvizo received between the dates of, 5 let’s say, June 15th, 2000, and I guess March 12th, 6 2003, over those three years? 7 A. Not to list any income. Just to show the 8 transactions. 9 Q. Okay. Just to show a list of transactions? 10 A. That is correct. 11 Q. Was there any guidance as far as what 12 transactions you were going to put in this list? 13 A. I was provided, I’m going to call it a book 14 of evidence, an evidence book, that had various 15 checks. Some of which are in evidence here, 16 additional ones that I don’t know if they’re in 17 evidence or not in evidence as those checks from 18 Louise Palanker. I was given those documents. 19 Q. You were given a book of documents? 20 A. Yes, sir. 21 Q. Who gave you the book of documents? 22 A. Actually it was delivered to my office, but 23 it’s my understanding it came from Mr. -- either Mr. 24 Sanger’s or Mr. Mesereau’s office. 25 Q. Do you have that book with you today? 26 A. Yes, I do. 27 MR. AUCHINCLOSS: May I approach and take a 28 look at that item, Your Honor? 11532 1 THE COURT: Yes. 2 MR. AUCHINCLOSS: All right. Thank you. 3 Q. So when you received this book -- I noticed 4 that -- well, is it fair to say that the book has 5 some additional documents in it apart from what 6 you’ve included in your report on Exhibit 5105? 7 A. Yes, sir. 8 Q. And did you receive some guidance from Mr. 9 Sanger or anybody else as to which documents were 10 going to be selected out of that book to be included 11 in this exhibit? 12 A. Yes, we met and discussed the documents in 13 the book and which ones Mr. Sanger wanted to have on 14 the schedule and which ones had the actual 15 documentation behind them. 16 Q. Okay. 17 A. There were a lot of documents in the book. 18 Q. So Mr. Sanger told you what he wanted on 19 this list? 20 A. We had a meeting and we discussed various 21 transactions. And I suppose, yes, he told me which 22 transactions to put on the book, but it was a 23 discussion that him and I had back and forth. We 24 discussed various transactions. 25 Q. But many of these transactions you don’t 26 even have in that book; is that fair to say? You 27 don’t have any evidence of the transaction in the 28 book that was delivered to you? 11533 1 A. Just the ones that Mr. Sanger brought up at 2 the end from February 6th on. There aren’t any 3 indications of those in this book. 4 Q. And you also don’t have any indication of 5 the transaction involving Azja Pryor in December of 6 2001? 7 A. I’m sorry. That one also. There’s no 8 indication for that. 9 Q. And some of this information in this report 10 you don’t have any knowledge of except based upon 11 what Mr. Sanger told you; is that fair to say? 12 A. I don’t quite understand what you’re asking. 13 Q. Well, for instance, the source of the 14 deposits to Janet Arvizo’s account at Washington 15 Mutual, you have no idea what the source of those 16 deposits was? 17 A. No, and I don’t think I’m trying to -- 18 all -- under “Description” I just say, “Deposit into 19 the Washington Mutual account.” I’m not making any 20 kind of opinion as to where I think those sources 21 are coming from. 22 Q. But the “Source” you wrote in this document 23 is “fund-raiser,” “fund-raiser,” “fund-raiser,” 24 “fund-raiser,” “fund-raiser,” for those five 25 documents. And you don’t know that the source of 26 those funds on those entries was, in fact, a 27 fund-raiser except for what Mr. Sanger told you; is 28 that fair to say? 11534 1 A. Yes, as he indicated, that was an assumption 2 that was made. 3 Q. Okay. So moving down the list, you assumed 4 that each of those deposits came from a fund-raiser, 5 but you don’t have any knowledge of that? 6 A. That is correct. 7 Q. Moving to the next entry, November 5th, 8 2001, there’s a check from Michael Alder. It says, 9 “J.C. Penney lawsuit.” Did Mr. Sanger ask you to 10 assume that as well? 11 A. Yes, and there was -- also I reviewed a J.C. 12 Penney lawsuit settlement statement. 13 Q. And then moving down to the next one, that’s 14 a cashier’s check from Hollywood Ford. Do you have 15 any information as to whether or not that check to 16 Hollywood check was cashed? 17 A. Actually, it’s a check to Hollywood Ford, 18 not from -- 19 Q. I misspoke. A check to Hollywood Ford. Do 20 you have any idea whether that check was ever 21 cashed? 22 A. I have no idea. 23 Q. Do you have any idea where those funds went? 24 A. The check is made out to Hollywood Ford. I 25 assume it went to Hollywood Ford. 26 Q. But that’s all you have had. Does that 27 check cashed -- does it indicate it’s been cashed 28 based upon the markings on the check? 11535 1 A. Well, what we have is a copy of a cashier’s 2 check. So we don’t have the actual check itself. 3 The check would have not been returned to Miss 4 Arvizo. It would have been returned to the bank. 5 When you get a cashier’s check, it doesn’t come back 6 in the mail with your bank statement. It’s returned 7 to the bank. 8 Q. Okay. Did you call Hollywood Ford? 9 A. No, sir. 10 Q. So you really don’t know if Hollywood Ford 11 received that check, true? 12 A. All I can say is it was made out to 13 Hollywood Ford. 14 Q. Do you have any idea whether the $32,000, 15 $32,308, do you have any idea whether those funds 16 went to Janet Arvizo or if she shared those with her 17 husband or if they went to somebody else? Do you 18 have any idea where those funds went ultimately? 19 A. Yes, I do. They went to the Washington 20 Mutual account and they were deposited into the 21 Washington Mutual account, the $32,000. 22 Q. Yes. 23 A. And about seven or eight days later, the 24 funds were basically cleared out when she wrote a 25 check to Hollywood Ford. Basically, money comes 26 into the bank and the money goes out to Hollywood 27 Ford. 28 Q. So with the exception of the $3,000, 11536 1 approximately, $3,000? 2 A. That is correct. 3 Q. Okay. But we’re back to my previous 4 question. You don’t know what happened to that 5 $29,000, exactly where those funds went? 6 A. Well, it went to Hollywood Ford. I guess 7 I’m -- 8 Q. You have a cashier’s check, but you said you 9 didn’t have an indication whether or not that check 10 was cashed, true? 11 A. No, I -- the funds were withdrawn from the 12 bank. I know that. 13 Q. Yes. 14 A. The funds were withdrawn from the bank. 15 There is a check on that same day for the same 16 amount to Hollywood Ford. It’s not unreasonable to 17 think that that check went to Hollywood Ford. 18 Q. Gotcha. But that’s an assumption that 19 you’re making, correct? You don’t have any direct 20 evidence that that check was cashed at Hollywood 21 Ford, true? 22 A. Well, the check was made out to Hollywood 23 Ford, the funds left the bank. I guess I’m assuming 24 that, but I guess I assumed the sun came up this 25 morning, too. 26 Q. Well, let me throw another assumption at 27 you. 28 THE COURT: Let’s take a -- let’s assume 11537 1 we’re going to take a break. 2 (Laughter.) 3 --o0o-- 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 11538 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 11497 through 11538 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 May 23, 2005, and thereafter 20 reduced to typewriting by computer-aided 21 transcription under my direction. 22 DATED: Santa Maria, California, 23 May 23, 2005. 24 25 26 27 MICHELE MATTSON McNEIL, RPR, CRR, CSR #3304 28 11539 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 MONDAY, MAY 23, 2005 20 21 8:30 A.M. 22 23 (PAGES 11540 THROUGH 11685) 24 25 26 27 REPORTED MICHELE MATTSON McNEIL, RPR, CRR, CSR #3304 28 BY: Official Court Reporter 11540 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 11541 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 DEFENDANT’S 10 WITNESSES DIRECT CROSS REDIRECT RECROSS 11 RADAKOVICH, Mike 11563-A 12 MANRRIQUEZ, 13 Mercy Dee 11566-SA 11618-A 11625-SA 11631-A 14 ARVIZO, 15 Marian 11633-M 11642-Z 16 KEENAN, Connie 11646-M 11658-SN 11676-M 11681-SN 17 18 19 20 21 22 23 24 25 26 27 28 11542 1 E X H I B I T S 2 FOR IN DEFENDANT’S NO. DESCRIPTION I.D. EVID. 3 5106 Subpoenaed records from 4 the Department of Public Social Services 11569 11569 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 11543 1 THE COURT: Counsel? 2 MR. AUCHINCLOSS: Thank you, Your Honor. 3 Q. Where we left off, Mr. Radakovich, we were 4 talking about whether the sun was going to come up 5 tomorrow, and I wanted to just ask you about another 6 assumption, okay? 7 Assume that you take a -- you go into your 8 bank, your bank is Washington Mutual, let’s say, and 9 you have a $30,000 balance in your account. 10 And you go in and you get a cashier’s check 11 for $30,000 for, let’s say, an automobile dealer. 12 You walk out of the bank intending to buy a car, and 13 you turn around and you say, “You know, I don’t 14 really want that car,” and you walk back into the 15 bank and you say, “I’ve changed my mind. Here’s my 16 receipt. Here’s my cashier’s check. I don’t want 17 the car. I just want cash.” 18 The bank will negotiate that check for you, 19 won’t they? 20 A. I would assume so, yes. 21 Q. So there’s an example where that check would 22 not have gone to Hollywood Ford, a conceivable 23 possibility? 24 A. That would be a possibility, yes. 25 Q. And you can’t testify whether or not 26 Hollywood Ford actually received that check, true? 27 A. No, sir. 28 Q. So the sun will come up tomorrow; is that 11544 1 fair to say? 2 A. I certainly hope so. 3 Q. Okay. Let’s go back down to the next entry 4 involving Azja Pryor. You had absolutely no 5 information as to that particular transaction except 6 for what Mr. Sanger told you? 7 A. He told me that that was admitted as -- I 8 don’t know the legal term. Was admitted as evidence 9 or there was testimony as to that. 10 Q. Okay. But in terms of him supplying you 11 with any hard documentation, any accounting records 12 of any kind, you have nothing to justify that except 13 for what Mr. Sanger told you, true? 14 A. That is correct. 15 Q. All right. Now -- 16 MR. SANGER: I’m going to object. Really I 17 asked him to assume that for purposes of a 18 hypothetical -- 19 MR. AUCHINCLOSS: I’m going to -- 20 MR. SANGER: -- as opposed to just -- 21 THE COURT: The objection is overruled. Next 22 question. 23 Q. BY MR. AUCHINCLOSS: Moving down, let’s see, 24 let’s go to the four -- five final transactions. 25 Now, each of these transactions were based 26 completely on assumptions or hypotheticals that Mr. 27 Sanger gave you; is that correct? 28 MR. SANGER: Objection; misstates the 11545 1 evidence. 2 MR. AUCHINCLOSS: I’ll ask a different 3 question. 4 THE COURT: All right. 5 MR. AUCHINCLOSS: Strike that. 6 Q. With the exception of Exhibits 414 and 7 416 -- same question. With the exception of those 8 two exhibits, which I believe you were supplied, 9 correct? 10 A. Yes. 11 Q. Did the rest of this information come from 12 Mr. Sanger? 13 A. Yes, sir. 14 Q. All right. And as far as the amounts that 15 are itemized, we don’t have specific amounts for any 16 of these transactions, with the exception of the one 17 involving Hamid Moslehi, $2,000, true? 18 A. That is correct. 19 Q. Okay. So we don’t really know what kind of 20 dollar figure we’re talking about with each of those 21 transactions? 22 A. No, sir. 23 Q. All right. And have you ever prepared a 24 document like this before? 25 A. I’ve prepared many documents. Yes, I 26 prepared many documents. I’m not sure when you say 27 “like this” -- 28 Q. Well, a document that included many 11546 1 assumptions and unknown amounts and hypotheticals. 2 A. I’ve prepared documents for different cases, 3 and it seems like almost every single case is 4 different. I’m not sure exactly how to answer that 5 question. I mean, I have never prepared a document 6 just like this one, because this case is different 7 than the next case. 8 Q. Let me ask you another question. You said 9 that this was a fair and accurate document. But in 10 fact, it’s not accurate at all because we don’t know 11 the figures that we’re talking about; isn’t that 12 fair to say? 13 MR. SANGER: Objection. Argumentative, and 14 misstates the evidence as a matter of fact. 15 THE COURT: Overruled. 16 You may answer. 17 THE WITNESS: It’s fair and accurate based 18 on the assumptions that underlie the schedule. 19 Q. BY MR. AUCHINCLOSS: Assuming that all of 20 Mr. Sanger’s hypotheticals are accurate, then it’s 21 fair and accurate? 22 A. Yes, sir. 23 Q. With the exception of the fact that it’s not 24 accurate in the amounts that you provided for these 25 various transactions for which you have no specific 26 amount, known amount; is that fair to say? 27 A. It’s accurate based on the assumptions that 28 were used to prepare it. I don’t know how else to 11547 1 say that. 2 Q. What does “several thousand dollars” mean in 3 terms of accuracy? 4 A. Well, it was explained to me, as an example; 5 that they flew to Miami and that they stayed at a 6 hotel. And it would be my experience that that 7 would be several thousand dollars to get there, to 8 stay at the hotel, and the assumption that the goods 9 and services provided them would probably be several 10 thousand dollars. 11 MR. AUCHINCLOSS: All right. Thank you, 12 Mr. Radakovich. Thank you. No further questions. 13 MR. SANGER: Your Honor, I would ask to 14 admit 5105, which is the summary chart. 15 MR. AUCHINCLOSS: And we would object to the 16 admission of that document based upon improper 17 foundation and -- or lack of foundation. 18 THE COURT: Right now I’ll sustain the 19 objection to the chart. I think, basically, it 20 would be helpful in your final argument as an 21 exhibit of -- you know, to explain to the jury that, 22 but I don’t think that it has an evidentiary value 23 independently of argument, so -- 24 MR. SANGER: It is foundational to the next 25 witness. That’s the purpose of doing it this way. 26 Could we approach for a moment, Your Honor? 27 THE COURT: Yes. 28 MR. SANGER: Thank you. 11548 1 (Discussion held off the record at sidebar.) 2 MR. SANGER: May I approach the witness to 3 retrieve the exhibits that have been admitted? 4 THE COURT: Yes. 5 MR. SANGER: Okay. And I’m holding out 6 5105. That was not. The others have been received 7 and I’d like permission, then, to publish them. 8 THE COURT: You may. 9 MR. SANGER: Thank you. 10 Q. I’m putting up these documents that have 11 been received. They’ve been received into evidence 12 and -- do we have our laser thing there? 13 MS. YU: Yeah. 14 MR. SANGER: Sorry. Technical moment here. 15 There we go. Thank you. There we go. 16 Q. Okay. What I want to do is go through these 17 quickly. You’ve already testified to them before 18 they were received, but just to publish them so the 19 jury can see what we’re talking about. 20 This is Exhibit 5097, and you referred to 21 this exhibit. You indicated it showed an account, 22 “Janet Arvizo, FBO Gavin Anton Arvizo,” correct? 23 A. That is correct. 24 Q. All right. And the address for the 25 statement was in El Monte on Ramer Street; is that 26 correct? 27 A. Yes. 28 Q. And this particular exhibit -- I want to be 11549 1 careful not to shine this in the court reporter’s 2 eyes here. 3 This particular exhibit shows deposits and 4 withdrawals from this particular FBO account; 5 correct? 6 A. That is correct. 7 Q. And you had indicated that -- there we go. 8 I think our laser is getting faint here for some 9 reason. It may be running out of battery or 10 something. 11 Okay. These are the deposits, and you 12 listed those -- well, never mind what you listed. 13 But the deposits show how much money went into this 14 account? 15 A. Looks like $7,000 in that one month, yes. 16 Q. Okay. All right. And that month would have 17 been December, and actually into January. December 18 of 2000 and January of 2001; is that correct? 19 A. That is correct. 20 Q. Thank you. Let’s see if we can get a -- 21 whoa, that’s a lot better. Okay. 22 Let’s take 5098. Now, in looking at this 23 particular document, this is the copy of the 24 Hollywood Ford cashier’s check, correct? 25 A. Yes, that’s the infamous Hollywood Ford 26 check. 27 Q. And basically you don’t have a copy of that 28 thing that’s endorsed by Hollywood Ford to show that 11550 1 it actually went into one of their accounts; is that 2 correct? 3 A. Again, as I said, because it’s not returned 4 to the person writing the check. It goes back to 5 the bank. 6 Q. All right. However, did it appear, from 7 your review of the records, that this money ever 8 went back into Janet Arvizo’s account? 9 A. I never saw it going back into any account I 10 looked at, no. 11 Q. So in other words, whether Hollywood Ford 12 got it or somebody else got it, it did not go back 13 into Janet Arvizo’s account? 14 A. That I could see, that is correct. 15 Q. All right. Now, I’ll put up 5099, and that 16 is very hard to read. But it appears to be Mr. 17 Alder’s check; is that correct? 18 A. Yes. That was a check from Mr. Alder’s 19 office to Janet Arvizo. And the bottom, where the 20 “Memo” says “Arvizo settlement,” it’s $32,307.88. 21 Q. Now, you said you also reviewed the J.C. 22 Penney’s settlement documents, or lawsuit documents; 23 is that correct? 24 A. Yes, sir. 25 Q. Did it appear that other Arvizo family 26 members received additional sums in their name in 27 addition to the amount that Janet Arvizo received? 28 A. Yeah, the total settlement was $152,000. 11551 1 Q. All right. Some of that went to attorney’s 2 fees and costs? 3 A. Attorney fees and costs, and I think some 4 went to the kids, and I think Mr. Arvizo received a 5 check. And I think this was the check that went to 6 Janet, or obviously this is a check that went to 7 Janet. 8 Q. This is just Janet Arvizo’s portion of that, 9 right? 10 A. That is my understanding. 11 Q. And I think you’re doing okay, but you got 12 to really speak -- 13 A. I’m scared I’m in their way over here. I 14 feel like I’m at the movies and I want to -- 15 Q. I think they can see over your head. The 16 concern is make sure you talk into the microphone. 17 Okay. And that amount of money went into 18 this FBO account for Gavin and then was taken out 19 shortly thereafter by virtue of whatever this 20 transaction was with the Hollywood Ford cashier’s 21 check? 22 A. That’s correct. 32,000 goes in, 29,700 goes 23 out, and then later that month the remaining 3,000 24 goes out. 25 Q. All right. And then the -- oh, I won’t put 26 all of these up, but we had the series of 5100 27 through 5104. This is 5100 that I’m putting up 28 there. And that’s basically a copy of a check that 11552 1 shows that it was deposited into Jay Jackson’s 2 account; is that correct? 3 A. That is correct. 4 Q. And you had a couple of those; is that 5 right? 6 A. Right. And I also looked at the Bank of 7 America account of Mr. Jackson and actually saw that 8 same amount on that same day being deposited into 9 his account. 10 Q. All right. So the actual check record 11 corresponded with the statement from the bank; is 12 that correct? 13 A. That is correct. 14 Q. And similarly, looking at 5101, which I 15 indicated was the rent payment for Soto Street, 16 that’s noted on there; is that correct? 17 A. That is correct. 18 Q. And that appeared to have been paid out of 19 the Jay Jackson account to Raymond Trujillo; is that 20 correct? 21 A. That is correct. 22 Q. And you had a couple of those. 23 A. Yes, sir. 24 Q. Now, there were -- in the documents you 25 looked at, there were a number of other payments 26 made by Jay Jackson; is that correct? 27 A. Yes, sir. 28 Q. All right. And were you asked to take a 11553 1 liberal approach to this? A conservative approach? 2 Can you explain what you were asked to do? 3 A. I looked at all the documents submitted to 4 me, and there were a lot of documents I looked at. 5 And I didn’t see, in my opinion, the relevancy of 6 those documents. There was just a check from Jay 7 Jackson’s account to American Express, but it 8 didn’t -- I mean, that’s all I had. To me, that’s a 9 meaningless check. The -- 10 Q. Let me stop you there, if I could, just so 11 we can pick up on that point. In other words, you 12 saw a number of expenditures, but you couldn’t tie 13 them directly with the information you had to Janet 14 Arvizo; is that correct? 15 A. That is correct. 16 Q. So you took the representative ones here 17 that are clearly for something that has been 18 identified as a residence of Janet Arvizo; is that 19 correct? 20 A. That is correct. 21 Q. All right. Now, I want to ask you -- 22 Switching gears here for a second, I’d like 23 to first approach the witness and I’m going to come 24 back and put this up on the board, if I can. I’d 25 like to approach the witness with the book that 26 includes Exhibit 414 and 416 that have already been 27 received into evidence. And while I’m at the 28 microphone here, I’ll just say it here so we don’t 11554 1 have a colloquy up there. 2 I’m just going to ask you to look at 414 and 3 416. And these have been placed in these glassine 4 protectors, or whatever they are, and unfortunately 5 the book is broken on the top, and it tends to come 6 apart, so we’ve got to be careful flipping through. 7 I’m going to ask you to look through 414 and 8 then look through 416, and tell me if those appear 9 to be the same documents that you looked at earlier, 10 okay? 11 Did I ask if I may approach? I think I did, 12 yes. 13 In fact, what we’ll do is just start with 14 414. 15 A. Yes. This is the document I previously saw. 16 Q. Okay. Now, on 414, that appears to be a 17 report of some sort that was generated on behalf of 18 a company called Neverland Valley Entertainment, 19 correct? 20 A. I don’t know who it was generated on. It’s 21 a Quicken report generated by the Quicken software, 22 and it appears to be disbursements with different 23 categories, such as Panda Express, Anchor Blue 24 Clothing, Johnny Rocket’s, with various dollar 25 amounts and then a running balance going forward. 26 Q. All right. And at the end -- so the running 27 balance going forward at the end should show you the 28 total amount of the expenditures for the particular 11555 1 items included in that Quicken report; is that 2 correct? 3 A. That’s correct. 4 Q. Take your time. 5 A. And what happens, the way the account reads, 6 it starts at zero. Somebody puts in $2500, and that 7 $2500 is eaten up, so your balance actually goes 8 down, if that makes any kind of sense. 9 Q. Can you tell -- and I’m sorry to put you on 10 the spot here, but can you tell quickly about how 11 much money was expended through that account? 12 I see you brought a calculator. I’m not 13 really encouraging you to use it, if you can give us 14 an approximation. 15 A. I’m going to give it about $7,000. 16 Q. So earlier when you said several thousand 17 dollars, you see about 7,000 there; is that correct? 18 A. Yes, 7,000 or so. 19 Q. All right. Now, I’m going to ask you to 20 turn to 416. And I’m going to come and help you, 21 because the book is going to fall apart. 22 If I may, Your Honor. 23 THE COURT: Yes. 24 MR. SANGER: Let me just help you with this. 25 All right? 26 Q. Now, I’ll ask you to go through 416. Just 27 kind of flip through it and see if that appears to 28 be the same documents that we showed you as being a 11556 1 copy of 416. 2 A. Yes. And the title of it is “Summary of 3 Petty Cash Expenditures,” and it lists dates and 4 various payees such as Banana Republic, Pacific 5 Sunwear, Levi’s. And then it has dollar amounts, 6 $160, $450, and has a running total that adds up to 7 $4,800 for about a one-month period. 4,800 for a 8 month period. 9 MR. SANGER: All right. May I retrieve the 10 book? I’d like to publish selected pages. 11 THE COURT: Yes. 12 MR. SANGER: Thank you. 13 And with the Court’s permission -- oops, 14 that’s probably why the book is broken. It’s 15 because I did it wrong. No? Okay. 16 With the Court’s permission, I would like to 17 take Exhibit 414, which has been received, and 18 publish some representative pages here of the 19 eight-page register, if I may. 20 THE COURT: Yes. 21 MR. SANGER: Okay. Thank you. 22 Q. Now I’m taking them out of the book. And 23 the first page of Exhibit 414, for the record, the 24 little glassine envelope has a “1” on the bottom and 25 it has a couple of computer disks inside. So I’m 26 going to go to 2, page two of Exhibit 414, and just 27 ask you if -- can you read that? Is it clear enough 28 or -- 11557 1 A. Yes. 2 Q. You can? Okay. Let’s just start at the 3 top. And all of these pages are set up the same 4 way; is that correct? 5 A. That is correct. 6 Q. All right. So they’ve got a date, which 7 appears to be obliterated by a hole punch. And then 8 it’s got “Number,” it says “N-U-M,” “Transaction,” 9 “Spend,” “C,” “Received” and “Balance.” Do you know 10 what those columns relate to in this Quicken 11 register? 12 A. Yes. The date is obviously the date. The 13 number is probably a transaction number. Either a 14 check number or a credit card number. The 15 “Transaction” is somebody putting a description as 16 to who the payee is and the reason for it. The 17 “Spend” is the amount of the transaction. And the 18 “Received,” as I was saying, was where somebody’s 19 putting money into that account. 20 So the first transaction is an $80 deposit, 21 so we have a balance of $80. The second transaction 22 is Five Star Parking for $6. And so our balance now 23 is only $74. And it goes into a running total. 24 Q. Okay. I’m sure everybody’s up to date with 25 us here, but the opening balance, somebody put -- 26 the opening balance is zero, and then on 2-20 they 27 record an $80 deposit, showing a balance of a 28 deposit of $80, correct? 11558 1 A. That is correct. 2 Q. And then you have the next transaction, $6 3 is spent, so that leaves you $74 -- 4 A. Yes, sir. 5 Q. -- right? 6 And you can follow this through. I’m going 7 to move this particular page up a little bit. You 8 had mentioned there was a $2500 deposit at some 9 point, and that appears to have occurred on 2-25-03, 10 2500, correct? 11 A. Yes. 12 Q. And looks like there was a negative balance 13 here after an expenditure at Robinson’s-May -- 14 actually, there’s been a negative balance for a 15 while here. And now the total is 2272.70, which 16 means that the $2500 then replenished that account; 17 is that correct? 18 A. That is correct. 19 Q. And in the various -- in the columns here 20 for the period of time covered by this register, you 21 have certain indications such as “Hair products for 22 Janet,” “Outback Restaurant, Janet,” and looks like 23 it says “Vinnie”? 24 A. Yes, sir. 25 Q. All right? And it also -- apparently “Gas 26 for rental car.” That’s also included in this 27 account; is that correct? 28 A. That is correct. I think the -- I think the 11559 1 account title is “Janet.” 2 Q. All right. All right. So if we take this 3 through to the end, there’s the same -- same 4 accounting procedure through the entire seven pages. 5 A. That’s correct. And when I came up with 6 that $7,000, I ran a mental total of all the 7 deposits, that 80, the 2500, and I came up with 8 around 7,000. 9 Q. Okay. And that’s why you’re an accountant 10 because you can do that fairly quickly. 11 All right. Now, let me turn to -- I’m going 12 to turn to the next exhibit, Your Honor. I just 13 need to do it carefully. To Exhibit 416. 14 And may I put that up on the board? 15 THE COURT: Yes. 16 MR. SANGER: It’s been previously received. 17 Q. Okay. You talked about 416 and you told us 18 that this appears to be what you reviewed. This is 19 a handwritten, obviously, expenditure sheet of some 20 sort; is that correct? 21 A. That’s correct. 22 Q. All right. And this appears to go from 23 2-26-03 to, looks like, 2-28-03? 24 A. Yes. 25 Q. Okay. In any event, this has -- the bottom 26 line for this period of time, it shows, you thought, 27 about $4,000 in expenses? 28 A. $4,817. 11560 1 Q. Now, they said “Cash left” of 180. So, to 2 be technically correct, I suppose you’d subtract the 3 180 from that 4800? 4 A. I believe that 180 is the amount of the 5 expenditure -- 6 Q. Oh, okay. 7 A. -- to the left. So -- 8 Q. Okay. 9 A. I don’t know what “cash left” means. 10 Q. But the rest of the things seem to be 11 expenditures of some sort for McDonald’s, Mobil and 12 so on, Baskin Robbins, I see, right? 13 A. That is correct. 14 Q. All right. Now, in the rest of Exhibit 416, 15 there are -- the first two pages, there were a 16 series -- there was a series of receipts; is that 17 correct? 18 A. That is correct. 19 Q. Now, you did not go through and attempt to 20 match all the receipts to expenditures; is that 21 right? 22 A. No, sir. 23 Q. I’m going to take page three and put this up 24 here. There’s a note, “Luggage for trip.” Do you 25 see this up there? 26 A. Yes, it appears to be to Wilson’s down at 27 the Camarillo Outlet. 28 Q. Wilson’s is a leather or luggage store? 11561 1 A. I believe it is. 2 Q. And then there’s a note, “Food,” and it 3 shows a Denny’s receipt? 4 A. Denny’s in Thousand Oaks. 5 Q. And I’ll take the next page here quickly. 6 I’ll put that back there. It appears to be a Banana 7 Republic receipt; is that correct? 8 A. Correct. It looks like they’re all from the 9 Camarillo outlets. 10 Q. Pacific Sunwear. So all of these seem to be 11 from the same general place? 12 A. Yes, sir. 13 Q. Okay. And basically, if you go through 14 here, based on your understanding of accounts and 15 documenting accounts, it appears that somebody at 16 least attempted to put together all the receipts, or 17 put together receipts that would back up the kind of 18 accounting document that you saw either in 414 or 19 the beginning of 416; is that correct? 20 A. Correct. Assuming that those match up. 21 Now, I didn’t match them up, no. 22 Q. And you weren’t asked to assume that every 23 single one of these receipts pertained to Janet 24 Arvizo. 25 A. No, sir. 26 Q. So if we look at Outback Steakhouse here, it 27 looks like there’s a number of different dinners 28 that were purchased on a particular evening; is that 11562 1 correct. Five guests? 2 A. That’s correct. It appears that the total 3 was $111, with a $10 tip. 4 Q. All right. And we’ve just gone through the 5 tip of the iceberg here to save time, but I think 6 there are -- if I’m not mistaken, in the exhibit 7 there are about 60 pages. The last number is 8 numbered 63. But assuming a couple of the pages are 9 for the handwritten accounting in this exhibit, 10 there are about 60 pages of documentation for this; 11 is that correct? 12 A. I would assume so, yes. Excuse me. 13 MR. SANGER: All right. I have no further 14 questions. 15 16 REDIRECT EXAMINATION 17 BY MR. AUCHINCLOSS: 18 Q. Just a couple of final questions. 19 As far as the Exhibits 414 and 416, 414 has 20 a number of entries indicating for Janet; is that 21 true? 22 A. That is my recollection, yes. 23 Q. Do any of the entries likewise indicate a 24 recipient of those services or goods for someone 25 else other than Janet? 26 A. I just remember seeing “Janet,” but I 27 couldn’t tell you every transaction, no. 28 Q. Okay. And do you know who prepared that 11563 1 document? 2 A. No, sir. 3 Q. Do you know where it came from? 4 A. Mr. Sanger gave it to me out of an evidence 5 book. 6 Q. Okay. But other than that, you don’t know 7 who prepared it or under what circumstances it was 8 prepared? 9 A. No. For some reason in the back of my mind, 10 I remember I was told it was Neverland Ranch or -- 11 but I don’t really -- 12 Q. Neverland Valley Entertainment? 13 A. But I don’t even know who that is. 14 Q. And as far as Exhibit 416, which has the 15 handwriting entries, those handwritten entries, by 16 and large, don’t associate those goods with any 17 individual; is that fair to say? 18 A. I’d have to look at the document. I thought 19 there was some indication, but I don’t remember. 20 Q. Do you remember seeing any entries that 21 indicated goods or services for Frank and Vinnie? 22 A. Those names I remember. 23 Q. Okay. So some of those entries were things 24 that Frank or Vinnie arguably received. At least 25 that’s what it indicates? 26 A. I would agree with that, yes. 27 Q. Were there entries for The Country Inn & 28 Suites? 11564 1 A. I don’t remember that particular entry. 2 Q. Were there entries for gasoline? 3 A. I remember seeing gasoline. 4 Q. Okay. And there were a number of entries 5 for fast food places; is that fair to say? 6 A. That is correct. 7 MR. AUCHINCLOSS: All right. Thank you. No 8 further questions. 9 MR. SANGER: No further questions. 10 THE COURT: Thank you. You may step down. 11 Call your next witness. 12 MR. SANGER: We’ll call Mercy Manrriquez. 13 And -- and, Your Honor, while the witness is 14 coming in here, maybe we could approach quickly on a 15 procedural matter. 16 THE COURT: Okay. 17 MR. SANGER: Try to handle this with the 18 clerk. 19 (Discussion held off the record at sidebar.) 20 THE COURT: Would you remain standing, 21 please, and face the clerk here and raise your right 22 hand. 23 24 MERCY DEE MANRRIQUEZ 25 Having been sworn, testified as follows: 26 27 THE WITNESS: I do. 28 THE CLERK: Please be seated. State and 11565 1 spell your name for the record. 2 THE WITNESS: Mercy Dee Manrriquez. 3 M-e-r-c-y, D-e-e, M-a-n-r-r-i-q-u-e-z. 4 THE CLERK: Thank you. 5 MR. SANGER: Okay. Your Honor, before we 6 start -- well, let me start with this so everybody 7 knows where we are. 8 9 DIRECT EXAMINATION 10 BY MR. SANGER: 11 Q. Miss Manrriquez, how are you employed? 12 A. I’m employed by the County of Los Angeles, 13 the Department of Public Social Services. 14 Q. What does the Department of Public Social 15 Services do? 16 A. The program I’m involved in -- we determine 17 eligibility for people that are requesting public 18 assistance. 19 Q. Okay. And you’re doing pretty much okay, 20 but maybe you can pull the right microphone up just 21 a little bit. It’s kind of a hard one to talk into. 22 A. Okay. Is that better? 23 Q. That’s a little better. You’re doing okay, 24 actually. All witnesses tend to fall off a bit if 25 we’re not careful. 26 Okay. So you determine welfare eligibility, 27 correct? 28 A. Yes. 11566 1 Q. Do you personally know an individual by the 2 name of Janet Ventura Arvizo? 3 A. No, I don’t. 4 MR. SANGER: We have subpoenaed the records 5 from the Department of Public Social Services and I 6 believe the clerk has them. And pursuant to prior 7 orders, they have not been opened by anybody. So I 8 would ask that -- 9 THE COURT: Do you have those? 10 MR. SANGER: And, Your Honor, I’m going to 11 ask that the witness and counsel be allowed to 12 inspect those documents. I believe the Department 13 of Public Social Services required a court order 14 that the witness be allowed to testify as to this 15 particular individual, if I’m not mistaken. 16 Is that correct? 17 THE WITNESS: That’s correct. 18 MR. SANGER: So we would request an order; 19 the Court order the witness to testify regarding 20 Janet Arvizo. 21 THE COURT: In anticipation of this this 22 morning, I reviewed these records. 23 Sorry. In anticipation of this this 24 morning, I reviewed these records, and I will make a 25 determination that the Court has waived the privacy 26 privileges involved and finds that the probative 27 value and the nature of these proceedings are such 28 that I will order the records revealed and order the 11567 1 Department of Social Services to answer the 2 questions propounded by both sides here today. 3 MR. SANGER: Thank you, Your Honor. 4 Procedurally, may both counsel take a quick 5 look at it, since we haven’t seen it yet? 6 THE COURT: Yes. 7 MR. SANGER: Can we approach and do that? 8 THE COURT: Why don’t you just take them. 9 There were several envelopes. The mailing envelope 10 I’m discarding. There was an envelope that also was 11 opened to ensure that the subpoena had been complied 12 with, and then I reviewed the records. 13 MR. SANGER: Okay. Could -- 14 THE COURT: Yes. 15 MR. SANGER: Could Mr. Auchincloss and I 16 just have a moment so we can see where we’re going? 17 THE COURT: Go ahead. 18 MR. SANGER: Your Honor, there are a few 19 pages in here that are upside down. And with the 20 permission of counsel, I’m going to turn them right 21 side up, if that’s all right. 22 THE COURT: All right. 23 MR. SANGER: Otherwise, I’ll try to leave it 24 in the same condition. 25 Your Honor, both counsel and I have had an 26 opportunity to review the documents that were 27 subpoenaed to the court. And I believe they were 28 delivered in January, if I’m not mistaken. And 11568 1 we’ve just now taken a look at them. 2 What I propose to do, if it’s all right with 3 the Court, I’d like to question the witness on these 4 documents, so I would ask that we mark them all as 5 one exhibit. There is the Court’s order endorsing 6 the subpoena duces tecum from November 5, 2004. I 7 would remove that, unless somebody wants to keep it 8 in there. 9 THE COURT: That’s fine to remove it. 10 MR. SANGER: I’ll remove that and we’ll just 11 give that back and lodge it with the Court. And 12 then I suppose the envelope and the -- all the 13 documents could be marked as one exhibit next in 14 order. 15 THE COURT: That will be fine. 16 THE CLERK: That would be 5106. 17 Q. BY MR. SANGER: Okay. We’re back to you. 18 Sorry to make you sit there so long. 19 All right. What I -- we have these 20 documents marked as Exhibit 5106 for identification, 21 and I would actually move to admit them at this time 22 as based on -- based on the Evidence Code section 23 1560 verification. 24 THE COURT: As official records? 25 MR. SANGER: As official records. 26 THE COURT: They’re admitted. 27 MR. SANGER: Thank you. May I approach the 28 witness? 11569 1 THE COURT: Yes. 2 Q. BY MR. SANGER: Now I’m going to ask you 3 just to flip through that, if you would, just so you 4 feel comfortable with what’s in there. And I am 5 going to go through and ask you questions on some of 6 the documents as we go along. 7 Okay. Miss Manrriquez, have you had a 8 chance to flip through those and get a feel for 9 what’s in there? 10 A. Yes, I did. 11 Q. All right. Now, I want to ask you some 12 questions in general, and then I’m going to come 13 down and retrieve those from you after a little 14 while. Not right now, so you can look at them. And 15 I’m going to ask permission to put some of them up 16 on the screen as we go along. But let’s start. 17 So you’re free to answer the questions, if 18 you know, directly. If you need to refer to the 19 file, indicate that you want to do that, and then we 20 can do that as well, okay? 21 A. Okay. 22 Q. So first of all, let me ask you some general 23 questions about welfare eligibility. 24 What is the function of the welfare 25 eligibility worker? 26 A. To determine eligibility for the 27 participants that are receive -- there’s the three 28 programs that I work, Cal-Works, which is cash 11570 1 assistance, food stamps, and Medi-Cal. 2 Q. Okay. And are these benefits distributed by 3 the State of California, the County of Los Angeles, 4 the federal government, or what? 5 A. The County of Los Angeles. The County of 6 Los Angeles. 7 Q. Okay. And wherever the funds come from 8 initially, it’s the County of Los Angeles that is 9 given the job of deciding who should get the funds? 10 A. Correct. 11 Q. Now, you said there are three categories. 12 The first one was Cal-Works; is that correct? 13 A. Cal-Works. 14 Q. Can you spell that so we can hear what 15 you’re saying? 16 A. C-a-l-W-o-r-k-s. 17 Q. It’s Cal-Works? 18 A. Correct. 19 Q. And Cal-Works is what kind of a program? 20 A. That’s the cash assistance. 21 Q. If somebody comes in and has an emergency 22 need for cash, can they -- I’m sorry. If somebody 23 comes in and they can make a showing that they have 24 a need for emergency cash, would it be distributed 25 under that program? 26 A. Yes. They need to meet the qualifications. 27 Q. Okay. Now, as to all of the programs, is 28 there -- I mean, this is an obvious question, but is 11571 1 there a bottomless pit of money that’s out there to 2 be distributed to people in California? 3 A. No. 4 Q. All right. Is it important to determine who 5 really needs the assistance? 6 A. Yes, it is. 7 Q. Why is that? It may be an obvious question, 8 but why is that? 9 A. In my opinion, I would think it would be to 10 cut down on the fraud. 11 Q. And if people come in and do not accurately 12 represent to you their assets or the availability of 13 funds or people to assist them in their living 14 expenses, does that keep you from doing your job 15 properly? 16 A. Yes, it would. 17 Q. And if they willfully exclude any of those 18 items I just mentioned, would that amount to fraud? 19 A. Yes, it would. 20 Q. It’s your job to try to eliminate fraud the 21 best you can or avoid fraud the best you can so you 22 give money to people who really deserve it and need 23 it; is that correct? 24 MR. AUCHINCLOSS: Objection. Argumentative; 25 leading. 26 THE COURT: Sustained. 27 MR. SANGER: All right. 28 Q. Now, do you have an opportunity to verify 11572 1 everything that people put in the written 2 applications to you? 3 A. No, not everything. 4 Q. Do you have an opportunity to verify 5 everything that people tell you orally in interviews 6 or over the phone? 7 A. No, not always. 8 Q. Do you have to depend on people telling the 9 truth when they fill out the various forms? 10 A. Yes. 11 Q. Now, one of the forms that you had there I 12 think was an eligibility form, and I think it’s -- 13 well, it’s called Statement of Facts. So I don’t 14 really know what it is. But I think you’ve got 15 something there called a Statement of Facts; is that 16 correct? 17 A. Yes. 18 Q. Can you tell us what the purpose of that 19 document is? 20 A. This is their application to determine their 21 eligibility. 22 Q. Do you depend on people to be honest when 23 they fill out a form like that, or fill out that 24 particular form? 25 A. Yes, we do. 26 Q. And do you make decisions as to who should 27 receive benefits based on the information in that 28 form? 11573 1 A. Yes. 2 Q. Is that form signed under penalty of 3 perjury? 4 A. Yes, it is. 5 Q. Now, were you the actual eligibility worker 6 who worked with Janet Arvizo to determine her 7 eligibility? 8 A. I was her intake worker. 9 Q. All right. And so as the intake worker, you 10 went over this form with her? 11 A. Yes. 12 Q. Do you have that form as part of the 13 exhibit? 14 A. Yes, I do. 15 Q. I’ve now forgotten what the exhibit number 16 is. I apologize. 17 MR. MESEREAU: 5106. 18 MR. SANGER: 5106. 19 Q. So you have 5106, which is the big packet of 20 information there? 21 A. Yes. 22 Q. And right towards the top is the actual 23 Statement of Facts application part of that? 24 A. You have two Statement of Facts in this 25 exhibit here. 26 Q. Okay. Is there a reason for that? Because 27 I have no idea. We just opened it. 28 A. The first one that’s dated 11-15-01, that’s 11574 1 her intake. The second one, which is dated 2 10-23-02, is her yearly affirmation. 3 Q. All right. Now, how many -- you’ve got one 4 application for November 15th of ‘01? 5 A. Correct. 6 MR. SANGER: Could I have the Post-its 7 there? Just the little ones. The little ones. 8 Q. You have the initial application and then 9 you have one for 2002; is that correct? 10 A. Correct. 11 Q. Do you have one for 2003? 12 A. No. 13 Q. All right. The first date was November 14 2001. The second one was November 2002; is that 15 right? 16 A. No. The first one is 11-15-01, and the next 17 one is 10-23-02. 18 Q. Okay. So 11-15, November 15 of 2001, and 19 then October-something of 2002, correct? 20 A. Correct. 21 Q. So if Janet Arvizo had continued, wanted to 22 continue to collect money through your office in 23 October or November of 2003, she would have had to 24 fill out an annual form at that time; is that 25 correct? 26 A. Yes. 27 Q. Is there also a monthly form that you have 28 to fill out when you’re receiving welfare? 11575 1 A. Yes, there is. 2 Q. And what monthly form is there? 3 A. It’s called a CEW7. CW7. 4 Q. CW7, okay. We have to learn a new 5 vocabulary every time we get into a new area. 6 So the CW7 is a monthly form. In order for 7 somebody to receive a check, do they have to file 8 that monthly form? 9 A. Yes. There are exceptions, but the norm is, 10 yes, you do file one every month. 11 Q. Now, I interrupted. We are going to come 12 back to the CW7 in a second, and the other one as 13 well. I interrupted you. 14 Cal-Works is a cash payment program. And 15 you have food stamps; is that correct? 16 A. Correct. 17 Q. And food stamps are certificates that can be 18 redeemed at a retail market, for instance, for food 19 products; is that correct? 20 A. Correct. 21 Q. And the idea is that these are given to 22 families so that they can buy food products or use 23 those to buy food products. 24 Is it a complete dollar-for-dollar sort of 25 thing, or is it a percentage off, or how does it 26 work? 27 A. No, it’s a dollar for dollar. 28 Q. You get so many dollars’ worth of food 11576 1 stamps. You can go to a food store and buy food, 2 and those count just like dollar bills? 3 A. Correct. 4 Q. The third category you told us about? 5 A. Medi-Cal. 6 Q. And that’s for medical care? 7 A. Correct. 8 Q. All right. If somebody is not covered by a 9 medical insurance program? 10 A. Correct. 11 Q. So if somebody is covered by a medical 12 insurance program, the medical insurance would pick 13 up the tab first; is that right? 14 A. That is correct. 15 Q. And then Medi-Cal will kick in if there is 16 anything left over? 17 A. Correct. 18 Q. All right. And with regard to Janet Arvizo 19 and her family, can you tell us if she received any 20 Cal-Works benefits? 21 MR. AUCHINCLOSS: I’ll object as vague as to 22 time. 23 THE COURT: Sustained. 24 MR. SANGER: Okay. 25 Q. Let’s do this. Can you tell us when Janet 26 Arvizo started receiving benefits of any sort 27 through your program and when she ceased receiving 28 benefits? 11577 1 A. Okay. According to what I have here, she 2 started receiving assistance, Cal-Works, in November 3 of ‘01 and stopped in January of ‘03. 4 Q. That was the Cal-Works? 5 A. Correct. 6 Q. Did she receive any other sorts of benefits, 7 food stamps or Medi-Cal? 8 A. Medi-Cal goes hand in hand with Cal-Works, 9 so she did receive that. 10 Q. I’m going to show you exhibits that have 11 already been admitted into evidence, these three 12 exhibits. They’re Exhibits 5100, 5102 and 5104. 13 May I approach, Your Honor? 14 THE COURT: Yes. 15 MR. SANGER: I’d put them up on the board, 16 but they’d be hard to see. So let me -- let’s put 17 this over here so we don’t get mixed up, and let’s 18 just take a look at those exhibits. 19 Q. 5100, does that appear to be a benefit 20 that’s distributed through your agency? 21 A. Yes, it is. 22 Q. And what does that appear to be a check for? 23 A. A check for the amount of $769 for 24 Cal-Works. 25 Q. That’s Cal-Works? 26 A. Correct. 27 Q. Okay. And then the 5102? 28 A. Also is a check made out to Janet Arvizo for 11578 1 $769 for Cal-Works. 2 Q. Now, that’s dated February 24, 2003, I 3 believe; is that correct? 4 A. February 15, 2003. 5 Q. I’m sorry. We have a deposit date here, but 6 the actual date of the check is February 15, 2003? 7 A. Yes. 8 Q. And, now, you indicated that your records -- 9 the records that were brought to the court and we 10 all looked at here just now seem to indicate she 11 received Cal-Works through January of ‘03. 12 A. Correct. 13 Q. Is that consistent with her receiving a 14 check dated February 15, ‘03? 15 A. February 15th, yes. 16 Q. In other words, the other records seem to 17 end January ‘03, and here we have a February 15, 18 ‘03, check. 19 A. Can I go back and make sure that I have 20 seen -- 21 Q. You’re welcome to do that. But so we don’t 22 waste time, if you look at the next one, 5104, it 23 appears to be a welfare check dated in March of 24 2003; is that correct? 25 A. Correct. 26 Q. That does look like one of your Cal-Works 27 checks? 28 A. Yes, it does. 11579 1 Q. With that in mind, so I didn’t have you do 2 it twice, can you tell from your records if it 3 appears that Miss Arvizo was, in fact, receiving 4 welfare checks through March of 2003? 5 A. Yes, through March of 2003. 6 Q. Okay. Now, that’s Cal-Works. The food 7 stamps, do you have any ability to determine when 8 she received food stamp assistance? 9 A. She started receiving food stamps 10 11-15-2001. 11 Q. And when do those records show that she 12 continued to receive the food stamps through? 13 A. There’s no -- 14 Q. Go ahead, sorry. 15 A. There’s not a printout of that. 16 Q. So you can see it started, but you can’t see 17 from the records that were delivered here to court 18 when it ended? 19 A. Correct. 20 Q. Okay. The Medi-Cal would have just followed 21 with the Cal-Works? 22 A. Correct. 23 Q. And so it would be your opinion that she 24 would have had Medi-Cal for uninsured medical 25 expenses at least through March of 2003; is that 26 correct? 27 A. At least through March 2003. 28 MR. SANGER: All right. Now, let me -- if I 11580 1 may approach and retrieve Exhibit 5106, and I’ll try 2 to put that up on the board, if that’s all right. 3 THE COURT: Yes. 4 MR. SANGER: Thank you. 5 I’ll take the envelope and the documents and 6 everything. There we go. 7 Your Honor, this part will be easy. This is 8 starting with the third page of this exhibit. I 9 suspect it will get a little more difficult as we go 10 along, but I’ll refer to this as the Statement of 11 Facts. It is the third page in the stack as I have 12 it here, if that’s all right. 13 And may I publish that? 14 THE COURT: Yes. 15 MR. SANGER: All right. 16 Q. All right. Well, we’ll start with this for 17 a second first. But I see the way this is 18 organized, for some reason, this is the -- the 19 current print date says 10-23-02; is that correct? 20 A. Correct. 21 Q. So this is the second one of those that you 22 were talking about; is that right? 23 A. Yes. 24 Q. All right. So let me, now that I’ve figured 25 that out, take that off and we’ll come back to this 26 in one second, and I’m going to mark that and come 27 back to it. 28 Now, more precisely, somewhere about a third 11581 1 of the way through this exhibit is something else 2 entitled “Statement of Facts.” 3 Is that close enough to identify it? 4 THE COURT: I think so. 5 MR. SANGER: Thank you. 6 THE COURT: There’s just two Statements of 7 Facts in the file? 8 MR. SANGER: That’s correct, Your Honor. 9 And I’m going to put the first page up. 10 Q. All right. Miss Manrriquez, it’s a little 11 hard to -- a little fuzzy there, but this apparently 12 is -- current print date is 11-15-01, correct? 13 A. Correct. 14 Q. It says, “Worker name, Mercy Manrriquez”? 15 A. Correct. 16 Q. That would be you? 17 A. Yes. 18 Q. All right. Is this Statement of Facts the 19 statement that you printed out after interviewing 20 Janet Arvizo? 21 A. Yes. 22 Q. Was she asked to review it carefully and 23 sign it if it was correct? 24 A. Yes. 25 Q. And at the end of this document, there is a 26 certification; is that correct? 27 A. Yes. 28 Q. And down at the bottom -- let’s see if we 11582 1 can -- I’ll leave it there. It says, in bold print, 2 “I declare, under penalty of perjury under the laws 3 of the United States of America and the State of 4 California, that the information in this Statement 5 of Facts is true, correct and complete.” Is that 6 right? 7 A. Yes, it is. 8 Q. And then you see what appears to be a 9 signature there. And that would be the signature of 10 the applicant in this case, Janet Arvizo; is that 11 correct? 12 A. That’s correct. 13 Q. And the date 11-15-01, correct? 14 A. Correct. 15 Q. Now, I note that the declaration statement 16 says, “the State of California,” because we’re in 17 the State of California, and it also says, “under 18 the laws of the United States of America.” 19 Are any of the funds, in part, federal funds 20 that are used for funding these programs? 21 A. Yes, it is. 22 Q. So somebody is being asked to not only swear 23 under the laws of California, but also the laws -- 24 the federal laws that what they say is true and 25 correct, correct? 26 MR. AUCHINCLOSS: Objection. Relevancy; 27 argumentative. 28 THE COURT: Overruled. 11583 1 Q. BY MR. SANGER: Is that correct, ma’am? 2 A. Yes, it is. 3 Q. Thank you. All right. Now, Question No. 47 -- 4 I don’t want to mix the pages up here, so this is a 5 page from the middle of this Statement of Facts from 6 11-15. It says “11-15-2001” there. 7 Question 47 says, “Does anyone, including 8 children, have any personal or business-related 9 resources?” Do you see that? 10 A. Yes, I do. 11 Q. Is that one of the standard questions? 12 A. Yes, it is. 13 Q. And Miss Arvizo answered, “No”; is that 14 correct? 15 A. That’s correct. 16 Q. Miss Arvizo did not disclose to you on 17 November 15, 2001, that on November 5, 2001, she 18 personally had received $32,308, did she? 19 A. No, she did not. 20 Q. If she had disclosed that, would that have 21 resulted in a different answer to that question? 22 A. Yes. 23 Q. Now, it says, “Children.” Did Miss Arvizo 24 advise you at that time that her children had also 25 received -- one of them had received $25,000 on that 26 same date? 27 A. No. 28 Q. The other child had received, I believe it 11584 1 was, in excess of 10,000, off the top of my head. I 2 don’t remember. But did she disclose anything like 3 that? 4 A. No, she did not. 5 Q. Did she disclose that her ex-husband had 6 received money from a court settlement as well? 7 A. No, she did not. 8 Q. If she had disclosed that, would that have 9 been a material fact that you would have wanted to 10 know in evaluating whether or not she was eligible 11 for welfare? 12 A. That would have been something we needed to 13 know. 14 Q. Now, how long back does this relate? In 15 other words, what I just asked you about was within 16 ten days of signing this, November 5th. How far 17 back does this relate? Does it go back a year, two 18 years, three years? What’s the -- when a question 19 like this is asked? 20 A. As long as the participant has the resource 21 they need to put it in no matter what the date is as 22 to when they received it. 23 Q. All right. And is it the obligation of the 24 applicant on the monthly eligibility reports to 25 report any change in any of these circumstances? 26 A. Yes, it is. 27 Q. Question No. 48, “Does anyone get or expect 28 to get money from any of the above resources, such 11585 1 as interest, dividends, et cetera?” 2 If somebody had -- let’s take the children. 3 If one of the children, say, had $25,000 in a bank 4 account that was earning interest, would it be 5 necessary to disclose that under Question 48? 6 A. Yes, it would be necessary. 7 Q. And again, the answer there is “No”; is that 8 correct? 9 A. That’s correct. 10 Q. And you relied on Mrs. Arvizo telling you 11 that that was the answer? 12 A. Yes, I did. 13 Q. I’m going to put up the next page, with the 14 Court’s permission. The next page is -- I’m going 15 to direct your attention to Question No. 53. 16 Now, that one says, if I may read it, “Has 17 anyone received money from insurance or court 18 settlements, inheritance, lottery or back pay in the 19 last three years (36 months)?” 20 Do you see that? 21 A. Yes, I do. 22 Q. And the “anyone” would be the applicant or 23 the children of the applicant; is that correct? 24 A. Correct. 25 Q. Did Mrs. Arvizo disclose to you that she had 26 just received a settlement, a court settlement, of 27 $152,000, less attorney’s fees and costs? 28 A. No. 11586 1 Q. Would that have been a material 2 consideration on your part in determining her 3 eligibility? 4 A. Yes. 5 Q. And if she, in fact, had received such a 6 settlement, would that be fraud, to fail to disclose 7 it on this form? 8 A. Yes, it would be. 9 Q. I’m going to put up the next page, with the 10 Court’s permission. I did it before asking, I 11 suppose, but.... 12 THE COURT: That’s all right. 13 MR. SANGER: Thank you. 14 Q. Look at No. 62. “Does anyone have health, 15 dental, vision, hospitalization or long-term care 16 insurance or health plans, such as Kaiser, Blue 17 Cross, CHAMPUS, et cetera?” 18 Do you see that? 19 A. Yes, I do. 20 Q. Did Miss Arvizo tell you she did not have 21 such? 22 A. Correct. It says, “No.” 23 Q. So if she, in fact, had health insurance, 24 comprehensive health insurance for her children 25 under Kaiser, would that be a false answer? 26 A. Yes, that would be false. 27 Q. And that would also be fraud, would it not? 28 A. Correct. 11587 1 MR. AUCHINCLOSS: I’m going to object to the 2 characterization as calling for a legal conclusion. 3 THE COURT: Sustained. 4 Q. BY MR. SANGER: Okay. Whatever we want to 5 call it here, you are trying to -- I think you told 6 us you’re trying to avoid fraud? 7 A. Correct. 8 Q. And if we -- let’s put it this way: In 9 layman’s terms, rather than describing it in legal 10 terms, so we don’t get into a legal definition of 11 fraud, if somebody tells you something that is 12 materially false with regard to their assets or 13 income, and you grant them welfare based on those 14 false statements, is that what you’re referring to 15 as fraud? 16 A. Yes. 17 MR. AUCHINCLOSS: Same objection. 18 THE COURT: Overruled. The answer’s in. 19 Next question. 20 Q. BY MR. SANGER: All right. Now, in this 21 packet, there were monthly -- I didn’t see a monthly 22 eligibility report for every month. Did you? 23 A. No, I did not. 24 Q. Does that mean they don’t exist, or they 25 just didn’t end up being produced here? 26 A. It could mean either/or. 27 Q. Okay. If somebody continues to receive 28 welfare of the type you described through March of 11588 1 2003, you would expect them to have to fill out 2 monthly eligibility reports, correct? 3 A. Yes, monthly, until I believe it was in July 4 of 2002 we went into a quarterly reporting system. 5 Q. Okay. So monthly up to July of 2002 and 6 then it was quarterly? 7 A. I believe it was July. 8 Q. All right. I’m going to turn to some of the 9 other pages. By the way, these pages don’t seem to 10 be in chronological order, do they? 11 A. I don’t know. 12 Q. Okay. 13 A. They should be. 14 Q. Okay. Well, that’s all right. I didn’t -- 15 let’s -- I’m going to try to keep the pages together 16 here. 17 I’m going to go a few more pages into the 18 materials. And these two pages are next to each 19 other, so I’m going to ask to put these up one after 20 the other and see if they have anything to do with 21 anything. 22 All right. The first page is something 23 entitled, “Application for Cash Aid, Food Stamps, 24 and/or Medi-Cal, State CMSP (CW1).” 25 Now, I heard about a CW7 earlier. The “7” 26 is the monthly report? 27 A. Yes, it is. 28 Q. Okay. So this is a CW1. What is the 11589 1 purpose of this? 2 A. The CW1 is taken when the participant first 3 comes in, into our office. This is the first page 4 of their application. 5 Q. Oh, okay. So this -- in this packet, it 6 follows that Statement of Facts, but actually this 7 would have been part of the application? 8 A. The original. 9 Q. Okay. And if we look down here, it says, 10 “I need” -- I think everybody can see it there. 11 Here we go. 12 Right here, it says, “I need,” and it says, 13 “Cal-Works, immediate need payment; yes.” “Food 14 stamp, expedited service; yes.” “Medi-Cal or are 15 pregnant and have an immediate medical need; yes,” 16 correct? 17 A. Correct. 18 Q. And that would have been Janet Arvizo’s 19 request? 20 A. Yes. 21 Q. And this would be the signature of Janet 22 Arvizo, the applicant? 23 A. Correct. 24 Q. The date, 11-15-01? 25 A. Correct. 26 Q. And what’s that? Looks like the signature 27 of a witness? 28 A. That’s the signature of our -- one of our 11590 1 clerks that takes the application at the window. 2 Q. So the clerk is certifying that Janet Arvizo 3 is signing this on that date; is that correct? 4 A. Correct. 5 Q. Okay. And this particular form says that 6 the person certifies that they got a cover sheet, 7 and it says, “I understand and agree that I have to 8 comply with eligibility rules, some of which I may 9 be asked to do before any aid can be given. I 10 understand the statements I have made on this form 11 may be checked and verified,” correct? 12 A. Correct. 13 Q. And there’s another entry there. The last 14 part before the signature says, “I declare, under 15 penalty of perjury under the laws of the United 16 States of America and the State of California, that 17 information I have given on this form is true and 18 correct and complete” -- “true, correct and 19 complete,” right? 20 A. Correct. 21 Q. So this is signed under penalty of perjury 22 as well. 23 The next page in the file, and I’m quite 24 frankly not sure if this goes directly with it or 25 not, can you tell us what that page is? 26 A. Those are the notices that have been issued 27 to the participant, and, no, it does not go with 28 that first page. 11591 1 Q. Okay. It’s also dated 11-15-2001, correct? 2 A. Correct. 3 Q. So this is basically a receipt that the 4 person who is applying for welfare payments 5 acknowledges that the following items were reviewed 6 with her and issued to her today, on 11-15-2001, 7 correct? 8 A. Correct. 9 Q. And included in those are the cover sheet of 10 the application for cash aid, food stamps and/or 11 Medi-Cal, correct? 12 A. Correct. 13 Q. And it says, “Cover Sheet.” Does that mean 14 that’s the whole Statement of facts? 15 A. No. That’s the cover sheet. There is a 16 cover sheet that goes on it. 17 Q. And is this issued before they sign the 18 Statement of Facts? 19 A. It’s issued after. 20 Q. After. Is there reference to the Statement 21 of Facts here in all these code numbers? 22 A. The reference would be both on the SAWS 1 23 and SAWS 2A. They would give them all their 24 responsibilities. 25 Q. All right. So the idea that you’re signing 26 under penalty of perjury and telling the Department 27 of Public Social Services that what you’re saying is 28 the truth is covered by one or more of these forms; 11592 1 is that correct? 2 A. Yes. 3 THE COURT: All right. We’ll take our break. 4 (Recess taken.) 5 THE COURT: Counsel? 6 MR. SANGER: May I proceed? 7 THE COURT: Yes. 8 MR. SANGER: Your Honor, we had on the board 9 a page that we’ve been talking about, which, for the 10 purpose of the record, is the best way to put it. 11 And I want to put it back up on the board. 12 THE COURT: All right. 13 MR. SANGER: Thank you. 14 Q. Now, this was the page that -- you were just 15 telling us about this page, and down at the bottom 16 there, it has “Client’s Signature.” Would that be 17 Janet Arvizo’s signature? 18 A. Yes, it would. 19 Q. And that’s dated 11-15-2001. That would 20 have been the date that she signed that? 21 A. Correct. 22 Q. And it says, “Copy to client.” So the 23 client, that being Janet Arvizo, would have gotten a 24 copy of this as well; is that correct? 25 A. Correct. 26 Q. Now I’m going to put up the next page in 27 order in the exhibit, 5106. 28 Looking at the top part, did this have 11593 1 something to do with the application of Janet Arvizo 2 on 11-15-01? 3 A. That’s what they use to clear her name, and 4 if she had a previous record, case, with the county. 5 Q. All right. So when you’re -- it’s like 6 running a records check; is that correct? 7 A. Yes. That’s our Medi-Cal system that that 8 form is from. 9 Q. And the date is 11-15-01, so that would have 10 been when that was done? 11 A. Correct. 12 Q. I see some handwriting on the bottom. Is 13 that your handwriting? 14 A. No, it’s not. 15 Q. Okay. What would be the purpose of this 16 type of a note in the file? 17 A. That -- you know, we don’t have a screener. 18 The intake worker that was interviewing her before 19 me would have taken notes down. And once it became 20 aware to that intake worker that it was a domestic 21 violence, and then she referred her to me. 22 Q. Okay. That’s interesting. You can turn 23 around a bit, it will make it easier, and I’ll ask 24 you about that in a minute. Turn around this way, 25 and that will make it easier to talk into the 26 microphone. 27 You said the case was referred to you 28 because it was domestic violence? 11594 1 A. Correct. 2 Q. Do you have some particular role there with 3 regard to domestic violence cases? 4 A. I was the intake domestic violence worker. 5 Q. So when Janet Arvizo first came in, she 6 talked to another intake worker; is that correct? 7 A. Correct. 8 Q. And that intake worker would have gone over 9 the same questions; is that correct? 10 A. Not on the application. 11 Q. Okay. 12 A. Which does a screening first to see what the 13 participant needs. 14 Q. Okay. So a preliminary kind of screening? 15 A. Correct. 16 Q. And then when it was determined who should 17 get the final screening, it was sent to you to do 18 the final screening? 19 A. The final intake. 20 Q. All right. Now, the intake worker -- and 21 now you can turn around, if you like, and take a 22 look. 23 The intake worker made a note here, and this 24 says, looks like, “Mother and three children, all 25 U.S. born,” and then it indicates, “Gavin has 26 cancer. Advised mother to apply for SSI.” 27 Would that be an ordinary kind of a note? 28 A. Yes. 11595 1 Q. And that would be the course of action that 2 an intake worker might pursue; is that right? 3 A. Correct. 4 Q. So in addition to the benefits that are 5 being sought through your office, Janet Arvizo was 6 advised that she could apply for benefits through 7 the federal government through SSI; is that correct? 8 A. Correct. 9 Q. And that’s a program under Social Security, 10 correct? 11 A. Correct. 12 Q. It also indicates - and I’m going to 13 lengthen the abbreviations, unless I’m wrong, so 14 tell me - “Month last worked was 10-31-01 due to 15 surgery on her foot”; is that correct? 16 A. Correct. 17 Q. And then it says, “On DIB.” I guess 18 disability? 19 A. Correct. 20 Q. $104 a week for disability that she was 21 getting? 22 A. Correct. 23 Q. Now, it says, “No bank accounts. No cars.” 24 A. Correct. 25 Q. Does that reflect, in the ordinary course of 26 business in your department, that somebody would 27 have asked her, “Do you have any bank accounts?” 28 A. Yes, we did. 11596 1 Q. And any cars? 2 A. Yes. 3 Q. And you not only ask for cars, but you ask 4 for access or use of a vehicle; is that right? 5 A. Correct. 6 Q. And according to this, there was no bank 7 accounts and no use of a vehicle? 8 A. Well, the “no cars” would be that she was -- 9 does not own a vehicle. 10 Q. Fair enough. And “no bank accounts” would 11 be no bank accounts, right? 12 A. Correct. 13 Q. All right. And then it says -- what’s the 14 abbreviation down there? 15 A. It says, “Part.” Participant. 16 Q. Participant, okay. “Participant also 17 applying for divorce due to domestic violence,” 18 “DV”? 19 A. Correct. 20 Q. So this would have been information coming 21 from Janet Arvizo to that first worker; is that 22 correct? 23 A. Correct. 24 Q. And when you got the file, then, you would 25 have looked at that note in the file? 26 A. Right. 27 Q. And in fact, that’s the reason it was sent 28 to you particularly, because it was a DV case, 11597 1 domestic violence case? 2 A. Right. 3 Q. All right. The next -- ask leave to put up 4 the next piece of paper in order, if I may. 5 THE COURT: You may. 6 Q. BY MR. SANGER: And this is another piece of 7 paper. It says “Emergency” on the side there. 8 Whose handwriting is that; do you know? 9 A. No, I don’t. 10 Q. Would that be the applicant’s handwriting? 11 A. No, I believe it would be one of our clerks. 12 Q. So it would probably be an intake worker of 13 some sort? 14 A. No, one of our clerks, the receptionist. 15 Q. So this would be the very first page, the 16 very first piece of paper in the process? 17 A. Correct. 18 Q. Okay. And it shows the applicant as 19 applying for various benefits, and it says, “Are you 20 in need of emergency?” I think that’s what it says. 21 “Are you in need of emergency”? 22 A. Correct. 23 Q. Right? 24 A. Correct. 25 Q. By that we mean emergency benefits, correct? 26 A. Correct. 27 Q. And then down here it says, “Domestic abuse, 28 child and spousal,” correct? 11598 1 A. Correct. 2 Q. And this is based on information that would 3 have been obtained from Janet Arvizo herself? 4 A. Correct. 5 Q. An emergency -- an emergency request, as 6 noted up here on the end, is that noted for some 7 reason in your department? 8 A. Yes, in order to expedite services to that 9 participant. 10 Q. And why do you -- I mean, it may be obvious, 11 but explain why you have a process to expedite 12 services. 13 A. One might be the family’s in danger. We 14 don’t want to put the children in -- and, you know, 15 the woman back in there. 16 Q. All right. And so they need to have money 17 right away so they can go someplace to be safe? 18 A. Well, not always cash, but we can locate a 19 shelter. 20 Q. Okay. And so when you say “emergency,” it 21 means, “We need” -- “We’re just not going to put 22 this in the system and go through the normal 23 process; we’re going to pay special attention to 24 your case”? 25 A. Correct. 26 MR. SANGER: All right. I’m going to put up 27 5099, if I may. That’s been received. 28 THE COURT: All right. 11599 1 Q. BY MR. SANGER: If you were aware -- you 2 haven’t seen this before, but this is admitted into 3 evidence. 4 If you were aware that Janet Arvizo 5 personally, in addition to what her children got, 6 had received a check for $32,000, $32,308, and that 7 she had -- it’s dated on November 2nd -- that she 8 had actually deposited it in her bank on November 9 5th, 2001, would that have affected your decision as 10 to whether or not this was an emergency case? 11 A. Yes, it would. 12 Q. Okay. Now, you mentioned that there was a 13 need to fill out a monthly application form, or a 14 monthly -- I’m sorry, what do we call it? It was a 15 monthly form to show that there were no changes; is 16 that correct? 17 A. Correct. 18 MR. SANGER: All right. Sorry, Your Honor, 19 excuse me just one second. 20 Q. I may be wrong, but I’m not sure that I find 21 all the monthly eligibility reports in here. Did 22 you see a set for monthly and then quarterly? 23 A. I didn’t see a set. I believe I saw one. 24 MR. SANGER: Yeah. With the Court’s 25 permission, I’ll put this up. 26 THE COURT: All right. 27 Q. BY MR. SANGER: And this, for the record, is 28 from 5106 and it’s a page somewhere in the middle. 11600 1 I’ll put it back in the same order. 2 Now, this particular form -- this is the 3 monthly eligibility report that you would expect to 4 be filled out by applicants each month to be 5 entitled to welfare assistance the next month; is 6 that correct? 7 A. Correct. 8 Q. Skipping down to the bottom, this one is 9 dated 1-10-03, correct? 10 A. Correct. 11 Q. Okay. It appears, it says here, “Received 12 January 9, ‘03.” And then it says, upside down, 13 “SCU scanned.” What does that mean? 14 A. We have clerks that scan the reports as they 15 come in. 16 Q. Is it possible that these other reports are 17 scanned in the system somewhere and they just didn’t 18 make it to the court documents? 19 A. Yes. 20 Q. In fact, you would expect that, if somebody 21 received -- 22 A. Correct. 23 Q. If somebody received assistance the entire 24 time, you would expect to have these every month? 25 A. Yes. If not, their case would be 26 terminated. 27 Q. This is really hard to read, so -- I’m going 28 to try to make it harder. I’ll make it a little 11601 1 easier there. 2 This question, No. 3, is that a standard 3 question on all of these monthly eligibility 4 reports? 5 A. Yes. 6 Q. And what’s the purpose of Question No. 3? 7 A. It’s to determine eligibility. 8 Q. And in essence, you want to find out if, 9 during the last month or since the last report, 10 there has been any change, people have come up with 11 some money from some source; is that right? 12 A. Correct. 13 Q. And it says, “Did anyone receive money or 14 benefits from any other source?” All right? 15 A. Correct. 16 Q. And it says, “Include child, spousal 17 support, interest or dividends.” 18 Now, that would pertain to interest or 19 dividends on accounts that were held in the name of 20 children; is that right? 21 A. Correct. 22 Q. I’ll skip over here. “Legal settlements, 23 strike benefits.” Cash is included; is that right? 24 A. Correct. 25 Q. And it wouldn’t matter whether it was cash 26 in greenbacks, as they say, or if it was a cashier’s 27 check; is that right? 28 A. Correct. 11602 1 Q. Or a regular check, right? 2 A. Correct. 3 Q. Gifts? So a gift would count, right? 4 A. Correct. 5 Q. Loans? If somebody said, “Well, I’m going 6 to loan it to the person. If they can pay it back, 7 fine, and if they can’t, it’s okay,” it would still 8 go in there, right? 9 A. It would still go in the record. 10 Q. There’s a number of other things here. 11 Basically that’s intended to describe what you mean 12 by “Anyone receive money or benefits from any other 13 source,” right? 14 A. Correct. 15 Q. Okay. Now, on 1-10-03, it appears that this 16 applicant said, “No change,” and checked the box 17 “No” there; is that correct? 18 A. Correct. 19 Q. There is a second page to this form, is 20 there not? 21 A. The reverse side. 22 Q. Should be on the other side? Ahh. Yes, 23 there is. How about that? 24 And on this form Question 7, it says, “Did 25 anyone move in or out of your home, or did you move 26 in with someone else?” Correct? 27 A. Correct. 28 Q. And if somebody had moved in with their 11603 1 boyfriend and were living there, you would want to 2 know about it? 3 A. Yes. 4 Q. What if somebody was just living there about 5 half the time. Would you still want to know about 6 it? 7 A. Yes. 8 Q. And this person said, “No.” Is that 9 correct? 10 A. Yes. That’s correct. 11 Q. And then, just in case, it’s hard to make it 12 fit yet be able to read it. But in this particular 13 case, it says, “Does anyone have anything else to 14 report, including expected changes, et cetera?” 15 Right? 16 A. Correct. 17 Q. So you’re really telling them, “Look, be 18 honest with us. Tell us what’s going on in your 19 life,” right? 20 A. Yes. 21 Q. And then this form was signed by Janet 22 Arvizo on 1-1-03; is that correct? 23 A. Correct. 24 Q. And was that form relied upon by your office 25 for the purpose of disseminating welfare benefits? 26 A. Yes. 27 Q. And you saw some of these checks that I 28 showed you, I think three checks there, from 11604 1 January, February and March of 2003, the last one 2 being March 17, 2003. Were those checks, based 3 on, in at least one case, this particular form, and 4 in all cases on filing a similar form? 5 A. Yes, it is. 6 Q. Now, if somebody received $600 in cash at 7 Christmas because they said they really needed money 8 and a nice person said, “Here, I’m going to give you 9 $600,” is that something that should have been 10 reported on such a form? 11 A. Yes. 12 Q. Would that affect eligibility? 13 A. It could affect eligibility. 14 Q. Okay. In February of 2003. Now we have a 15 March 17, 2003, check showing welfare was still 16 being received. 17 If a person received a check in the amount 18 of -- I’m sorry, either check or cash in the amount 19 of $2,000 on February 20th, is that something they 20 should have reported to welfare? 21 A. Yes. 22 Q. If a person were receiving several thousand 23 dollars for their living expenses from various 24 sources, from a corporation and from an individual, 25 during a period of time from February to early 26 March, is that something that should have been 27 reported by the person before accepting a March 17 28 welfare check? 11605 1 A. Yes. 2 MR. SANGER: With the Court’s permission, 3 I’ll put up the next page in order. 4 THE COURT: Yes. 5 Q. BY MR. SANGER: Oh, before I do that, let’s 6 assume somebody receives a windfall. They get a lot 7 of money and they got their February check and they 8 know they got all this money. They don’t report it 9 for some reason, and they get their March 17 check. 10 Is it proper for them to keep that check? 11 A. It all depends when they received this 12 amount of money. 13 Q. If they received the -- let’s say they 14 received the amount of money between -- during the 15 month of February and then they go ahead and get a 16 check March 17, and deposit it or cash it sometime 17 later in the month. Is that appropriate or should 18 they refuse to cash it? 19 MR. AUCHINCLOSS: I’m going to object as 20 vague as to the term “appropriate” or “proper.” 21 THE COURT: Overruled. 22 You may answer. 23 THE WITNESS: They should report it. And if 24 they received it in January, it would affect their 25 March. 26 Q. BY MR. SANGER: Okay. Would February affect 27 their March? 28 A. We would consider it as a resource and we 11606 1 would have to do a work sheet on it. Yes, it would. 2 Q. So before they are really entitled to a 3 March 17 check, you’d theoretically want to know 4 about what money they received in February? 5 A. Yes. 6 Q. And welfare -- recipients of -- people who 7 are receiving these benefits from the government are 8 advised, are they not, that they have to report any 9 significant changes in their situation? 10 A. Yes. 11 MR. SANGER: I’m going to now, if I may, put 12 up the next page. 13 Q. First of all, who is Pamela Adkins? 14 A. I believe she’s another worker at the 15 Lincoln Heights office. 16 Q. So we have, “Attention: Pamela Adkins” with 17 a little heart over the “i” there. So this is a 18 note to somebody in your office; is that correct? 19 A. Correct. 20 Q. And the fax number, is that a fax number 21 you’re familiar with? 22 A. That’s a fax number to Lincoln Heights. 23 Q. All right. I’m not sure -- let me just see, 24 here. Don’t -- just -- if I may, let me put it up 25 and see if you can read it there. Otherwise I’ll 26 bring it up to you. 27 Can you tell what the fax date on this is? 28 A. No. 11607 1 MR. SANGER: Okay. May I approach the 2 witness? 3 THE COURT: Yes. 4 Q. BY MR. SANGER: Of course now you’re sitting 5 in the dark, which is apparently my fault here. But 6 can you see that? 7 A. I can see partially. 8 MR. SANGER: If I may just ask the question 9 up here, Your Honor. 10 THE COURT: Yes. 11 Q. BY MR. SANGER: Can you tell me what date 12 that was faxed? 13 A. It appears to be March 3rd, 2003. 14 Q. Okay. Very well. Now I’m going to put this 15 up again. And it says, “I, Janet Arvizo, chooses to 16 discontinue and be off of the welfare system aid 17 effective today, 3-3. Thank you so much, Janet 18 Arvizo.” Do you see that? 19 A. Yes, I do. 20 Q. Do you often receive letters like this? 21 A. We do receive. 22 Q. So people tell you that circumstances have 23 changed and they’re no longer going to be on 24 welfare? 25 A. Yes. 26 Q. After this was sent, apparently this check 27 of March 17 was cut and eventually sent to Janet 28 Arvizo. Why would that be? 11608 1 A. Because we have a cut-off date. If they 2 wanted their aid terminated the beginning of March, 3 that would be for the end of February they would 4 give us notice. But this seems that she did this in 5 March, and everything was already mailed out to be 6 batched out. 7 Q. So the check was in the pipeline one way or 8 another? 9 A. Right. 10 Q. All right. Now, if this person who wrote 11 this, Janet Arvizo, had, in fact, during the month 12 of March, between -- I’m sorry, let me withdraw 13 that. 14 During the month of February of 2003, if 15 Janet Arvizo had received several thousand dollars 16 in gifts, spa treatments, trips to Miami, private 17 jet flights, lodging, food, if she had received that 18 sort of thing during the month of February, should 19 she have reported that to the welfare department? 20 A. Yes. 21 Q. Now, if Janet Arvizo had, in fact, been 22 living with her boyfriend, a major in the United 23 States Army, who was paying her expenses and 24 depositing her welfare checks in his bank account, 25 should she have reported that? 26 MR. AUCHINCLOSS: I’m going to object as 27 compound and assumes facts not in evidence, improper 28 hypothetical. 11609 1 MR. SANGER: I’ll break it down, if you 2 like. 3 THE COURT: The objection is sustained. 4 Q. BY MR. SANGER: Okay. Let’s take it one at 5 a time. 6 If a person were -- I think I asked you this 7 part already, but let me just be sure. If a person 8 were residing -- a welfare applicant or participant 9 were residing with her boyfriend in his apartment, 10 is that something that should have been reported to 11 the welfare department before accepting checks? 12 A. Yes. 13 Q. If that person, in this case Janet Arvizo, 14 were in fact depositing her welfare checks into her 15 boyfriend’s bank account, is that something that 16 should have been reported? 17 A. Yes. 18 Q. If the boyfriend were a major in the United 19 States Army, with a base pay, exclusive of 20 allowances, a base pay of over $5,000, is that 21 something that should have been reported to the 22 welfare department? 23 A. Yes. 24 Q. If the boyfriend, the major in the United 25 States Army, were, in fact, paying expenses for 26 Janet Arvizo, is that something that should be 27 reported? 28 A. Yes. 11610 1 Q. Would each of those factors have an impact 2 on the eligibility of that person to receive 3 welfare? 4 A. Yes. 5 Q. And I’ll ask you to assume, for the moment, 6 that those facts are true that I just recited with 7 regard to the boyfriend. Janet Arvizo was living 8 there. He was a major in the United States Army. 9 He was depositing her checks and he was paying some 10 of the expenses, and his income was $5,000 -- more 11 than $5,000 per month base pay. Would that cause 12 her to be ineligible for the type of welfare that 13 you see in this file? 14 A. No. 15 Q. So she would still be able to get all this 16 welfare? 17 A. Not “all.” 18 Q. Okay. How would it affect her welfare? 19 A. We would determine what the cost -- what 20 he’s paying, and we would include it as in-kind, and 21 we would deduct that from the amount of her grant. 22 If he’s purchasing -- and they’re purchasing and 23 preparing their food together, their whole income 24 has to be counted as one. 25 Q. All right. So you would have to do a 26 calculation to see if she’d still be entitled to 27 welfare? 28 A. Correct. 11611 1 Q. Now, if he had an automobile and she had the 2 use of the automobile, is that something that you 3 would want to have reported? 4 MR. AUCHINCLOSS: I’m going to object. 5 Assumes facts not in evidence. 6 MR. SANGER: The testimony of Mrs. Arvizo. 7 THE COURT: The objection is overruled. 8 Q. BY MR. SANGER: Is that something you would 9 want to know? 10 A. If the vehicle’s not in her name, it would 11 not be counted towards her grant. 12 Q. So there’s a question on the original form 13 about having the use of a vehicle. Is that 14 something you do not have to disclose in the monthly 15 updates? 16 A. Not on a monthly update. 17 Q. Okay. Now, if somebody is receiving more 18 welfare than they’re entitled to, is that a concern 19 that you have? 20 A. Yes, it is. 21 Q. And you had mentioned in your lay version of 22 fraud -- I’m not asking for a legal opinion, but you 23 said you were trying to avoid fraud. Is that fraud 24 that you’re trying to avoid? 25 A. Yes. 26 MR. SANGER: Now I’m going to refer -- if I 27 may, Your Honor, this is the one I put up first, the 28 Statement of Facts, which turns out to be 11612 1 chronologically second. 2 I wanted to make sure everything was in the 3 same order. 4 Q. Taking a look at this, this says -- this is 5 a Statement of Facts, and it says, “Current print 6 date 10-23-02,” correct? 7 A. Correct. 8 Q. And I think we covered before that it says, 9 “For application dated 11-15-01”; is that right? 10 A. Correct. 11 Q. So the next year, this is the one where Miss 12 Arvizo came back and talked to Pamela Adkins in your 13 office; is that right? 14 A. Correct. 15 Q. And we go through the same questions here as 16 of 10-23-02 that we covered in the other form. The 17 form remains the same. It didn’t change; is that 18 right? 19 A. Correct. 20 Q. And there remains the question, for 21 instance, No. 53, which I’ll now put up with the 22 Court’s permission: “Has anyone received money from 23 insurance or court settlements, inheritance, lottery 24 or back pay in the last three years?” Correct? 25 A. Correct. 26 Q. So once again, that same settlement -- if a 27 settlement were received for $152,000 November 5th, 28 2001, that should have been disclosed in response to 11613 1 that question even a year later, correct? 2 A. Yes. 3 Q. And if the children of the applicant still 4 had bank accounts that had money in them, is that 5 something that should have been disclosed in this 6 form? 7 A. Yes. 8 Q. And it appears that it was not disclosed in 9 this form; is that correct? 10 A. Correct. 11 MR. SANGER: And I’m going to put the last 12 page on, if I may, Your Honor. 13 THE COURT: Yes. 14 Q. BY MR. SANGER: And this is the signature 15 page, once again showing under penalty of perjury 16 under the laws of the United States of America and 17 the State of California; is that correct? 18 A. Correct. 19 Q. And it appears that Janet Arvizo signed this 20 form on 10-23-02? 21 A. Correct. 22 Q. And the -- besides the monthly and later 23 quarterly updates -- I always forget the name of 24 that. Whatever they’re called, the monthly 25 eligibility reports. In addition to that, the 26 department, your department, relies on these 27 Statement of Facts, these annual Statement of Facts 28 in order to award welfare? 11614 1 A. Correct. 2 Q. All right. I’m going to put -- actually, 3 this part of it being a little bit out of order 4 here, there are a number of documents that you 5 use -- or let me withdraw that. 6 There are a number of documents generated 7 when there’s a claim of domestic violence; is that 8 correct? 9 A. Correct. 10 Q. Do the applicants always bring in their 11 police reports and divorce papers? 12 A. No, not always. 13 Q. In this case, do you know if Mrs. Arvizo 14 brought in papers? 15 A. I believe she did. 16 Q. Okay. And back in 2001 -- I apologize for 17 the lack of sequence here, but I just discovered 18 these. Back in 2001, did Janet Arvizo indicate that 19 she did not want to go to a shelter? 20 A. Yes, sir. 21 Q. And you gave her a form that gave 22 information about domestic violence information -- 23 I’m sorry, that’s redundant. You gave her a form 24 entitled, “Confidential Domestic Violence 25 Information”; is that correct? 26 A. Yes. 27 Q. And that told her about her -- the sorts of 28 things that she could avail herself of in addition 11615 1 to the actual money that you were dispensing; is 2 that right? 3 A. Yes. 4 MR. SANGER: Okay. I think I’m almost 5 through here, Your Honor. Just one more moment. 6 Q. Did it appear at some point that you 7 realized -- I’m sorry. 8 Did it appear at some point from this file 9 that your department became aware that Janet Arvizo 10 was receiving other assistance? Do you want to look 11 at the file so -- 12 A. Yes. 13 Q. You don’t know without looking? 14 A. No, I would not. 15 Q. All right. I’m going to approach with these 16 three pages of the exhibit. 17 I’ve just handed you three pages that appear 18 to apply to other benefits other than the DPSS 19 benefits; is that correct? 20 A. Correct. 21 Q. And what does that show? 22 A. That she was entitled to receive -- that she 23 did receive disability benefits. 24 Q. Okay. So is that something that -- a check 25 that you run through your computer somehow? 26 A. Yes. There’s a match. 27 MR. SANGER: May I approach and exchange 28 documents? This one for that one. 11616 1 Q. This is a document I’ve located in your 2 file. It appears to be a rent receipt, and it’s in 3 the Janet Arvizo file from your department. Why 4 would that be in there? 5 A. It’s to -- we use a rent amount in order to 6 calculate her food stamp allotment. 7 Q. Okay. And that shows that Raymond Trujillo 8 was getting 400-and-some dollars a month; is that 9 correct? 10 A. Correct. 11 Q. So in the course of calculating her food 12 stamp allowance, you were assuming that she was 13 actually paying rent in October of 2002 of 14 400-and-some dollars a month; is that correct? 15 A. Correct. 16 Q. If you were aware that the landlord had 17 allowed her to stay in that apartment rent free for 18 a period of time, would that have been something 19 that should have been reported to you? 20 Let me withdraw that, because that question 21 made no sense, if you’re aware of it. 22 Let me put it this way: If a person 23 presenting a rent receipt like that in fact had been 24 given free rent for a period of time by her 25 landlord, is that something that should have been 26 reported to you? 27 A. Yes. 28 Q. And if, in fact, in 2003, in January and 11617 1 February, somebody else was paying that rent, that 2 $425 a month, is that something that should have 3 been reported to the department? 4 A. Yes. 5 MR. SANGER: Okay. If I may retrieve that 6 so I can put it back in the same place here. 7 Okay. I have no further questions of this 8 witness at this time. 9 10 CROSS-EXAMINATION 11 BY MR. AUCHINCLOSS: 12 Q. Good afternoon, Miss Manrriquez. 13 A. Good afternoon. 14 Q. Tell me, why is there a domestic violence 15 unit in the welfare department? 16 A. We have a domestic violence worker, and the 17 reason is that we want to make sure that we take 18 care of those people. We don’t want to put them in 19 any danger. We want to take them out of that. 20 Q. Do they have special needs that need to be 21 addressed in the welfare system that are different 22 from your average recipient of welfare? 23 A. Their safety. 24 Q. Okay. And when you spoke to Janet Arvizo 25 back in 2001, did she express concern for her safety 26 in regards to her domestic violence situation? 27 A. Yes, she did. 28 Q. In what way did she express her concern for 11618 1 her safety? 2 A. That she was afraid to go back home. 3 Q. All right. In fact, did she ask for an 4 escort from the welfare department to accompany her 5 to her home to make sure she was safe? 6 A. We don’t escort our participants. 7 Q. But isn’t there a request in the file from 8 her to obtain an escort -- 9 A. Yes, there is. 10 Q. -- to transfer her home, to help her get 11 home safely? 12 A. Yes. 13 Q. Now, in your reports, your official reports 14 indicate that she was receiving welfare, food stamps 15 and Medi-Cal; is that correct? 16 A. Correct. 17 Q. And the Medi-Cal covers insurance, health 18 insurance, over and above an individual’s needs that 19 are covered by their own insurance; is that correct? 20 A. Correct. 21 Q. So if a person has their own insurance, that 22 doesn’t exclude them from Medi-Cal? 23 A. Does not exclude them. 24 Q. So if Janet Arvizo had insurance coverage, 25 that wouldn’t prevent her from getting these 26 benefits? 27 A. No, it would not. 28 Q. Do you know if she received any Medi-Cal 11619 1 benefits? 2 A. Medi-Cal goes hand in hand with Cal-Works. 3 Q. But if she actually received any insurance 4 proceeds from Medi-Cal, do you know if any -- 5 A. I don’t know. 6 Q. Okay. And as far as her -- as far as her 7 receiving disability, counsel asked you a few 8 questions about that, that she received some 9 disability benefits; is that right? 10 A. Yes. 11 Q. And were those disability benefits for a 12 time when she was unable to work because she had to 13 have surgery? 14 A. Yes, it is. 15 MR. SANGER: Objection. Well, calls for 16 speculation. 17 MR. AUCHINCLOSS: Well, is that reflected -- 18 I’ll let the Court rule. 19 THE COURT: What you’re asking her is if 20 that’s on the application? 21 MR. AUCHINCLOSS: Yes. 22 THE COURT: Rephrase your question. 23 Q. BY MR. AUCHINCLOSS: The question, really, I 24 have is based upon your records. Is it reflected 25 that Janet Arvizo had to have some surgery, and 26 that’s why she went on disability for a period of 27 time? 28 A. It’s noted at the intake. 11620 1 Q. Okay. And that was for a limited period of 2 time while she was going through her medical 3 procedures? 4 A. I believe so. 5 Q. Okay. In your experience, how diligent are 6 welfare recipients, if you can characterize, about 7 these details concerning reporting gifts, reporting 8 if someone lets them use their car, that kind of 9 thing? How -- 10 MR. SANGER: Objection. Compound; vague; 11 and not relevant. 12 THE COURT: Sustained. 13 Q. BY MR. AUCHINCLOSS: Do you often find that 14 at Christmastime people come rushing down to the 15 welfare office to report their Christmas gifts? 16 MR. SANGER: Objection; argumentative. 17 THE COURT: Sustained. 18 Q. BY MR. AUCHINCLOSS: When did the quarterly 19 notices go into effect? 20 A. Quarterly notices, I believe -- I want to 21 say July of 2004. I thought it was ‘3, but it may 22 be 2004. We just went in -- Cal-Works -- 23 Q. Okay. 24 A. -- just went into quarterly reports. 25 Q. Did you say before it was 2003? 26 A. I did. But I believe it’s 2004. 27 Q. Are you sure? 28 A. I’m not positive. 11621 1 Q. Is it possible that it was in effect in 2 2003, based on your recollections? 3 A. It may have been. But like I say, I’m not 4 positive. 5 Q. If a mother sets up a trust account for 6 their child, based upon proceeds from a personal 7 injury case, and this trust account cannot be 8 touched by the mother or by the child until that 9 time -- the time that the child reaches maturity, 10 18 years old, would that affect a person’s right to 11 receive welfare? 12 MR. SANGER: Objection. Improper 13 hypothetical. It assumes facts not in evidence. 14 THE COURT: Sustained. 15 Q. BY MR. AUCHINCLOSS: Can you tell me if 16 funds placed in trust for a child, let’s say by a 17 lawyer, that the child cannot receive, would that 18 affect -- would those funds placed in trust that the 19 child cannot touch, would that affect their 20 eligibility for welfare? 21 MR. SANGER: Objection; assumes facts not in 22 evidence. 23 THE COURT: Overruled. 24 THE WITNESS: Yes, it would. 25 Q. BY MR. AUCHINCLOSS: Okay. And if the funds 26 cannot be used for current needs, why would that 27 limit eligibility for welfare? 28 A. They would have to actually bring in a 11622 1 statement saying that they cannot touch it, but even 2 if they were to be penalized for withdrawing that 3 money. 4 Q. I’m saying they can’t withdraw the money 5 even with penalty. It cannot be withdrawn. It’s 6 untouchable. 7 MR. SANGER: I object. This calls for 8 speculation; it’s an improper hypothetical; assumes 9 facts not in evidence. 10 MR. AUCHINCLOSS: I believe counsel’s asked 11 numerous questions about interest on these accounts. 12 THE COURT: Sustained. 13 THE WITNESS: I believe it still would have -- 14 THE COURT: Just a minute. He has to ask 15 another question. 16 THE WITNESS: Oh, I’m sorry, sir. 17 Q. BY MR. AUCHINCLOSS: If a child is going to 18 receive benefits at 18 that he cannot receive before 19 that time, regardless of the benefit, okay? It’s an 20 item that the child cannot receive. The child is, 21 let’s say, a teenager. Would that affect 22 eligibility for welfare? 23 MR. SANGER: Well, again, improper 24 hypothetical; assumes facts not in evidence. 25 THE COURT: Sustained. 26 Q. BY MR. AUCHINCLOSS: All right. If a 27 welfare recipient does not have a bank account of 28 their own, and they allow a friend to cash that 11623 1 check for them, and then they obtain those welfare 2 benefits from that friend, is that a violation of 3 the rules of receiving welfare? 4 A. No. 5 Q. Okay. So if an individual has a boyfriend 6 and she uses his account to simply cash the check, 7 and then she receives those funds, that’s not a 8 violation? 9 A. That’s not. 10 Q. What about if she uses those funds to be 11 deposited into his account and then he, in turn, 12 writes a check, for instance, to her landlord. In 13 other words, using the funds for the benefit 14 intended, but it’s just run through the paperwork in 15 that fashion. Is that a violation? Do you 16 understand the question? 17 A. I believe I do understand, and he’s the 18 one -- we, in our department, would say he is the 19 one paying the bills. 20 Q. Okay. But if -- let’s say the boyfriend 21 simply writes the check to the landlord. She gives 22 him $450 from her welfare. He writes a check to the 23 landlord -- for $450 to the landlord. Is that a 24 problem? 25 A. Yes, it would be. 26 Q. And why would that be? 27 A. We are now looking that he’s making out the 28 check. He’s paying it. 11624 1 Q. Okay. 2 A. He’s the one that’s paying the rent. 3 Q. Even though the benefit to the welfare 4 recipient is the same? 5 A. Correct. 6 Q. Would that term be something more technical 7 in nature? 8 A. Yes. 9 Q. All right. And as far as receiving, let’s 10 say, a trip to Miami, suppose someone takes you to 11 Miami, pays for your plane fare to Miami, allows you 12 to stay, at their expense, at a hotel for a couple 13 of days, and then you fly back, all at the expense 14 of this friend. Is that something that’s going to 15 affect your eligibility for welfare? 16 A. No. 17 MR. AUCHINCLOSS: All right. Thank you. I 18 have no further questions. 19 MR. SANGER: Okay. Let’s just pick up where 20 we left off. 21 22 REDIRECT EXAMINATION 23 BY MR. SANGER: 24 Q. If during the month of February, let us say, 25 somebody not only takes the trip to Miami, has all 26 expenses paid, including food, but during this same 27 period of time they then return and stay, all 28 expenses paid, somewhere during the entire month, 11625 1 including another luxury hotel for a period of time, 2 including a beautiful home that belongs to a major 3 celebrity. The whole month, in essence, they’re 4 taken care of. Is that something that needs to be 5 reported? 6 A. If it’s over 30 days that they’re out of 7 their home, they need to report that. 8 Q. Okay. So if it was from February 6th to 9 March the 12th, where either the children or the 10 parent, or both of them, were out of the home, 11 living all expenses paid on somebody else’s nickel, 12 is that something that should have been reported? 13 MR. AUCHINCLOSS: Objection. Compound; 14 assumes facts not in evidence. 15 THE COURT: Sustained. 16 Q. BY MR. SANGER: You’re basically looking to 17 find out if this is somebody who, month to month, 18 has a need for welfare, correct? 19 A. Yes. 20 Q. Okay. Now, I posed several hypotheticals to 21 you. And I want to avoid doing them all again, but 22 we had a number of expenses that were paid that we 23 talked about being paid that include not only 24 lodging, but food, purchase of gifts, spa 25 treatments, full body waxes, cosmetics. 26 If somebody was receiving that kind of a 27 treatment for a month, is that the sort of person 28 who should also be receiving a check from the 11626 1 government for welfare? 2 MR. AUCHINCLOSS: Objection. Vague, 3 compound and assumes facts not in evidence. I’ll 4 throw in argumentative, too. 5 THE COURT: Sustained. 6 Q. BY MR. SANGER: Do you want to have accurate 7 information on your monthly reports so that you can 8 evaluate who’s really entitled to welfare in this 9 state when you’re doing the job as an eligibility 10 worker? 11 A. Yes. 12 MR. AUCHINCLOSS: Objection. Asked and 13 answered; beyond the scope. 14 THE COURT: Overruled. 15 MR. SANGER: I’m sorry, did you rule, Your 16 Honor? 17 THE COURT: Overruled. 18 MR. SANGER: Thank you. And the answer came 19 in? 20 THE COURT: I believe so. 21 MR. SANGER: Okay. Now, I’d like to put up 22 5098. 5099 first, if I may. 23 MR. AUCHINCLOSS: I’m going to object as 24 beyond the scope. 25 THE COURT: Overruled. Go ahead. 26 Q. BY MR. SANGER: All right. I think I showed 27 you this check for $32,307.88, something like that, 28 and asked you about this previously. The District 11627 1 Attorney asked you about some kind of trust account. 2 If Janet Arvizo, in fact, had access to this 3 money, no matter whose name the account was in, is 4 that something that should have been reported on her 5 initial form on 11-15-01? 6 A. Yes. 7 Q. Okay. And I’ll put up 5098, if I may. This 8 has been received into evidence that there was, in 9 fact, a cashier’s check to Hollywood Ford, but 10 there’s no indication as to who actually got the 11 proceeds from this check. However, it was withdrawn 12 shortly after the money was deposited in Miss 13 Arvizo’s account and it was withdrawn by Miss Arvizo 14 herself. 15 Is that the kind of financial transaction 16 that you would want to know about days before 17 deciding whether or not she’s entitled to welfare? 18 A. Yes. 19 Q. I believe -- it’s hard to see, and I 20 apologize. I believe that’s November 9th. I think 21 that’s what it says up there. 22 Now, those -- if somebody has access to 23 funds and uses the funds, it doesn’t matter what the 24 name of the account is, does it? 25 A. As long as they’re a household member. 26 Q. Okay. So now we’ll move on to -- there’s 27 one question to which there was not an objection 28 sustained that had to do with a trust account. 11628 1 If the children of Miss Arvizo, Star and 2 Gavin, received between them in excess of $40,000 at 3 this same time that you just saw these transactions 4 for Janet Arvizo herself, if they received an 5 additional $40,000, whether -- 6 MR. AUCHINCLOSS: I’ll object to the amount. 7 Misstates the evidence. 8 THE COURT: Go ahead. Complete your 9 question. 10 MR. SANGER: Well, let’s do it -- just so -- 11 I believe that’s correct, but let me just put it 12 this way. 13 Q. If one child received in excess of 25,000 14 and the other child received in excess of $10,000 at 15 the same time that this transaction occurred when 16 Mrs. Arvizo received her $32,000, and that money was 17 put in any kind of a bank account for their benefit, 18 is that something that was required to be disclosed 19 to your department on these forms? 20 A. Yes. 21 Q. Now, the District Attorney in that question 22 about a trust account -- does it matter whether it’s 23 a trust account or not a trust account, if they 24 received the money for their benefit? 25 A. No, it should be reported. 26 Q. And if it’s reported and there’s some 27 argument about it, you would want to see all the 28 documentation about that account; is that correct? 11629 1 A. Correct. 2 Q. But the form clearly says you have to report 3 any money in bank accounts for any of the people in 4 the family; is that right? 5 A. Correct. 6 Q. All right. There were questions about the 7 boyfriend paying the rent, and I got lost on some of 8 that, but basically one of the concerns that you 9 have in your department is that participants will 10 receive benefits, let us say, and at some point 11 their circumstances change and they start living 12 with someone else who starts providing for their 13 basic needs, and you need to know about that; is 14 that correct? 15 A. Correct. 16 Q. All right. And it’s not uncommon that 17 people will move in with a boyfriend or a 18 girlfriend, and that boyfriend or girlfriend will 19 start paying for things that the participant 20 previously had to pay for out of his or her own 21 pocket, correct? 22 A. Correct. 23 Q. And part of your screening process for each 24 month’s eligibility is to determine whether or not 25 that has occurred, correct? 26 A. Correct. 27 Q. And if you aren’t told about it, you don’t 28 have an ability to evaluate it; is that right? 11630 1 A. Correct. 2 Q. And you believe that it’s -- that it’s part 3 of the reporting requirement that a person who moves 4 in with a boyfriend, and the boyfriend is not only 5 cashing the welfare checks, but also paying rent and 6 paying other expenses on behalf of the participant, 7 that that participant has an obligation to report 8 that so you can evaluate it, correct? 9 A. Correct. 10 MR. AUCHINCLOSS: Objection; asked and 11 answered. 12 THE COURT: Compound. Sustained. 13 MR. SANGER: It wasn’t asked and answered? 14 If it wasn’t, I won’t ask any more questions. 15 THE COURT: Okay. Asked and answered. 16 MR. SANGER: There you go. Okay. I have no 17 further questions. 18 19 RECROSS-EXAMINATION 20 BY MR. AUCHINCLOSS: 21 Q. Just real quickly, clearly if Mrs. Arvizo 22 received a $30,000 settlement, that should have been 23 reported and mentioned to welfare; isn’t that fair 24 to say? 25 A. Correct. 26 Q. The only question that I have remaining is 27 not whether or not the reporting of funds placed in 28 a trust account for children should have taken 11631 1 place. My question is, provided that children -- 2 the children in the family received those funds, 3 they were placed in trust, and they cannot be 4 touched until the children became adults, that 5 wouldn’t affect the eligibility for welfare, would 6 it, just as far as eligibility goes? 7 MR. SANGER: Objection. Improper 8 hypothetical; assumes facts not in evidence. 9 THE COURT: Sustained. 10 MR. AUCHINCLOSS: I believe there are a 11 couple of exhibits that are in evidence, 820 and 12 824, dealing with the trust. 13 THE COURT: Let’s see. I don’t have those up 14 here. 15 MR. AUCHINCLOSS: I can tell you my 16 foundation based on -- at sidebar if you want. 17 THE COURT: I’ll look at your exhibit. 18 MR. AUCHINCLOSS: 821 and 820. 19 THE COURT: The problem that I’m having with 20 your hypothetical is that the.... 21 See, the problem in the exhibits is that 22 under these compromises for minors, the Court can 23 always authorize the release of funds. So, every 24 question you’ve asked, with the exception of one, 25 presupposed that the minor couldn’t get to the 26 funds. And it’s just not the law. The law is that 27 the Court can give access to the funds. That’s what 28 the document says. So let’s go to our next 11632 1 question. 2 MR. AUCHINCLOSS: All right. I have no 3 further questions then. Thank you. 4 THE COURT: All right. 5 MR. SANGER: Nor do I. 6 THE COURT: Thank you. You may step down. 7 THE WITNESS: You’re welcome. 8 THE COURT: Call your next witness, please. 9 MR. MESEREAU: Thank you, Your Honor. The 10 defense will call Miss Marian Arvizo. 11 THE COURT: When you get to the witness 12 stand, please remain standing. 13 Face the clerk here and raise your right 14 hand. 15 MARIAN ARVIZO 16 Having been sworn, testified as follows: 17 18 THE WITNESS: I do. 19 THE CLERK: Please be seated. State and 20 spell your name for the record. 21 THE WITNESS: My name is Marian Arvizo. 22 Spelled M-a-r-i-a-n; Arvizo, A-r-v-i-z-o. 23 THE CLERK: Thank you. 24 25 DIRECT EXAMINATION 26 BY MR. MESEREAU: 27 Q. Good afternoon, Miss Arvizo. 28 A. Good afternoon. 11633 1 Q. Miss Arvizo, are you related to David 2 Arvizo? 3 A. Yes, I am. 4 Q. How are you related to him? 5 A. I’m his sister. 6 Q. Okay. And do you live in the Los Angeles 7 area? 8 A. I do. 9 Q. Okay. Do you know Janet Arvizo? 10 A. Yes, I do. 11 Q. And how do you know her? 12 A. She was married to my brother David Arvizo. 13 Q. Approximately when did you first meet Janet 14 Arvizo, just approximately? 15 A. About 19 -- about 18, 19 years ago. 16 Q. Okay. And did you stay in contact with her 17 through the years? 18 A. No. 19 Q. Okay. Did you at some point learn that 20 Gavin Arvizo was ill? 21 A. Yes, I did. 22 Q. And how did you learn that? 23 A. Through fellow neighbors in the neighborhood 24 that I live in, that my family lived in, in South El 25 Monte. 26 Q. This is El Monte? 27 A. In South El Monte. 28 Q. Okay. Now, at this point in time, when you 11634 1 learned that Gavin was ill, were Janet and David 2 still together? 3 A. Yes, they were. 4 Q. Okay. And did you visit Gavin at the 5 hospital? 6 A. No, I didn’t. 7 Q. Did you get involved in any efforts to do 8 any drives for Gavin? 9 A. Yes, I did. 10 Q. What did you do? 11 A. I organized a blood drive that was held at 12 the Von’s warehouse in El Monte. 13 Q. Now, approximately when did you start 14 organizing the blood drive for Gavin? 15 A. I don’t remember the dates and times. It 16 was probably maybe -- it was at the time where he 17 was needing -- he was needing blood transfusions 18 pretty frequently. And what happened was, is that 19 the news had put out that they needed blood for 20 him -- 21 Q. Okay. 22 A. -- because -- 23 Q. Let me just ask one question at a time, if I 24 can. Thank you. 25 You say that the news had put out 26 information that there was a need for blood for 27 Gavin? 28 A. Yes. 11635 1 Q. And did you hear that on the news? 2 A. Yes, I did. 3 Q. So you were not talking to Janet when you 4 learned that? 5 A. No, I didn’t. 6 Q. And did you learn there was a particular 7 type of blood that he needed? 8 A. Yes. 9 Q. And how did you learn that? 10 A. On the news. 11 Q. Okay. What did you do after you learned 12 that information on the news? 13 A. I -- I started to see if I can organize a 14 blood drive to get more of the blood type that he 15 needed, because it was a rare blood type. 16 Q. What did you do to organize the drive? 17 A. I had a -- I knew of a woman that worked at 18 Kaiser, who was in charge, by the name of Marie 19 Triggs. And I talked to her and asked her how would 20 I go about organizing a blood drive to help them out 21 to make sure he had enough blood. 22 Q. And did you learn from her what to do? 23 A. Yes. She did help me to organize the blood 24 drives. 25 Q. And Kaiser was the hospital that Gavin 26 was -- the hospital that Gavin was being treated at? 27 A. Yes, she was -- he was. 28 Q. And what did you do to put a blood drive 11636 1 together? 2 A. We talked to one of the supervisors at the 3 Von’s warehouse, and he opened up the warehouse for 4 us to come in and have the guys donate blood. 5 And Marie Triggs and I met there, and we 6 went into the warehouse and set up in the break room 7 and did a small blood drive there with all -- I 8 don’t remember how many units of blood she got that 9 day, but there was quite a few people that donated. 10 Q. Now, why did you choose Von’s to do the 11 drive? 12 A. I’m also an employee for Von’s, and I had 13 heard through several people that there was a lot of 14 guys at the warehouse that were interested in 15 donating blood. 16 Q. You say you’re also an employee of Von’s. 17 What did you mean by that? Who else are you 18 referring to that was employed there? 19 A. My brother, David. 20 Q. That’s David? 21 A. Yes. 22 Q. And so you both were working at Von’s at the 23 same time? 24 A. He works in the warehouse now and I work in 25 the stores. 26 Q. Okay. And was David working at this point 27 in time at Von’s; do you know? 28 A. No, I believe he was out. 11637 1 Q. Okay. Was he out to visit David (sic) at 2 the hospital? 3 A. I believe he was still with Gavin and going 4 through his -- the chemo and all the -- 5 Q. Right. 6 A. -- at the hospital. 7 Q. So you had a blood drive, right? 8 A. Yes. 9 Q. At Von’s? 10 A. Yes. 11 Q. And approximately how many people do you 12 think came to the blood drive? 13 A. I would say maybe 25 or 30. 14 Q. Were they mostly people from Von’s? 15 A. They were all the guys in the warehouse. 16 Q. Okay. And did you actually obtain blood for 17 Gavin? 18 A. Yes, we did. 19 Q. Okay. And did you do more than one blood 20 drive? 21 A. Yes. We did -- also did a second blood 22 drive. One of my sisters, her sister-in-law’s 23 church donated the church recreational room. And 24 Marie Triggs, my sister Karen and myself, we all met 25 down at the church and we had a small blood drive 26 there. It was just announced at the church, so we 27 mostly had -- mostly had church members that came in 28 to donate. 11638 1 Q. Now, did you communicate with Janet Arvizo 2 about the blood drives you were organizing? 3 A. No, I didn’t. 4 Q. Did you ever talk to her at all about it? 5 A. No, I didn’t. 6 Q. Okay. Did she ever contact you about a 7 blood drive? 8 A. Yes, she did. 9 Q. And approximately when was this, do you 10 think? 11 A. I don’t remember a certain day and time. 12 Q. And do you remember whether or not she 13 wanted to participate in the drive? 14 A. She didn’t seem to want to participate. 15 She -- I didn’t talk to her before the blood drives. 16 I talked to her -- I talked to her before the blood 17 drives, not while I was doing the blood drives. 18 Q. And did you offer her the opportunity to get 19 involved? 20 A. No, I didn’t. 21 Q. Did you offer the opportunity to give her 22 views about whether this was a good idea? 23 A. Well, there was a letter that went in the 24 City of South El Monte that had information on our 25 family, because we had been in the city for so many 26 years, and that letter actually just said if you are 27 willing to donate blood for Gavin, and gave a 28 specific blood type, that to donate it at the Kaiser 11639 1 on Sunset, and just thanking -- you know, “On behalf 2 of the entire Arvizo family, we thank you.” 3 And Janet did call me on that. 4 Q. Did Janet ever complain to you about the 5 blood drive? 6 A. Yes, she did. 7 Q. What did she say? 8 A. She told me that she didn’t need my fucking 9 blood. That she needed money. 10 Q. And did she call you on the phone when she 11 said that? 12 A. Yes, she did. 13 Q. Are you okay? 14 A. Yes. 15 Q. What was your response, if any? 16 A. I think I just hung up on her. 17 Q. Did you ever talk to her again about the 18 blood drive? 19 A. No, I don’t believe so. 20 Q. How many drives do you think you organized 21 for Gavin? 22 A. There was two blood drives. 23 Q. The second one was at the church? 24 A. The second one was at the church. 25 Q. Okay. Now, after David and Janet separated, 26 do you recall an incident where Gavin, Star and 27 Davellin were swimming? 28 A. Yes, they came over to my house and went 11640 1 swimming. 2 Q. Okay. Now, was this long after the 3 separation; do you know? 4 A. No. It was just in the beginning of the 5 separation. 6 Q. Okay. And they went swimming at your house? 7 A. Yes, they did. 8 Q. And this was in El Monte? 9 A. This is in Covina. 10 Q. Covina, okay. All right. And do you recall 11 Star -- whether or not Star ever made a comment 12 about a house they were going to move to? 13 MR. ZONEN: Objection; hearsay. 14 THE COURT: Sustained. 15 Q. BY MR. MESEREAU: Did you ever learn from 16 Star that the family might move to the Hollywood 17 Hills? 18 MR. ZONEN: Objection; hearsay. 19 THE COURT: Sustained. 20 Q. BY MR. MESEREAU: Did you ever say anything 21 to Star Arvizo about the family’s moving to the 22 Hollywood Hills? 23 MR. ZONEN: Your Honor, the third objection. 24 Hearsay. 25 THE COURT: Sustained. 26 MR. ZONEN: Ask for an admonition. 27 THE COURT: Next question. 28 MR. MESEREAU: I’ll move on. I’ll move on, 11641 1 Your Honor. 2 Q. Have you had any contact with Janet since 3 the conversation you just described? 4 A. No, I haven’t. 5 Q. Okay. Have had you had any contact with any 6 of the Arvizo children since the drives? 7 A. No. 8 MR. MESEREAU: No further questions. 9 THE COURT: Cross-examine? 10 11 CROSS-EXAMINATION 12 BY MR. ZONEN: 13 Q. Ms. Arvizo, good afternoon. 14 A. Good afternoon. 15 Q. Do you know a Connie Keenan? 16 A. Do I know Connie Keenan? No, I don’t. 17 Q. You never met her? 18 A. I believe I met her today. 19 Q. That’s the first time you’ve ever met her? 20 A. Yes. 21 Q. Had no prior association with her at all? 22 A. No. 23 Q. Did you have a prior association with 24 anybody who works at Mid Valley News? 25 A. No, I don’t. 26 Q. Had you ever talked with anybody at Mid 27 Valley News? 28 A. No, I didn’t. 11642 1 Q. Now, you testified that the manner in which 2 you became familiar with the fact that your nephew 3 needed this blood was from the news account; is that 4 correct? 5 A. Yes, I did. 6 Q. Was that a news account on the radio or news 7 account on television? 8 A. On television. 9 Q. On television? 10 And had you seen that throughout El Monte on 11 a number of occasions or just on one occasion? 12 A. Actually, I was viewing the television set 13 at my house in Covina. 14 Q. You and your brother both work at Von’s; is 15 that right? 16 A. Yes, we do. 17 Q. Did you both work at the same Von’s? 18 A. No. He works in the warehouse and I work in 19 the actual grocery stores. 20 Q. And do you work in more than one store? 21 A. No, I work in one store. 22 Q. Is there a reason your brother didn’t tell 23 you about the need for blood? 24 A. I didn’t have contact with my brother. 25 Q. During that period of time? 26 A. No, I didn’t. 27 Q. During the time that you were raising money 28 on behalf of Gavin -- excuse me, raising -- not 11643 1 “raising,” but recruiting volunteers to donate blood 2 on behalf of Gavin, had you had any contact with 3 your brother at all during that time? 4 A. Yes, I did. 5 Q. And did he tell you about the need for blood 6 that Gavin was experiencing at that time? 7 A. I explained to him that I was having -- 8 organizing blood drives and doing the best I can to 9 get the information out. As far as him being 10 involved, no. 11 Q. And was that during the time that you were 12 organizing the blood drives? 13 A. Yes, it was. 14 Q. And prior to that, how long had it been 15 since you had spoken with your brother David? 16 A. About 15 years. 17 MR. ZONEN: Thank you. No further 18 questions. 19 MR. MESEREAU: No further questions, Your 20 Honor. 21 THE COURT: Thank you. You may step down. 22 Call your next witness. 23 MR. MESEREAU: Your Honor, shall we call a 24 witness or have a break? Whatever you like. 25 THE COURT: Do you want to break early? 26 MR. MESEREAU: Sure. 27 THE COURT: All right. 28 (Recess taken.) 11644 1 THE COURT: I’m sorry. We took a few 2 minutes longer. We’re trying -- as you know, we’re 3 getting to the end of the trial. We’re -- 4 Is that a sigh I heard? 5 What Mr. Sneddon and Mr. Mesereau and I were 6 trying to do was just get a feel for where we are 7 and schedule it out in our own minds. We didn’t 8 reach any conclusion. We’re going to talk again 9 tomorrow, but when we get our -- 10 I think I left my cell phone on. I’m out of 11 here. 12 THE BAILIFF: I have the “Sorry” card. 13 (Laughter.) 14 THE COURT: How can I follow that? 15 As soon as we figure out a plan here so that 16 you’ll -- we’ll tell you, so you know what the 17 schedule for arguments and jury instruction will be, 18 but I don’t think we can do that right at this 19 point. We didn’t get that final conclusion. 20 All right. Mr. Mesereau, would you call 21 your next witness? 22 MR. MESEREAU: Yes, thank you, Your Honor. 23 Defense will call Ms. Connie Keenan. 24 THE COURT: When you get to the witness 25 stand, please remain standing. 26 Face the clerk and raise your right hand. 27 // 28 // 11645 1 CONNIE KEENAN 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: My name is Connie Keenan. 8 C-o-n-n-i-e, K-e-e-n-a-n. 9 THE CLERK: Thank you. 10 11 DIRECT EXAMINATION 12 BY MR. MESEREAU: 13 Q. Good afternoon, Miss Keenan. 14 A. Good afternoon. 15 Q. Miss Keenan, how are you employed? 16 A. I’m sorry, I didn’t hear -- 17 Q. How are you employed? 18 A. I am an editor for a community newspaper. 19 Q. Which newspaper is that? 20 A. That’s the Mid Valley News. 21 Q. Where is that newspaper circulated? 22 A. In El -- well, we circulate in seven cities. 23 The City of El Monte, South El Monte, Rosemead, 24 Monrovia, Arcadia and Temple City. 25 Q. And how long have you been doing that? 26 A. Since 1999, June. 27 Q. Okay. And have you been in the newspaper 28 business before that day? 11646 1 A. Yes. 2 Q. And please just summarize what work you’ve 3 done in the newspaper business. 4 A. I was a reporter, a political reporter, for 5 The Independent Voice in San Diego Valley. Before 6 that, I was fashion editor for Teen Magazine. 7 Q. Now, where is your office located? 8 A. Our -- my office is 11401 Valley Boulevard, 9 Suite 100, El Monte. 10 Q. Okay. At some point in time, did you meet 11 someone named Janet Arvizo? 12 A. I have never met Mrs. Arvizo. 13 Q. Have you spoken to her? 14 A. Yes, I have. 15 Q. And do you recall the circumstances under 16 which you spoke to her? 17 A. Mrs. -- I had assigned a story about her son 18 to a college intern I had at the time by the name of 19 Christie Causer. And I had some bad feelings about 20 the whole incident and the whole story, and the 21 mother wanted an additional story because she didn’t 22 make money enough money from the first story. And 23 that’s her words, not mine. 24 Q. Which story did you authorize the paper to 25 publish? 26 A. I authorized “Gavin Still Smiles,” which was 27 the story about Mrs. Arvizo’s son, who was suffering 28 from cancer at the time. And the general thrust of 11647 1 the story is with the family was very, very bad off. 2 They were losing their car. They were losing their 3 home. And it’s not a story we normally do. It was 4 one I did not want to do. However, Mrs. Arvizo did 5 play on some sympathies in the office, and it kind 6 of -- I assigned it to Christie to do, because I 7 didn’t want to deal with it. 8 Q. Now, how did you begin to even think about 9 doing such a story? 10 A. Mrs. Arvizo called the office. 11 Q. Okay. 12 A. And she con -- she continually called the 13 office, and I had told my secretary to tell her -- 14 MR. SNEDDON: Your Honor? Excuse me. I’m 15 going to object on the basis of hearsay unless it’s 16 a personal conversation that she had with Mrs. 17 Arvizo. Move to strike. 18 THE COURT: Sustained. 19 Q. BY MR. MESEREAU: Let me ask you -- 20 THE COURT: Stricken. 21 MR. MESEREAU: I’m sorry. 22 THE COURT: Go ahead. 23 Q. BY MR. MESEREAU: Okay. You at the time -- 24 let’s set a time. What year was this, if you know? 25 A. This would be year 2000. 26 Q. Okay. And you were editor at that time? 27 A. Yes. 28 Q. And does your newspaper have a particular 11648 1 thrust, a particular -- 2 A. Our -- 3 Q. -- theme to it? 4 A. We do nothing but positive community news. 5 We are not an investigative-type newspaper at all. 6 Q. And what is positive community news? 7 A. My goal, when I took over the paper and I 8 purchased the paper, was to -- there’s enough 9 negative media out there. I wanted -- my goal is to 10 make sure every kid in our cities have their face or 11 photo in the publication sometime before I retire. 12 Q. And how old is the publication? 13 A. Actually, the publication in itself was 14 adjudicated in 1966. 15 Q. And has it always had the same sort of 16 thrust to it? 17 A. No. 18 Q. Okay. What changes has it gone through? 19 A. It came -- it’s evolved from a purely 20 political piece, making commentary within the 21 communities it circulated, to, others would say, a 22 purely fluff piece, and that’s where it is now. 23 Q. Now, at some point you assigned, as you 24 said, the writing of this particular article about 25 Gavin Arvizo to an intern, correct? 26 A. Correct. 27 Q. And you said her name was Christie Causer; 28 is that right? 11649 1 A. That’s correct. 2 Q. Why did you do that? 3 A. It is not -- there are many people within 4 the cities I serve that need money and are facing 5 hard times, and my -- I felt that if I did one, I 6 would have to do many, many more. I did not want to 7 deal with it. I thought it was a human interest 8 story, that’s something Christie could learn from 9 doing, which was part of her being an intern, but it 10 was something that I didn’t want personally to deal 11 with myself. 12 Q. And when you assigned it to Christie Causer, 13 had you made the decision to have this article about 14 Gavin Arvizo published? 15 A. No, not until her article was finished. 16 Q. Was it your idea that you would first see 17 what Christie Causer wrote and then decide whether 18 or not it’s publishable? 19 A. Indeed. That is my job. 20 Q. And just directing your thoughts to just 21 what you were thinking at the time, what made you 22 decide to have this article written? 23 A. I read all copy that goes into the 24 newspaper. 25 Q. Let me rephrase it. I’m not being clear. 26 At some point, you got some information 27 about Gavin Arvizo, right? 28 A. Uh-huh. 11650 1 Q. You thought about whether or not you wanted 2 to assign this project to an intern, right? 3 A. I don’t know where you’re going, Counsel. 4 Q. I’m trying to figure out why you wanted this 5 article written. 6 A. We kept getting telephone calls from Mrs. 7 Arvizo. Mrs. Arvizo talked to my secretary. 8 MR. SNEDDON: I’m going to object. Excuse 9 me. I’m going to object, unless it’s based on 10 personal knowledge, as being hearsay. 11 THE WITNESS: I received messages. 12 MR. MESEREAU: It’s not offered for the 13 truth. 14 MR. SNEDDON: Then it has no relevance. 15 THE COURT: Just a moment. I’ll sustain her 16 objection to her repeating what the secretary said. 17 Q. BY MR. MESEREAU: Okay. Don’t repeat what 18 your secretary said. 19 A. Uh-huh. 20 Q. But at some point, you made a decision you 21 wanted this article created, right? 22 A. Indeed. 23 Q. And without saying what the secretary said, 24 was it based on the fact that these calls had come 25 in? 26 A. Yes. 27 MR. SNEDDON: Same objection. Move to 28 strike. No personal knowledge; lack of foundation. 11651 1 THE COURT: Overruled. The answer was, 2 “Yes.” Next question. 3 Q. BY MR. MESEREAU: Without saying what was 4 said, did you have a discussion with someone about 5 this subject matter before -- 6 A. I just -- 7 Q. -- before you decided that you wanted to try 8 and do an article about Gavin? 9 A. I discussed it with my secretary, and my 10 secretary told me -- 11 Q. You’re not allowed to say what she told you. 12 A. Okay. 13 Q. So let me just try -- we have some technical 14 rules we have to follow, okay? 15 A. All right. 16 Q. The calls came in, and you discussed it with 17 your secretary, right? 18 A. Yes. 19 Q. And after the discussion, you made the 20 independent decision to assign to Christie Causer 21 the responsibility of writing an article about the 22 subject, right? 23 A. Yes. 24 Q. And was a draft article written? 25 A. Yes. A draft article was written. I read 26 through the article. I questioned the amount of 27 money that was supposedly paid for an injection. I 28 questioned the fact that the money had been 11652 1 requested to be sent to Mrs. Arvizo at her home 2 address. And I told Christie that was not ethical, 3 we could not do that, and we would not have that 4 information in the paper unless there was a trust 5 fund that was set up or if -- and that was the only 6 way it would be in the paper. 7 Q. Now, eventually did you authorize the 8 publishing of that article? 9 A. Yes, I did. 10 Q. Okay. What was your concern about the costs 11 of an injection? 12 A. My concern was that $12,000 for an injection 13 was a little over the top. And I said, “Are you 14 sure, Christie, that this was the amount that she 15 said?” 16 She said she tape-recorded it, and she went 17 through it again, and yes, indeed, she said $12,000 18 for a chemotherapy injection. 19 Q. Now, was the intent of the article to raise 20 money to pay for Gavin’s medical expenses? 21 A. It wasn’t the intent. It was, “If you wish 22 to do so, you may” -- 23 Q. Okay. 24 A. -- type of thing. 25 Q. Was it your intent to provide information to 26 readers who wanted to contribute money regarding 27 where to send the money? 28 A. Yes. 11653 1 Q. And did you do that? 2 A. Yes, I did. 3 Q. As far as what the money was to be raised 4 for, was it your intention that this article was to 5 raise money purely for medical expenses? 6 A. The thrust -- the whole slant of the article 7 was how expensive it was for his medical care, which 8 is what we assumed that money was going to go 9 toward. 10 Q. And did you know at the time you authorized 11 the publishing of this article whether or not 12 insurance was paying for Gavin’s medical expenses? 13 A. I -- I will answer that yes, in a -- in an 14 after-the-fact case. 15 Q. Let me rephrase it. I’m sorry. I’ll 16 withdraw the question. 17 Before you published an article that talked 18 about raising money for Gavin, did you know whether 19 or not insurance was paying for his medical 20 expenses? 21 A. Before that? No, I did not know that. 22 Q. Now, did you authorize the publishing of an 23 article which talked about $12,000 per injection for 24 Gavin? 25 A. Yes, I did. 26 Q. And where did that information come from? 27 A. From Mrs. Arvizo. 28 MR. SNEDDON: Your Honor, I’m going to 11654 1 object to that as lack of foundation and hearsay. 2 THE COURT: Sustained. 3 MR. SNEDDON: Move to strike. 4 THE COURT: Stricken. 5 Q. BY MR. MESEREAU: Were there any other 6 purposes to the publishing of this article as far as 7 you were concerned? 8 A. No other, than -- 9 Q. Did you think this was an issue of community 10 interest like you’ve described? 11 A. Of course. 12 Q. Okay. And how often -- or let me rephrase 13 that. 14 How many times did this article appear? 15 A. One time. 16 Q. Okay. Was there any reason why it only 17 appeared one time? 18 A. Um -- 19 MR. SNEDDON: Object as immaterial and 20 irrelevant. 21 THE COURT: Overruled. 22 You may answer. 23 THE WITNESS: I found out that the child was 24 indeed covered by insurance. 25 Q. BY MR. MESEREAU: To your knowledge, was any 26 money raised through your newspaper’s article? 27 A. Mrs. Arvizo told me that she wanted a second 28 article because she didn’t raise enough money from 11655 1 the first article, and that is why there were no 2 other articles written. 3 Q. Did you ever learn how much money was, in 4 fact, raised? 5 A. No, sir. 6 Q. Now, to your knowledge, did the intern that 7 you’ve mentioned, Christie Causer, actually write 8 the article? 9 A. Yes, she did. 10 Q. And did you then edit the article? 11 A. Yes, I did. 12 Q. And after you edited the article, did you 13 authorize the publication? 14 A. I did. 15 Q. Now, how often -- let me get to the year 16 2000. 17 How often was your newspaper appearing in 18 the year 2000? 19 A. Once a week. 20 Q. Does it still appear once a week? 21 A. Still once a week. 22 Q. Okay. Did you ever mention in any of your -- 23 excuse me. 24 Did you ever mention in your article about 25 Gavin any information about a bank account where 26 people could contribute to? 27 A. Yes. 28 Q. And where did the information on that bank 11656 1 account come from? 2 A. I instructed Mrs. Causer that she could not 3 use the name of Mrs. Arvizo, nor her home address to 4 send money or funds because we would have no idea 5 where the funds went; that we would have to have a 6 trust account. 7 Approximately four days later, Christie came 8 back to me and said that indeed the family had a 9 trust fund. 10 Q. Okay. And did you mention that trust fund 11 in the article? 12 A. Yes, I did. 13 Q. Okay. Did you ever confirm whether or not 14 it was, in fact, a trust fund? 15 A. No, sir. 16 Q. Who told you that it was, in fact, a trust 17 fund? 18 A. It was listed in the article as a trust fund 19 and an employee of that particular bank to refer all 20 matters to. 21 Q. Do you know who was a signatory on that 22 account? 23 A. No, sir. 24 Q. Do you know if any withdrawals were ever 25 made from that account? 26 A. No, sir. 27 Q. Do you recall ever communicating with a 28 former attorney for Mr. Michael Jackson named Mark 11657 1 Geragos? 2 A. I wrote Mr. Geragos a letter. 3 Q. And was that approximately November 24th, 4 2003? 5 A. Approximately, yes. 6 Q. Okay. Why did you write the letter to him? 7 A. I had seen the -- 8 MR. SNEDDON: Your Honor, I’m going to 9 object as immaterial, and irrelevant, and calls for 10 hearsay. 11 THE COURT: Sustained. 12 MR. MESEREAU: No further questions at this 13 time. 14 THE COURT: Cross-examine? 15 16 CROSS-EXAMINATION 17 BY MR. SNEDDON: 18 Q. Good afternoon. 19 A. Good afternoon. 20 Q. Did you have a chance to review -- is it Ms. 21 Causer? It’s Ms.? 22 A. Yes. Yes. 23 Q. Missus? 24 (Continuing) -- Ms. Causer’s article before 25 you came to court here today? 26 A. Not yet, but I did bring it. 27 Q. You didn’t review it before you came to 28 court? 11658 1 A. No. 2 Q. Did you have a chance to review the article 3 that you wrote in your newspaper about the 4 experience? 5 A. I did not write an article. I simply -- 6 Q. Well, you wrote an editorial? 7 A. Oh, I did read an editorial. No, I didn’t 8 reread my editorial, no. 9 Q. Are you acquainted with anybody in the 10 Arvizo family personally? 11 A. No. 12 Q. David Arvizo, Marian Arvizo, nobody from 13 that family? 14 A. No. 15 Q. And with regard to the article that was 16 published in your newspaper that was initially done 17 by the intern, Christie Causer, did you make 18 substantial changes in the editorial process or was 19 it basically pretty much what she wrote? 20 A. It’s basically pretty much what she wrote, 21 the context. 22 Q. And your goal as a newspaper was to attempt 23 to put -- to emphasize the medical aspects of what 24 was going on with Gavin at this particular point in 25 time, correct? 26 A. Correct. 27 Q. And did you have a picture of Gavin that 28 accompanied the article? 11659 1 A. Yes, we did. 2 Q. And it’s correct, is it not, that the 3 article, in essence, the way it -- not “in essence,” 4 the article that was eventually published after you 5 had edited it basically dealt with Gavin’s medical 6 experiences on the whole, did it not? 7 A. Yes. 8 Q. In other words, they talked about what had 9 happened to him in terms of the cancer and the size 10 of the tumor and the -- what had happened to him 11 internally, correct? 12 A. And how expensive it was. 13 Q. Well, I’m getting there. I just want to 14 talk about, first of all, the process of the article 15 itself. 16 A. Okay. 17 Q. Okay? And then they talked about this need 18 for blood, correct? 19 A. I believe so. 20 Q. And they talked about the fact that the 21 tumor weighed 16 pounds that they took out of him, 22 correct? 23 A. Correct. 24 Q. And then they talked about his fragile 25 condition and how high risk he was, correct? 26 A. Correct. 27 Q. And they talked about the fact that they had 28 actually sent the tumor to research at Johns Hopkins 11660 1 and Cedars-Sinai to try to determine what kind of 2 cancer it was. Do you recall that? 3 A. Yes, I do. 4 Q. And then they talked a little bit about 5 Gavin. They talked about how -- what a great sense 6 of humor he had, and what a great spiritual outlook 7 he had on the whole process, correct? 8 A. I believe so. 9 Q. And then they talked about the fact that 10 there were comedians and people in the entertainment 11 industry who were supporting the family during this 12 time of need, correct? 13 A. Correct. 14 Q. And they mentioned, in fact, Chris Tucker, 15 did they not? 16 A. Yes. 17 Q. And they talked about the fact that Fritz 18 Coleman had actually advertised on T.V. to try to 19 raise blood for Gavin, correct? 20 A. I don’t recall that, but -- 21 Q. You don’t recall that? 22 A. I just truly don’t recall. 23 Q. Do you have the article in front of you? 24 A. Yes, I have it. 25 Q. Would it refresh your recollection if you 26 looked at the article? 27 A. Okay. 28 Q. And I just direct you down to probably 11661 1 five-sixths of the way down to the bottom of the 2 article. 3 A. Okay. Yes, sir. I see it. 4 Q. Okay. And then after that, Gavin is quoted 5 as saying, “There are more friends than reporters,” 6 correct? 7 A. Correct. 8 Q. And then they go on to talk about the 9 expressions of gratitude and the fact that the 10 family prays for helping Gavin in this particular 11 situation, right? 12 A. Correct. 13 Q. Now, we’re almost at the end of the article, 14 are we not? 15 A. Yes. 16 Q. We’re basically down to the last paragraph, 17 correct? 18 A. Yes. 19 Q. And it’s only in that paragraph is there 20 anything mentioned about the financial situation of 21 the family; isn’t that correct? 22 A. True. 23 Q. So would it be a fair statement to say that 24 the vast -- vast majority of this article dealt with 25 the personal plight of Gavin and the family rather 26 than any financial aspects of the family, correct? 27 A. Correct. 28 Q. Now, in the article it says that their car 11662 1 was repossessed, correct? 2 A. Yes. 3 Q. And it says that there’s one chemotherapy 4 injection that cost $12,000, correct? 5 A. Yes. 6 Q. And that’s the only things mentioned about 7 the finances for the family? 8 A. Uh-huh. 9 Q. Now, there’s no mention in this article at 10 all about the fact that they’re going to lose their 11 home, is there? 12 A. No. 13 Q. You told the jury in your direct examination 14 that you were told that they were going to lose 15 their home, that Miss Causer told you that? 16 A. No, but the secretary that doesn’t exist 17 did. 18 Q. Ma’am -- 19 A. I’m sorry, I don’t mean to be rude. It’s 20 just -- 21 Q. Well, you are being, so -- 22 MR. MESEREAU: Objection, Your Honor. Move 23 to strike counsel’s comments. 24 THE COURT: I’ll strike -- 25 THE WITNESS: That was the only reason -- 26 THE COURT: Just a moment. I’m going to 27 instruct you that you must follow the rules of 28 evidence here -- 11663 1 THE WITNESS: Okay. 2 THE COURT: -- and not comment to the jury on 3 your opinion of them. Do you understand? 4 THE WITNESS: I -- 5 THE COURT: Just a moment. Just tell me 6 whether you understand that or not. You are not 7 allowed to do anything except answer the questions. 8 THE WITNESS: I understand that. 9 THE COURT: Okay. Mr. Sneddon, ask the next 10 question. 11 MR. SNEDDON: Yes, sir. 12 Q. Did you not say on direct examination in 13 front of this jury that you received the information 14 with regard to the possible repossession of the 15 house from Miss Causer? 16 A. Among other people, yes. 17 Q. That information is not in the article, is 18 it? 19 A. No. 20 Q. Now, are you certain that Miss Causer 21 tape-recorded this conversation? 22 A. I asked -- yes, I am certain. 23 Q. And did you review the tape of that 24 conversation? 25 A. No, sir. 26 Q. So you never -- you did not independently 27 review the tape before you edit -- before you 28 applied your editorial license to the article? 11664 1 A. That’s correct. 2 Q. Now, did you write an article? You said you 3 did write an editorial later, correct? 4 A. Yes, I did. 5 Q. In the editorial you were very critical of 6 Mrs. Arvizo, correct? 7 MR. MESEREAU: Objection; relevance. 8 THE WITNESS: I don’t recall being -- 9 THE COURT: Just a moment. 10 THE WITNESS: -- critical. 11 THE COURT: Just a moment, ma’am. You have 12 to wait till I rule. 13 THE WITNESS: Oh. Oh. 14 THE COURT: The objection is overruled. 15 All right. You may answer. 16 THE WITNESS: The question once again. 17 THE COURT: I’ll have the question read back. 18 (Record read.) 19 THE WITNESS: I don’t -- I -- I’m sort of 20 stuck on the word “very.” I was critical, but I 21 don’t know about the rest. 22 Q. BY MR. SNEDDON: I’ll settle for that. That 23 helps. 24 A. Okay. 25 Q. Did you say in that article that Miss Causer 26 had taken a cooked turkey over to the Arvizo family? 27 A. That was my understanding, yes. 28 Q. Okay. You put that in the article? 11665 1 A. Yes, I did. 2 Q. Did you determine later that that was 3 incorrect? 4 A. Yes. 5 Q. And did you put in that article that Mrs. 6 Arvizo said that she would rather have money than 7 the turkey? 8 A. Yes, I did. 9 Q. Did you determine that was incorrect? 10 A. No. 11 Q. Did you talk to Miss Causer about that? 12 A. Yes. 13 Q. And you know that she denies that Mrs. 14 Arvizo ever made that statement? 15 A. Then it’s after the fact. I don’t know 16 that. 17 Q. Did she tell you that when you asked her? 18 A. She told me that the reason she was upset 19 was the mother said she would rather have the money 20 instead of the food. 21 Q. And that’s what she told you? 22 A. That’s what she’s told me. And she’s not 23 retracted it since then. 24 Q. She hasn’t? 25 A. No, sir. 26 Q. She denies that statement today, though. 27 You know that? 28 A. No, I do not. 11666 1 MR. MESEREAU: Objection; improper question. 2 MR. SNEDDON: No, I’m asking if she’s aware 3 of that. 4 THE COURT: Objection sustained. 5 Q. BY MR. SNEDDON: Are you aware of the fact 6 that she has denied ever making such a statement to 7 you about that? 8 A. No. 9 Q. You said in your article that she was 10 crushed, correct? 11 A. Who? 12 Q. Cindy Causer (sic). 13 A. Yes. 14 Q. And that she was furious; is that correct? 15 A. That is correct. 16 Q. Are those the words that she used in 17 describing that event to you? 18 A. Those were the words I used when she relayed 19 them to me. 20 Q. I think the question was, were those the 21 words that she used to you to describe the 22 situation? 23 A. No. That was my observation. 24 Q. Now, you at some point contacted Kaiser, 25 correct? 26 A. I did. 27 Q. It was at that point that you determined 28 that there was medical coverage for the Arvizo 11667 1 family, correct? 2 A. Yes. 3 Q. And that event, in contacting Kaiser, did 4 not occur until the allegations in this case became 5 public; isn’t that correct? 6 A. No, sir. 7 Q. They were not? 8 A. No. If you’re speaking of still my 9 editorial? The -- the original story and the 10 editorial. 11 Q. I’m talking about when you contacted Kaiser 12 to determine whether or not the Arvizo family had 13 medical coverage. When did that occur? Before or 14 after the allegations in this case became public? 15 A. Before. 16 Q. How much before? 17 A. Three months before -- after the original 18 article was written, so I would say January of 2001. 19 Q. Now, did you -- did you ever determine 20 whether or not the Arvizo car, the Arvizo family 21 car, was in fact repossessed? 22 A. No, sir. 23 Q. And did you do any research into the 24 financial background of the family in general? 25 A. No, sir. 26 Q. Did you determine whether or not the husband 27 was employed? 28 A. No, sir. 11668 1 Q. Did you determine whether or not the husband 2 was on disability at the time that Miss Causer did 3 the article? 4 A. No, sir. 5 Q. Did you determine whether or not the fact 6 that he was on disability at the time may affect 7 whether or not the medical insurance would continue 8 to cover the child’s expenses during the time of the 9 cancer treatment? 10 A. No, sir. 11 Q. Did you determine -- did you assume that 12 Miss -- Mrs. Arvizo was the one who was totally in 13 control of the trust account that was set up in the 14 name of the child? 15 A. I didn’t know who was in charge of the trust 16 account. 17 Q. Okay. So you didn’t know whether it was 18 Mrs. Arvizo or David Arvizo, the husband? 19 A. Right. 20 Q. But when you wrote your article, you didn’t 21 mention David Arvizo, did you? 22 A. Not to my recollection, no. 23 Q. You pointed your article at Mrs. Arvizo? 24 A. That is who I had the dealings with. 25 Q. I know. But you didn’t mention the husband 26 that she was married to? 27 A. No. 28 Q. And you knew -- you knew no role what he 11669 1 played in the family. 2 A. None whatsoever. 3 Q. Were you aware that Mrs. Arvizo was the 4 victim of domestic violence for 16 years in 5 relationship with the husband? 6 A. No, sir. 7 MR. MESEREAU: Objection; relevance. 8 MR. SNEDDON: I think it -- 9 THE COURT: Sustained. 10 MR. SNEDDON: Your Honor, can I just be 11 heard briefly? 12 THE COURT: All right. 13 MR. SNEDDON: It goes to the credibility of 14 the bias in the article. 15 THE COURT: The objection is sustained. 16 Q. BY MR. SNEDDON: Did you determine whether 17 or not any other members of the children of the 18 family had been the victims of domestic violence? 19 MR. MESEREAU: Objection. Beyond the scope; 20 relevance. 21 THE WITNESS: No. 22 THE COURT: Sustained. 23 Q. BY MR. SNEDDON: Did you contact any of the 24 celebrities who were mentioned in the original 25 article by Miss Causer to get more information on 26 the background of the family? 27 A. No. 28 Q. You didn’t contact, for instance, Fritz 11670 1 Coleman? 2 A. No. 3 Q. You didn’t contact Chris Tucker? 4 A. No. 5 Q. Were you aware of the fact that George 6 Lopez, the comedian, and Ann Lopez, his wife, were 7 helping the family at the same time to raise money? 8 A. No. 9 Q. Did you ever contact them? 10 A. No. 11 Q. Were you aware that Louise Palanker had 12 provided funds to the family at the same time? 13 A. No. 14 Q. To see whether or not -- what she knew about 15 the family and the family’s needs? 16 A. No. 17 Q. Are you familiar with a person by the name 18 of Jamie Masada who owns The Laugh Factory? 19 A. I know the name. 20 Q. Did you contact Mr. Masada to determine what 21 his efforts were on behalf of this family to help 22 their plight while their son was going through 23 cancer? 24 A. No. 25 Q. And you made no attempt to determine the 26 husband’s role in the expenditures of those funds 27 from the trust account, correct? 28 A. Correct. 11671 1 Q. Now, the trust account information was 2 placed in the newspaper by you? 3 A. I authorized its placement, yes. 4 Q. And it’s your testimony that Miss Causer was 5 the one who got that information? 6 A. Yes. 7 Q. And provided it to you to be printed in the 8 paper? 9 A. Yes. 10 Q. And when Miss Causer went out to the house, 11 she also gave the family some money, did she not, of 12 her own? 13 A. She did not mention that to me. 14 Q. You didn’t reprimand her for giving them 15 money and saying it was against your policy? 16 A. No. 17 Q. Now, were you aware of the fact that at the 18 time that Miss Causer was writing this article -- 19 let me go back. 20 Was it your understanding that you were 21 putting an article in the paper to enlist the 22 community’s support to assist this family during 23 Gavin Arvizo’s fight against cancer? 24 A. Yes. 25 Q. Okay. And was it your -- was it your 26 particular understanding or at least the goal of the 27 paper only to help raise money to offset the medical 28 expenses? 11672 1 A. That’s true. 2 Q. In other words, you didn’t care whether 3 their car was repossessed or what the other 4 financial implications were to the family? 5 A. Well, I definitely care. But if money was 6 raised for his medical expenses, then whatever 7 moneys they were paying for medical could go to 8 their everyday care. 9 Q. But your article implied to the community, 10 did it not, that this family was suffering not only 11 because of medical expenses but also personal 12 hardships that resulted from Gavin’s cancer, 13 correct? 14 A. No. 15 Q. Isn’t that why you put the part in there 16 about their car being repossessed? 17 A. You’re referring to the editorial piece. 18 Q. No, ma’am. I’m referring to the original 19 article. 20 A. The original article says his car has been 21 repossessed? 22 Q. Yes, ma’am. 23 A. I don’t recall that either. 24 Q. Go ahead and look at the article. It’s 25 right down at the bottom. 26 A. Oh, yes. 27 Q. It does, does it not? 28 A. Yes, it does. 11673 1 Q. So it’s informing the community of El Monte 2 and all the surrounding cities, the six other 3 cities, that this family not only had medical 4 expenses associated with Gavin’s illness, but they 5 had some personal hardships, personal financial 6 hardships, correct? 7 A. As a result of medical problems. 8 Q. Well -- 9 A. Yeah. 10 Q. You assume it was a result of the medical 11 problems? 12 A. Sure. 13 Q. Did you not assume that it could have been 14 as a result of some of the other related problems 15 created by the medical problem? 16 MR. MESEREAU: Objection; compound. 17 MR. SNEDDON: Let me rephrase, Your Honor. 18 Q. Has it been your experience that people who 19 go through a severe medical hardship like this incur 20 other substantial hardship expenses that are not 21 directly related to the medical aspects of it, 22 correct? 23 MR. MESEREAU: Objection. Beyond the scope; 24 relevance. 25 THE COURT: Overruled. 26 You may answer. 27 THE WITNESS: I -- having been in that 28 situation, yes. 11674 1 Q. BY MR. SNEDDON: And were you aware at the 2 time that Miss Causer wrote her letter, for 3 instance, that Gavin Arvizo, when he would come out 4 of the hospital from his chemotherapy treatments, 5 would have to be in a special room? Did you know 6 that? 7 A. No, sir. 8 Q. Okay. And did you know that in that special 9 room they had to buy a special air purifier in order 10 to protect against infection? Did you know that? 11 MR. MESEREAU: Objection. Relevance; 12 foundation. 13 THE COURT: Sustained. 14 Q. BY MR. SNEDDON: Did you know when this 15 article was prepared that there were special 16 hardship -- financial hardships associated with his 17 medical treatment outside the course of the 18 hospital? 19 MR. MESEREAU: Objection. Foundation; 20 relevance; beyond the scope. 21 THE COURT: Overruled. 22 You may answer. 23 THE WITNESS: No. 24 Q. BY MR. SNEDDON: So you -- you’ve told us 25 that you do believe or understand the fact that 26 there are financial hardships not associated with 27 the direct paying of medical costs. Did you 28 envision that this fund could be used to offset some 11675 1 of those financial hardships on the family? 2 A. No. 3 Q. That was what was in your mind? 4 A. That was in my mind. I thought it was 5 purely for medical reasons. 6 Q. Would you concede to me that a public 7 reading this article, you having mentioned the 8 repossession of their car, might want to give money 9 to help for other aspects of the hardships created 10 by Gavin’s medical situation, could you not? 11 MR. MESEREAU: Objection. Foundation; calls 12 for speculation. 13 THE COURT: Sustained. 14 MR. SNEDDON: No further questions. 15 16 REDIRECT EXAMINATION 17 BY MR. MESEREAU: 18 Q. Did you ever determine that the figure 19 $12,000 for chemotherapy treatment given to your 20 paper by Janet Arvizo was false? 21 A. No. Um -- no. 22 Q. Did she ever call up and say, “You made a 23 typo, it’s really $1200”? 24 A. No. 25 Q. Now, how many messages did she leave with 26 your paper, if you know, about these articles? 27 MR. SNEDDON: Object. Calls for hearsay. 28 THE COURT: Foundation. Sustained. 11676 1 Q. BY MR. MESEREAU: Do you know how many phone 2 calls Janet Arvizo made to your paper around the 3 time you published the article? 4 MR. SNEDDON: Same objection, Your Honor. 5 THE COURT: You may answer that “yes” or 6 “no.” 7 THE WITNESS: Yes. 8 Q. BY MR. MESEREAU: How many? 9 A. Five. 10 MR. SNEDDON: Same objection. 11 THE COURT: Sustained. 12 Just a moment. I’m going to change my ruling 13 on that. I’ll leave the answer in, “Five.” 14 Next question. 15 Q. BY MR. MESEREAU: The prosecutor asked you 16 questions about what you were thinking when you 17 published the article and what your intent was. 18 Was it your belief that the Arvizos had to 19 spend $12,000 per chemotherapy injection for Gavin? 20 A. Yes. 21 Q. And what was your belief based upon? 22 A. Based upon the interview by Christie, and 23 she had it on tape. 24 Q. And was it your understanding that insurance 25 would not pay for the $12,000 cost per injection? 26 A. At that time, yes. 27 MR. SNEDDON: Your Honor, I’m going to 28 object to that. Calls for her conclusion; 11677 1 speculation. 2 THE COURT: Sustained. Stricken. 3 Q. BY MR. MESEREAU: Was the intent of the 4 article -- excuse me. Was one of the purposes of 5 the article to raise money to pay for the $12,000 6 per chemo injection cost? 7 A. Yes. 8 Q. Now, the prosecutor asked you questions if 9 you knew about Miss Arvizo’s marriage. Did you 10 think it was your obligation to dig into that? 11 A. No. 12 Q. Was there any purpose in your article to 13 talk about Ms. Arvizo’s marriage? 14 A. Never -- no. 15 Q. Was one of the purposes of the article to 16 raise money to pay for a repossessed car? 17 MR. SNEDDON: Your Honor, I’m going to 18 object as to which article he’s talking about here 19 now. It’s vague as to which article. There’s -- 20 MR. MESEREAU: I’ll rephrase it. 21 Q. Let’s talk about the first article. Was one 22 of the purposes of your newspaper publishing that 23 article to help Janet Arvizo raise money for a 24 repossessed car? 25 A. No. 26 Q. Let’s talk about the second article. Was 27 one of the purposes for having your newspaper 28 publish that article the raising of money to pay for 11678 1 a repossessed car? 2 A. No. 3 Q. The prosecutor asked you questions about 4 financial hardship that comes to a family that has 5 some medical expenses, okay? Was one of the 6 purposes of your first article to raise any money to 7 pay for ancillary financial expenses of the family? 8 A. No. 9 Q. Was one of the purposes of the second 10 article you published to raise money for nonmedical 11 family expenses? 12 A. No. 13 Q. Did you ever try to ask the public to pay 14 for any nonmedical expenses of the Arvizos in any of 15 your articles? 16 A. No. 17 Q. Now, was it your understanding that the 18 original article was based upon an interview with 19 Janet? 20 A. Yes. 21 Q. Was it based upon one interview with Janet, 22 if you know? 23 A. I don’t know that. 24 Q. Okay. Was it your understanding that Janet 25 had called the paper about an article? 26 A. Yes. 27 Q. And who did you learn that from? 28 A. My secretary. 11679 1 Q. To your knowledge, did Janet ever call the 2 paper and want other articles published to raise 3 money? 4 A. Yes. 5 Q. How many times did she do that, if you know? 6 MR. SNEDDON: Object. Asked and answered. 7 MR. MESEREAU: I think I limited it to 8 raising money, Your Honor. 9 THE COURT: I think the last question was 10 how many times she’d called totally, so I’ll sustain 11 the objection. 12 MR. MESEREAU: Okay. 13 Q. To your knowledge, how many times did Janet 14 Arvizo call your newspaper for the purpose of 15 raising money? 16 A. I have no way of gauging that, Counsel. 17 Q. Okay. And other than Christie Causer and 18 your secretary, do you know if anyone else 19 associated with your newspaper ever spoke to Janet? 20 A. No. 21 Q. Okay. How large a staff did your newspaper 22 have at the time? 23 A. At the time, three. 24 Q. Okay. And when you published your newspaper 25 in 2003, approximately how many articles would you 26 devote to this topic? 27 A. Very, very, very, very -- almost none to a 28 family-in-need article. 11680 1 Q. Okay. And if you know, which page was the 2 article published on? 3 A. It was on front page. 4 Q. Was there any reason for that? 5 A. I think the story tugged at your heart 6 strings. The child’s face, beautiful. 7 Q. Now, you said that Janet complained that not 8 enough money was raised from the first article, 9 right? 10 A. Yes. 11 Q. Did she complain to you? 12 A. Yes. 13 Q. Did she call you at the paper? 14 A. Yes. 15 Q. How long was that conversation? 16 A. The conversation was approximately one 17 minute and 20 seconds. 18 Q. Why? 19 A. Because I didn’t want to talk to her. 20 Q. How come? 21 A. Because I had already established the fact 22 that I had been duped. 23 MR. MESEREAU: No further questions. 24 25 RECROSS-EXAMINATION 26 BY MR. SNEDDON: 27 Q. Are you telling us that the conversation you 28 had with Miss Arvizo was three months after the 11681 1 publication of the first article? 2 A. She wanted what -- 3 Q. No, I’m asking you a very specific question. 4 A. Okay. I’ll listen again. 5 MR. SNEDDON: Maybe the court reporter could 6 read it back, Your Honor. 7 THE COURT: All right. 8 (Record read.) 9 THE WITNESS: Approximately, yes. 10 Q. BY MR. SNEDDON: Was three months later? 11 A. Yes. 12 Q. After you’d already called Kaiser? 13 A. Yes. 14 Q. And did you have a conversation with 15 Miss Causer and ask her whether or not she could 16 have made a mistake about the $12,000 and it really 17 could have been $1200? 18 A. Yes. 19 Q. Did you go back and verify that? 20 A. I asked Mrs. Causer to verify it on her 21 tape. 22 Q. No, I think -- 23 A. Oh, okay. 24 Q. Let me make it clearer for you. 25 After you determined from calling Kaiser -- 26 well, first of all, you drew the conclusion you’d 27 been duped because you determined that full medical 28 coverage was being taken care of by Kaiser, correct? 11682 1 A. Correct. 2 Q. But you made none of the inquiries I asked 3 about before. You didn’t check to see whether or 4 not the insurance may have been jeopardy. Did you 5 do that? 6 A. No, sir. 7 Q. Okay. And the reason that you feel that you 8 were duped is because you felt, in your mind, that 9 the money only should have been used to pay for the 10 direct medical costs, correct? 11 A. Correct. 12 Q. And yet, the article itself says nothing 13 about where the money -- how the money is going to 14 be expended, does it? 15 A. No. 16 Q. Okay. So the article, to somebody reading 17 it in the public who didn’t know your mindset, would 18 not be able to determine from that that the money 19 had to go directly into the direct medical expenses 20 for Gavin Arvizo, would it? 21 A. No. You’re right. 22 MR. SNEDDON: Thank you. I’ll quit while 23 I’m ahead. 24 MR. MESEREAU: Move to strike his comments. 25 THE COURT: Stricken. 26 MR. MESEREAU: No further questions. 27 THE COURT: All right. Thank you. You may 28 step down. 11683 1 All right. We’ll recess until tomorrow. 2 8:30. 3 (The proceedings adjourned at 2:30 p.m.) 4 --o0o-- 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 11684 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 11544 through 11684 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 May 23, 2005, and thereafter 19 reduced to typewriting by computer-aided 20 transcription under my direction. 21 DATED: Santa Maria, California, 22 May 23, 2005. 23 24 25 26 27 MICHELE MATTSON McNEIL, RPR, CRR, CSR #3304 28 OFFICIAL COURT REPORTER 11685