25 May 2004
Source: Digital file from Southern District Reporters Office; (212) 805-0300.

This is the transcript of Day 5 of the trial.

See other transcripts: http://cryptome.org/usa-v-ssy-dt.htm

Lynne Stewart web site with case documents: http://www.lynnestewart.org/


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        1    UNITED STATES DISTRICT COURT
        1    SOUTHERN DISTRICT OF NEW YORK
        2    ------------------------------x
        2
        3    UNITED STATES OF AMERICA,
        3
        4               v.                           S1 02 Cr. 395 (JGK)
        4
        5    AHMED ABDEL SATTAR, a/k/a "Abu Omar,"
        5    a/k/a "Dr. Ahmed," LYNNE STEWART,
        6    and MOHAMMED YOUSRY,
        6
        7                   Defendants.
        7
        8    ------------------------------x
        8
        9
        9                                         New York, N.Y.
       10                                         May 25, 2004
       10                                         10:45 a.m.
       11
       11    Before:
       12
       12                          HON. JOHN G. KOELTL
       13
       13                                            District Judge
       14
       15
       16
       17
       18
       19
       20
       21
       22
       23
       24
       25
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        1                              APPEARANCES
        1
        2    DAVID N. KELLEY
        2         United States Attorney for the
        3         Southern District of New York
        3    ROBIN BAKER
        4    CHRISTOPHER MORVILLO
        4    ANTHONY BARKOW
        5    ANDREW DEMBER
        5         Assistant United States Attorneys
        6
        6    KENNETH A. PAUL
        7    BARRY M. FALLICK
        7         Attorneys for Defendant Sattar
        8
        8    MICHAEL TIGAR
        9    JILL R. SHELLOW-LAVINE
        9         Attorneys for Defendant Stewart
       10
       10    DAVID STERN
       11    DAVID A. RUHNKE
       11         Attorneys for Defendant Yousry
       12
       12
       13
       14
       15
       15
       16
       17
       18
       19
       20
       21
       22
       23
       24
       25
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        1             (Trial resumed)
        2             THE COURT:  Good morning all.  Please be seated.
        3             Mr. Dember, I noted the other day that we were
        4    beginning late and I thought I was right, that the reason that
        5    we began a bit late the other day was that there was a problem
        6    of lack of communication with the marshals.  We are beginning
        7    late today because of a similar issue.
        8             MR. DEMBER:  That is not my understanding at all.  Ms.
        9    Baker can speak more intelligently about this.
       10             MS. BAKER:  Your Honor, my office had placed what we
       11    refer to as a standing order with the Marshals Service that
       12    starting last Wednesday with the beginning of voir dire that
       13    Mr. Sattar be produced for trial every day until further order.
       14    This morning when Mr. Sattar was not produced, when he
       15    belatedly did get here, I spoke with the two deputies who
       16    arrived with him and asked them to confirm to me that in fact
       17    there is a standing order in place and they confirmed that
       18    there is.
       19             I asked whether that is in fact the proper procedure
       20    for getting Mr. Sattar produced every day and they confirmed
       21    that it is and that there is nothing else that the government
       22    appropriately needs to do to make that happen.  And that it was
       23    essentially a internal miscommunication or lack of somebody
       24    within one of the sections of the Marshals Service taking the
       25    appropriate step to make it happen.
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        1             THE COURT:  Okay.
        2             Can you follow up with the Marshals Service?
        3             MS. BAKER:  Yes, your Honor.  I will call Mr.
        4    Guccione, who is the marshal, and make him aware that we have
        5    had delays on more than one occasion so far and ask him to
        6    please instruct that the order be more carefully complied with
        7    in the future.
        8             THE COURT:  All right.
        9             Juror 148 has a medical emergency upstate with an
       10    elderly parent and will be available on June 1st.
       11             We have Jurors 145, 146, 149, 153, 154, 157, 158 and
       12    159 who are here.
       13             Juror 156 is not here yet, or Mr. Fletcher didn't
       14    believe that 156 was here.  Whether 156 is on his or her way, I
       15    don't know.
       16             So let's begin with Juror 145.
       17             (Juror present)
       18    BY THE COURT:
       19    Q.  Good morning, Juror 145.
       20    A.  Good morning.
       21    Q.  Good to see you.
       22    A.  Thank you.
       23    Q.  Since you were here last has anything changed concerning
       24    your ability to serve as a juror in this case or has anything
       25    occurred to you that may affect your ability to be a fair and
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        1    impartial juror in this case?
        2    A.  Nothing has changed.
        3    Q.  Okay.
        4             It now appears that the date that the final jury will
        5    be chosen will be Monday, June 21st, so after today it's
        6    unlikely that you will be asked to call in before June 18th.
        7    Does that present any serious hardship for you?
        8    A.  No.
        9    Q.  Since you were here last have you spoken to anyone about
       10    this case or have you looked at or listened to anything about
       11    the case?
       12    A.  No.
       13    Q.  Has anyone spoken to you about the case, and that includes
       14    any conversations here at the courthouse or with any other
       15    prospective jurors?
       16    A.  No.
       17    Q.  While you were waiting with the other prospective jurors,
       18    did you or anyone you overheard discuss the case?
       19    A.  No.
       20    Q.  And let me go over some of the answers on the
       21    questionnaire.
       22             You had indicated that serving as a juror would not be
       23    a serious hardship but you did point out that you are currently
       24    serving as executor of your mother's estate.
       25    A.  Yes.
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        1    Q.  We don't sit -- we only sit until about 4:30 every day.  We
        2    don't sit on Fridays or weekends.  Is there anything about your
        3    serving as an executor that would prevent you from being a
        4    juror in this case?
        5    A.  The only issue would be that in fact the estate attorney
        6    doesn't work Fridays so I would have to see him possibly once a
        7    month or so until everything is settled, and it would have to
        8    be a Monday to Thursday meeting, but they are usually no more
        9    than about an hour.
       10    Q.  Okay.  We can make exceptions.
       11             The other thing is perhaps if you simply told him that
       12    you were on a jury without telling him anything else about the
       13    case and tell the lawyer that the judge asked if he could
       14    possibly see it clear that he could at least give you an hour
       15    of his time on a Friday it would be --
       16    A.  It's possible.  He doesn't even come into the city on
       17    Friday.
       18    Q.  Or at the end of the day.
       19    A.  Right.
       20    Q.  Okay.
       21             You mentioned that you have a father and brother who
       22    live in Israel.  Is there anything about that that would
       23    prevent you from being a fair and impartial juror in this case?
       24    A.  No.
       25    Q.  You have told us that you were a juror in 7 cases and of
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        1    those 7 cases how many were criminal?
        2    A.  I served on 2 federal criminal cases.  The state were
        3    mostly civil and they all settled prior to deliberations
        4    concluding.
        5    Q.  Okay.
        6    A.  Or prior to deliberations.
        7    Q.  All right.  Have you served on any federal civil cases?
        8    A.  No.
        9    Q.  The 2 federal criminal cases that you served on, about when
       10    was that?
       11    A.  1975 my first jury duty and about 8 years ago was the other
       12    one.
       13    Q.  And what was the case about in 1975?
       14    A.  Narcotics.
       15    Q.  And about 8 years ago?
       16    A.  Narcotics.
       17    Q.  Is there anything about your experience in any of those
       18    cases, your experience with the court system, with the
       19    participants in the court system, with any of those cases, that
       20    would prevent you from being a fair and impartial juror in this
       21    case?
       22    A.  No, not from past experience, no.
       23    Q.  You indicated that you were a witness in Housing Court for
       24    your parents many years ago, and they were in the process of
       25    suing to evict a tenant.  Anything about that experience that
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        1    would prevent you from we being a fair and impartial juror in
        2    this case?
        3    A.  No.
        4    Q.  You mentioned that someone in your family and a close
        5    friend were victims of crime.  Can you just -- well, your note
        6    is that you have 3 brothers and a friend, all of whom were
        7    robbed, is that right?
        8    A.  Yes, it was all muggings, yes.
        9    Q.  And were any people prosecuted in connection with those
       10    crimes?
       11    A.  No.
       12    Q.  Is there anything about that experience that would prevent
       13    you from being a fair and impartial juror in this case?
       14    A.  No.
       15    Q.  You mentioned that your oldest brother was accused of
       16    stalking and charges were dismissed.
       17    A.  Yes.
       18    Q.  Anything about that that would prevent you from being a
       19    fair and impartial juror in this case?
       20    A.  No.
       21    Q.  You were a nurse investigator in medical malpractice cases,
       22    is that right?
       23    A.  Yes, sir.
       24    Q.  And you testified in those cases?
       25    A.  No, sir.  It was all prelitigation.
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        1    Q.  Prelitigation, okay.
        2             Anything about that experience would that prevent you
        3    from being a fair and impartial juror in this case?
        4    A.  No.
        5    Q.  Your mother was a volunteer for Legal Aid.  How long ago
        6    was that?
        7    A.  Pretty much until right before she died.  So that was
        8    February.
        9    Q.  I am sorry?
       10    A.  She volunteered up until the end of last year.
       11    Q.  Okay.
       12             Anything about that that would prevent you from being
       13    a fair and impartial juror in this case?
       14    A.  No.
       15    Q.  There were a series of questions which asked you about
       16    certain kinds of evidence that might be admitted, such as
       17    evidence from electronic devices known as bugs or wiretaps, and
       18    the possibility that there may be conversations between
       19    attorneys and their clients that might be admitted.  And you
       20    told us that the wiretap information would not prevent you from
       21    being fair and impartial but only if legally obtained, and you
       22    expressed questions about attorney-client privilege
       23    conversations because you believe firmly in the privilege.
       24    A.  Yes.
       25    Q.  Let me explain something, and then I will ask you some
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        1    other questions.
        2             If any evidence is introduced in the course of the
        3    trial, it is because I have found that the evidence can be
        4    admitted, that it's legally admissible in court, and so it's up
        5    to the jury to determine whether the charges in the indictment
        6    are proved beyond a reasonable doubt based on the evidence or
        7    the lack of evidence in the case.  And the jury is to consider
        8    all of the evidence or lack of evidence in the case in
        9    determining whether the charges are proven beyond a reasonable
       10    doubt.
       11             There is a common charge which says government
       12    investigative techniques are not the jurors' concerns.  The
       13    jurors' concern is whether the charges in the indictment have
       14    been proven beyond a reasonable doubt.  So it's not for the
       15    jurors to second guess whether my rulings on the law are
       16    correct or incorrect, as to whether the evidence should have
       17    been admitted or not admitted.  Nor is it up to the jurors to
       18    say I like that kind of evidence or I don't like that kind of
       19    evidence.  It's up to the jurors to say there is the evidence,
       20    I will consider the evidence, and determine whether the charges
       21    are proven beyond a reasonable doubt.
       22             So let me ask you whether any of your feelings or
       23    thoughts about wiretap evidence or conversations between
       24    attorneys and their clients, any of those feelings or beliefs
       25    that you have would prevent you from following my instructions?
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        1    A.  I don't think so.  I think I would be able to follow
        2    instructions.  I couldn't, you know, as much as I think I am
        3    able to.  I have done it in the past, follow the instructions.
        4    Q.  You know, the ultimate issue, and you are a very
        5    knowledgeable and sophisticated person having served on many
        6    juries, is to think about yourself and your commitments to be a
        7    fair and impartial juror and I go through all of these issues
        8    to raise the questions with you so that you can look at those
        9    questions and say yes or no whether I will be fair and
       10    impartial, whether that is an issue that would prevent me from
       11    being a fair juror in this case.
       12             So I have explained the kinds of evidence that may be
       13    admitted.  I have told you that it would be admitted because I
       14    have found that it is admissible.  So you tell me, will you be
       15    a fair and impartial juror in a case which may contain evidence
       16    like that?
       17    A.  Based on that question, yes, I could be.  I am not
       18    convinced I could be in this case but based on that question,
       19    yes.  You are saying evidence is admissible, that is what I
       20    would judge the case on, admissible evidence.
       21    Q.  You say you are not sure you could be fair and impartial in
       22    this case.  Tell me why?
       23    A.  I read a lot about this case prior to being called.
       24    Q.  Right.
       25    A.  It disturbed me a lot and I am not sure considering what I
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        1    thought about it prior to here and not having heard any
        2    evidence, I am not sure I would actually be able to overcome
        3    how I felt prior to coming in here.
        4    Q.  Well, what did you feel prior to coming in that you are not
        5    sure you can overcome?
        6    A.  To be honest, I am not sure I could be fair to the
        7    prosecution.  I felt very strongly when I even heard about the
        8    arrest that it was not something I could understand and I was
        9    kind of upset about it.  My family tends to be a little left
       10    wing so we have somewhat of a bent that way.  It bothered me a
       11    lot.  I did read about this case, as I said, prior to being
       12    called in.  And that is why I said what I did about
       13    admissibility and legality.  I understand what you are saying,
       14    that you would not allow any evidence that is not, but that is
       15    my concern.
       16    Q.  Okay.
       17             People bring them their concerns.  The question is
       18    whether -- and I will go over, if you wish, in more detail
       19    exactly what you have heard and read about the case.  Any case
       20    that receives some publicity before trial people will have seen
       21    and heard and there will be some things that are written that
       22    are right and there are some things that are written that are
       23    wrong, and certainly nothing that has been written is evidence.
       24    So you would have to listen to the evidence or lack of evidence
       25    and my instructions on the law.  And you say you told me a few
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        1    moments agriculture not sure that you could do that.
        2             Tell me, if you were chosen as a juror could you put
        3    aside anything that you have seen or heard about the case and
        4    under your oath as a juror decide this case based solely on the
        5    evidence or lack of evidence in the case and my instructions on
        6    the law?
        7    A.  I would certainly try as hard as I could.  I believe I
        8    probably could, but I am just concerned that there is that
        9    little piece in the back of your head that has been there all
       10    along.  I would certainly try to do it only on the evidence.  I
       11    don't know if I would hear the evidence differently than
       12    perhaps people would want me to hear it.  As you said, we all
       13    bring our own baggage.  We all interpret differently.  I would
       14    try.  And I think I probably could, but --
       15    Q.  You see, the parties, both sides in a case, and people
       16    bring them all sorts of things, but both sides in the case are
       17    entitled to jurors from a cross section of their community who
       18    either because they haven't heard very much about the case or
       19    because what they have heard hasn't influenced them or because
       20    what they have heard has not so deeply moved something within
       21    them, the parties are entitled to the jurors who say I will
       22    decide this case based only on the evidence or lack of evidence
       23    and based upon what I have heard, seen or read I tell you under
       24    my oath that that is what I will do, not I will try my best.
       25    You know, there is a pretty good chance I will do that.
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        1             The parties are entitled to know that the jurors will
        2    do that.  So you have to tell me, and I will explore further
        3    what you have seen, heard, read, but would you be able in this
        4    case to decide the case based solely on the evidence or lack of
        5    evidence and my instructions on the law despite anything that
        6    you have seen, heard or read?
        7    A.  I think so is the best I can give you.  I am sorry, your
        8    Honor.  I understand what you are asking me but --
        9    Q.  Do you have any concerns or doubts in your mind whether you
       10    could do that?
       11    A.  I really do.  I have very strong feelings about this case
       12    long before the jury notice came to me.  I would like to
       13    believe I could do it impartially the way I am supposed to and
       14    have done, but I don't know.
       15    Q.  Okay.
       16             Could you step out?
       17    A.  Sure.
       18             (Juror absent)
       19             THE COURT:  I am prepared to excuse the juror.
       20             MR. DEMBER:  The government moves to excuse her for
       21    cause.  Obviously she has indicated she cannot assure us she
       22    can be fair and impartial.
       23             MR. RUHNKE:  We don't oppose that, your Honor.
       24             THE COURT:  Okay.
       25             (Juror present)
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        1    BY THE COURT:
        2    Q.  Juror number 145, I will excuse you.
        3             I very much appreciate your having participated in the
        4    process and all of your efforts in the questionnaire and on
        5    being so candid in talking to me today and you can go home now
        6    and all the paperwork will be taken care of by mail.
        7    A.  Okay.  Thank you, your Honor.  I am sorry.
        8    Q.  Sure.  Oh, no, all you can do is to explain to me honestly
        9    and truthfully what your answers to the various questions are.
       10    So I appreciate your participation.
       11    A.  Thank you.
       12             (Juror absent)
       13             THE COURT:  146.
       14             (Juror present)
       15    BY THE COURT:
       16    Q.  Good morning, Juror 146.
       17    A.  Hello.
       18    Q.  It's good to see you.
       19             Let me ask you some preliminary questions.  Since you
       20    were here last has anything changed concerning your ability to
       21    serve as a juror in this case or has anything occurred to you
       22    that may affect your ability to be a fair and impartial juror
       23    in this case?
       24    A.  No.
       25    Q.  It appears that the date that the final jury will be chosen
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        1    in this case now will be Monday, June 21st.  So after today you
        2    won't have to call back until June 18th.
        3             Does that schedule pose any serious hardship for you?
        4    A.  No.
        5    Q.  Since you were here last have you spoken to anyone about
        6    the case or have you looked at or listened to anything about
        7    the case?
        8    A.  No.
        9    Q.  Has anyone spoken to you about the case, and that includes
       10    anyone here at the courthouse or any of the other prospective
       11    jurors?
       12    A.  No.
       13    Q.  While you were waiting with the other prospective jurors
       14    did you or anyone you overheard discuss the case?
       15    A.  No.
       16    Q.  Let me follow up on some of the questions.  You mentioned
       17    that your spouse, I believe, was in the Army in Vietnam?
       18    A.  Right.
       19    Q.  Is there anything about that that would prevent you from
       20    being a fair and impartial juror in this case?
       21    A.  No, I don't think so.
       22    Q.  There is nothing about that that raises any questions in
       23    your mind about being fair and impartial in this case?
       24    A.  No.
       25    Q.  You mentioned that your husband was sued in two malpractice
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        1    cases.  Can you tell me what happened in those lawsuits?
        2    A.  He was found not guilty in both of them.
        3    Q.  Could you speak into the microphone.
        4    A.  He was found not guilty in both of them.  One was when he
        5    first started in practice.
        6    Q.  I am sorry --
        7    A.  The first lawsuit was when he first started in practice,
        8    and the second one I believe was settled before he got to
        9    court.  He was not found guilty in either one of them.
       10    Q.  Okay.
       11             Is there anything about those experiences or about
       12    your reactions to the court process or any of the participants
       13    in the process that would prevent you from being a fair and
       14    impartial juror in this case?
       15    A.  I don't think so, no.
       16    Q.  You mentioned that some of your husband's distant family or
       17    friends came from Israel years ago?
       18    A.  His parents had actually traveled through Israel when they
       19    left what was Russia, Poland at the time.  They were married in
       20    Israel and they came to the United States.
       21    Q.  I am sorry?
       22    A.  They were married in Israel, his parents, and came to the
       23    United States.  They were traveling through there on their way
       24    from Russia and Poland.
       25    Q.  Is there anything about that that would prevent you from
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        1    being a fair and impartial juror in this case?
        2    A.  No, I don't believe so.
        3    Q.  You mentioned that you socialize with a friend who was born
        4    in Egypt and moved to the United States and that was many years
        5    ago.
        6    A.  Yes.
        7    Q.  Is there anything about that that would prevent you from
        8    being a fair and impartial juror in this case?
        9    A.  No, I don't believe so.
       10    Q.  You have never served as a juror before?
       11    A.  I was selected but the case was resolved before I even got
       12    to hear any of the opening testimony.
       13    Q.  What kind of a case was that?
       14    A.  It was a robbery case.
       15    Q.  And after you were selected nothing happened on the case?
       16    A.  No.
       17    Q.  So you never actually served?
       18    A.  No.
       19    Q.  Was that in federal or state court?
       20    A.  It was state court.
       21    Q.  How long ago was that?
       22    A.  Approximately 4-1/2, 5 years ago.
       23    Q.  Is there anything about that experience or any of the
       24    participants or the process that would prevent you from being a
       25    fair and impartial juror in this case?
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        1    A.  No.  I was actually impressed with the court system at that
        2    time.  How it worked, yes.
        3    Q.  Okay.
        4             You mentioned that you have read books about the
        5    history of the Middle East and its people.  Are there any ones
        6    that stand out in your mind?
        7    A.  No, I read them quite a few years ago, just general
        8    information about the history of the Middle East.
        9    Q.  Okay.
       10             You told us that you heard about the defendants in
       11    this case from newspaper articles.  Can you tell me what it is
       12    that you recall reading about the defendants?
       13    A.  I believe it was in the New York Times magazine article
       14    that I read about the lawyer involved in the case.  What I
       15    remember about it was mainly it was a lot about her family.
       16    Q.  I am sorry?
       17    A.  There was a lot about her family life.  I really don't
       18    remember too much about it.  It was a while ago.
       19    Q.  Okay.
       20    A.  That is about all.
       21    Q.  Let me ask you another question.  You also said that you
       22    had heard of Sheikh Abdel Rahman.  Tell me what you heard or
       23    read about him.
       24    A.  Well, I know he was involved in the original bombing of the
       25    world trade towers.  I know the case was resolved.
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        1    Q.  Okay.
        2    A.  I don't know any specific details about that case.
        3    Q.  Okay.
        4             Now, with respect to the publicity that you have seen,
        5    either about Sheikh Rahman or the defendants in this case, if
        6    you were chosen as a juror in this case you would be required
        7    to follow some very simple instructions, namely, you would have
        8    to decide this case based upon the evidence or lack of evidence
        9    in this case and not on the basis of anything you may have
       10    seen, heard or read before.  You have to ask yourself whether
       11    the charges in this case have been proven beyond a reasonable
       12    doubt at trial based upon the evidence or lack of evidence
       13    received in court because that is what fairness and justice
       14    requires that you do.  That is the way in which the system
       15    works.  It doesn't work on publicity or other things that may
       16    be out there or anything other than the evidence that is here
       17    in court.
       18             So is there anything that you have seen, heard or read
       19    that would prevent you from doing that, from being a fair and
       20    impartial juror and deciding the case based solely on the
       21    evidence or lack of evidence?
       22    A.  No, I think I could do that.  I believe I could do that if
       23    I was asked to.
       24    Q.  And would you do that?
       25    A.  Yes.
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        1    Q.  You also mentioned that you had a previous stockbroker who
        2    died in 9/11, although you only met him once, and this case has
        3    nothing to do with 9/11.  The charges in this case don't
        4    concern 9/11 and none of the defendants in this case are
        5    charged with having anything to do with 9/11.  So this case
        6    doesn't involve 9/11.
        7             Is there anything about your previous stockbroker
        8    being killed in the World Trade Center that would prevent you
        9    from being a fair and impartial juror in this case?
       10    A.  No.
       11    Q.  You have told us about the one story that you read about
       12    one of the defendants, and I have gone over that with you.  I
       13    also asked you whether you had discussed the case with anyone
       14    and you said yes, and you heard others discussing it on the
       15    radio.
       16             Can you tell me what you heard?
       17    A.  I believe I was listening to WABC --
       18    Q.  WABC?
       19    A.  Yes.  And I can't remember the gentleman's name.  I don't
       20    listen to him that often, he was a lawyer also who said that he
       21    was friendly with the defendant and something about her trial.
       22    That is all you I remember him talking about.  It was Ron Kuby,
       23    I believe, who had mentioned it on the radio.
       24    Q.  Okay.
       25             Is there anything about that, what you heard on the
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             45PSSAT1
        1    radio, that would prevent you from being a fair and impartial
        2    juror in this case, listening to the evidence or lack of
        3    evidence?
        4    A.  No.
        5    Q.  You responded about how you heard this on the radio.  I
        6    wasn't sure if you were also trying to tell me that you
        7    recalled discussing this case with other people.
        8    A.  I don't believe I ever have, no.
        9    Q.  Okay.
       10             It's likely that there will be ongoing media attention
       11    to this case and so I will instruct the jurors that they are
       12    not to look at or listen to or read anything to do in
       13    connection with the case.  If they should see something in the
       14    newspapers, they should just turn away because what happens in
       15    court when the jury is here listening to the evidence is what
       16    counts for the jurors, and so they will have the best
       17    opportunity to hear and listen to all of the evidence and so
       18    they shouldn't look at or listen to anything else to do with
       19    the case.
       20             Will you follow that instruction?
       21    A.  Certainly.
       22    Q.  And can you do that?
       23    A.  Yes.
       24    Q.  You had answered "yes" to a question that asked would
       25    following the court's directive pose any difficulty for you,
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        1    but it was in a line of questions and all of the answers were
        2    yes, so I thought it might be a mistake.
        3    A.  It was a mistake and I apologize.
        4    Q.  No, no, I just wanted to make sure I understand what you
        5    were saying.
        6             If you were chosen as a juror in this case, you would
        7    be required to decide this case based solely on the evidence or
        8    the lack of evidence and in accordance with my instructions on
        9    the law.
       10             Will do you that?
       11    A.  Yes.
       12    Q.  As you can tell from all of my questions the fundamental
       13    issue is whether there is anything in your personal history or
       14    life experience, whether I have asked you about it specifically
       15    or not, that would prevent you from being a fair and impartial
       16    juror, so let me ask you one final time whether there is
       17    anything, whether I have asked you about it specifically or
       18    not, that would prevent you from being a fair and impartial
       19    juror in this case?
       20    A.  No.  I don't believe there is anything.
       21    Q.  Okay.  Thank you.
       22             Could you step out for a moment?
       23             (Juror absent)
       24             MR. TIGAR:  Your Honor, I did did not notice this on
       25    my first reading of the questionnaire but at question 86 the
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        1    juror had used the words "in general" when asked if she had any
        2    bias or feelings about people from the Middle East.
        3             THE COURT:  I will follow up on that.
        4             MR. TIGAR:  Next, from doing the arithmetic about her
        5    husband's parents' marriage in Israel, and having come down she
        6    says from either Poland or Russia, depending on the geography,
        7    were husband's parents Holocaust survivors?
        8             THE COURT:  All right.
        9             MR. TIGAR:  And where was her husband born?  He has
       10    been a doctor for about 30 years.  I am sorry, it says
       11    Brooklyn.  I am reminded, your Honor, that I didn't read
       12    carefully.
       13             Finally, she had read the New York Times magazine
       14    article and she says that there was a lot about her family
       15    life, referring to Lynne Stewart.  I would ask your Honor to
       16    ask what does the juror remember reading about Ms. Stewart's
       17    family life.
       18             Your Honor is smiling but the reason for that is the
       19    picture featured prominently Ms. Stewart seated next to her
       20    husband, who is an African-American, and --
       21             THE COURT:  I will think about that.  It strikes me
       22    that she has already said she recalls about the family and
       23    there is nothing about the article that would prevent her from
       24    being fair and impartial and she has been very straightforward.
       25    I will think about that.
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        1             Okay.
        2             MR. TIGAR:  Thank you, your Honor.
        3             THE COURT:  Anything else?
        4             Okay.
        5             If these questions don't produce anything that suggest
        6    a challenge I will ask the juror to return on June 18.
        7             Call her in.
        8             (Juror present)
        9    BY THE COURT:
       10    Q.  Just a few follow-up questions.
       11             In response to a question on the questionnaire whether
       12    you had any negative feelings or opinions about persons of
       13    Middle Eastern descent or people of the Islamic faith, you said
       14    "no, in general."
       15             What did you mean?
       16    A.  I am surprised you didn't ask me that before.  I meant Bin
       17    Laden.  I can't imagine --
       18    Q.  I am sorry?
       19    A.  I was thinking in my own mind Bin Laden.  I don't know how
       20    you could at least think negative thoughts about Bin Laden and
       21    he fit the question.
       22    Q.  All right.
       23             I have told you that this case is not about 9/11 nor
       24    none of the defendants are charged with anything to do with
       25    9/11.  There may be evidence in the case which arises that does
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        1    concern Bin Laden.  If any such evidence arose what you would
        2    have to do is to ask yourself in the same way as with any other
        3    evidence, you would have to ask yourself what is the evidence,
        4    or lack of evidence, and based upon the evidence or lack of
        5    evidence are the charges in the indictment proven beyond a
        6    reasonable doubt?  And could you do that?
        7    A.  Yes.
        8    Q.  Would the fact that there might be evidence about Bin Laden
        9    prevent you from doing that?
       10    A.  No.
       11    Q.  You mentioned, and I certainly don't mean to pry, that your
       12    husband's parents came from abroad many years ago.  Were your
       13    husband's parents Holocaust survivors?
       14    A.  No.  They left before.
       15    Q.  I am sorry?
       16    A.  They left way before.
       17    Q.  Okay.  You mentioned that you had read the one New York
       18    Times article about the one lawyer's family -- well, about the
       19    one lawyer and one thing you mentioned about that was you
       20    remember about the family.  Do you recall anything specific
       21    about the family from the article?
       22    A.  Actually, no, not really.  I just remember a picture of the
       23    apartment.  I read the article a long time ago and I only
       24    partially read it.  I didn't read it in detail but, no, I don't
       25    remember details at all.
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        1    Q.  Okay.
        2             Now, is there anything about that article that would
        3    prevent you from being a fair and impartial juror in this case?
        4    A.  No.
        5    Q.  All right.
        6    A.  I have very little memory of it.
        7    Q.  I am sorry?
        8    A.  I have very little memory of the article itself.
        9    Q.  You have --
       10    A.  I have very little memory of the article itself.
       11    Q.  Okay.
       12             And of course you will follow my continuing
       13    instructions not to look at or listen to or read anything to do
       14    with the case and certainly not go back and look at anything
       15    just because I mentioned or talked to you about it, right?
       16    A.  Yes.
       17    Q.  Okay.
       18             Please, I am going to ask you to come back on June
       19    18th.  Actually I am going to ask you to call in on June 18th
       20    and Mr. Fletcher will give you a slip of paper just to give you
       21    the details.
       22             Please remember to follow my continuing instructions.
       23    Please don't talk about the case at all with anyone.  Remember
       24    not to look at, listen to or read anything to do with the case.
       25    Please remember to keep an open mind until you heard all of the
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        1    evidence, I have instructed you on the law and you have gone to
        2    the jury room to begin your deliberations if you are a juror
        3    chosen for the case.  Fairness and justice to the parties
        4    requires that you do that.
        5             All right?
        6    A.  Yes.
        7    Q.  Thank you.
        8             (Juror absent)
        9             THE CLERK:  149.
       10             THE COURT:  I should say, and it was clear from the
       11    record, but there were no further questions and no challenges.
       12             MR. RUHNKE:  That is right, your Honor.
       13             (Juror present)
       14    BY THE COURT:
       15    Q.  Please have a seat.
       16             Good morning, juror 149.  It's good to see you.
       17             Since you were here last has anything changed
       18    concerning your ability to serve as a juror in this case or has
       19    anything occurred to you that may affect your ability to be a
       20    fair and impartial juror in this case?
       21    A.  I think two things.  One, I would find it incredibly
       22    difficult not to discuss it.  I am sure --
       23    Q.  Please go a little slower and speak into the microphone
       24    because otherwise I can't understand.
       25    A.  Okay.
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        1             It will be incredibly difficult for me not to discuss
        2    this when I get home.  I am sure every evening I will be
        3    tempted to discuss it with my husband.  That is one thing I
        4    thought about.
        5             And the second is that I work with middle school
        6    children, adolescent children who are at risk, and perhaps a
        7    year out of their lives is a bit much for me to deal with.  I
        8    have a summer program that is starting this year.
        9    Q.  Well, first of all, the difficulty about not talking about
       10    the case is a difficulty which every potential juror has.  And
       11    it's simply a requirement of assuring a fair and just
       12    determination for the parties.
       13    A.  I realize the reasoning but I can tell you I will go home
       14    and discuss it, and that is the truth.
       15    Q.  Well, you know, you are telling me in advance that I will
       16    give you an order which is binding as a matter of law, and you
       17    will simply ignore it?
       18    A.  I will find it difficult.
       19    Q.  People find many things in their lives difficult.  The
       20    question is will you abide by the order if you were chosen as a
       21    juror in this case not to talk with about it?
       22    A.  Probably not.
       23             (Continued on next page)
       24
       25
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        1    BY THE COURT:
        2    Q.  All right.  You should really think about what the
        3    consequences for you are about knowingly and willfully simply
        4    disobeying court orders.  You should think about that.
        5    A.  Yes, I know.
        6    Q.  And you should think about that as you contemplate the
        7    responsibilities of citizenship, including the importance that
        8    you would place on having a fair and impartial juror if you
        9    were involved in a case in any way.  So while you think about
       10    that, could you step out?
       11               (Juror absent)
       12             THE COURT:  I'll excuse the juror.
       13             MR. TIGAR:  No objection, your Honor.
       14             THE COURT:  The government agrees?
       15             MR. DEMBER:  Yes, your Honor.
       16             THE COURT:  All right.  Let's bring in 149.
       17               (Juror present)
       18    BY THE COURT:
       19    Q.  All right.  Juror 149, I will excuse you.  All of your
       20    paperwork will be taken care of by the mail and sent to you,
       21    and you can now go home.
       22    A.  Okay.
       23               (Juror absent)
       24             THE COURT:  153.
       25             U.S. MARSHAL:  153.
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        1               (Juror present)
        2    BY THE COURT:
        3    Q.  Good morning, Juror 153.
        4    A.  Good morning.
        5    Q.  It's good to see you.
        6    A.  Thank you.
        7    Q.  Juror 153, since you were here last, has anything changed
        8    concerning your ability to serve as a juror in this case or has
        9    anything occurred to you that may affect your ability to be a
       10    fair and impartial juror in this case?
       11    A.  You mean since I filled out the questionnaire?
       12    Q.  Yes.
       13    A.  No.
       14    Q.  And it now appears that the date that the final jury will
       15    be chosen in this case will be Monday, June the 21st.  So you
       16    wouldn't have to call back until June the 18th.  Does that
       17    present any serious hardship for you?
       18    A.  No.
       19    Q.  Since you were here last, have you spoken to anyone about
       20    the case or have you looked at or listened to anything about
       21    the case?
       22    A.  I didn't spoke about the case, but because of my line of
       23    work, I had to explain to my customer that I may not be in for
       24    awhile because I'm involved, whatever.  But I didn't speak
       25    about the case.
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        1    Q.  Okay.  Did you just tell them it's a long trial?
        2    A.  Yes, I did.  I told them that a few trial -- I didn't say
        3    it was one trial, and it would be between four and six months,
        4    it depends on what trial I would be in.
        5    Q.  Okay, fine.  And has anyone spoken to you about the case
        6    or -- and that includes any conversations here at the
        7    courthouse or with other prospective jurors?
        8    A.  I don't think -- no, I don't think so.
        9    Q.  While you were waiting with the other prospective jurors,
       10    did you or anyone you overheard discuss the case?
       11    A.  We didn't even say a single word.
       12    Q.  Okay.  Mention that you would not be paid while you were on
       13    jury duty, but that it would not be an economic hardship for
       14    you?
       15    A.  Not hundred percent, I mean, I'm a working person, I mean,
       16    I have to pay my bills.  But I think I will be able to do it.
       17    But not -- I mean, it's a little struggle in there.
       18    Q.  But it's not going to be --
       19    A.  I mean, no, it's not which will real, real cause me
       20    bankruptcy or thing like that, no.
       21    Q.  Okay.  And you know -- you're a barber?
       22    A.  Yes.
       23    Q.  And we don't work on here on Fridays or Saturdays and we
       24    break at about 4:30.  So if you wanted, in terms of scheduling
       25    your own appointments for your regular customers or so, I just
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             45PLSAT2
        1    point that out to you.  And as I explained to you earlier also,
        2    you'll be paid $40 a day, and then $50 a day, depending on how
        3    long the case goes, as additional income for you.  I just point
        4    that out for.  You?
        5    A.  Yeah.
        6    Q.  You told us that you served on one jury case about four
        7    years ago.  How long did that last?
        8    A.  One week.
        9    Q.  Okay.  And was that in state or federal court?
       10    A.  Was over here someplace.  I don't know where it was, but it
       11    was in this area.
       12    Q.  Okay.  And that was a civil case.  Do you --
       13    A.  It was something about -- I think it was a civil case.  It
       14    was something about -- she thought that she was discriminated.
       15    Q.  Okay.  And that case was -- don't tell us what the verdict
       16    was, but you and the other jurors reached a verdict in that
       17    case?
       18    A.  Yes.
       19    Q.  And is there anything about that experience or your
       20    experience with the Court or the -- any of the parties or the
       21    lawyers or the process that would prevent you from being a fair
       22    and impartial juror in this case?
       23    A.  No.
       24    Q.  There were a few questions on the one page that you
       25    skipped, you probably didn't see the page.
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        1    A.  Oh, could be.  I know one or two, I did not understand the
        2    word so I didn't want to make a mistake, so I didn't answer it.
        3    Q.  Okay.  I'm going to go over the questions with you where
        4    you did not answer.  You mentioned that you rely on television
        5    to get any news.  Is that right?
        6    A.  Yes.
        7    Q.  Do you watch any particular television news programs?
        8    A.  Yes, I think it's Fox, Fair Balance, I think they call it.
        9    Q.  Do you use a computer?
       10    A.  No.
       11    Q.  And other than for minor traffic violations and your jury
       12    service, have you ever been in court before such as a witness
       13    or a plaintiff or a defendant?
       14    A.  No.
       15    Q.  Or a victim?  No?
       16    A.  No.
       17    Q.  There were a series of questions about your experience with
       18    various aspects of the criminal justice system.  You were asked
       19    have you ever been the victim of a serious crime.
       20    A.  No.
       21    Q.  And I should ask these questions about both yourself and,
       22    to your knowledge, any family members or close personal
       23    friends.  Anyone a victim?
       24    A.  No.
       25    Q.  No.  Have you or any member of your family or close
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        1    personal friend ever brought criminal charges against someone?
        2    A.  No.
        3    Q.  Have you or a member of your family or a close personal
        4    friend ever sued someone?  Brought a lawsuit against anyone?
        5    A.  Just for a car accident.
        6    Q.  Okay.  Was that you or --
        7    A.  My wife.
        8    Q.  Okay.
        9    A.  But the car was mine.  But the accident was my wife was
       10    involved.
       11    Q.  And --
       12    A.  Small claim court, it was.
       13    Q.  And what happened with that lawsuit?
       14    A.  We won.
       15    Q.  Was it settled or did it go to --
       16    A.  No, it went to small court, small claim court.
       17    Q.  Okay.  Is there anything about that experience with the
       18    process or any of the participants that would prevent you from
       19    being a fair and impartial juror in this case?
       20    A.  No, Sir.
       21    Q.  Did you do that yourself or did you get a lawyer to do
       22    that?
       23    A.  No, I went myself.
       24    Q.  Have you or your -- anyone in your family or close personal
       25    friend ever been sued by someone?
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        1    A.  No.
        2    Q.  There -- you may hear testimony in this case from expert
        3    witnesses.  Do you have any feelings about expert witnesses
        4    that would prevent you from reaching a fair and impartial
        5    verdict in this case based solely on the evidence presented
        6    here in court?
        7    A.  I'm sorry, but what do you mean by expert witness?
        8    Q.  That is a good question.  An expert witness is a witness
        9    who is permitted to testify about matters based upon the
       10    training, education, experience of the witness.  And he or she
       11    is permitted to testify in order to assist the jurors in
       12    reaching a conclusion about the evidence in the case.  The
       13    witness is permitted to testify because they have certain
       14    special expertise, special knowledge or training that can be of
       15    assistance to the -- to the jury.  So, for example, in some
       16    cases there are people who are expert in chemistry or various
       17    forms of science or lots of other fields of specialized
       18    expertise.  And those witnesses are allowed to testify and the
       19    jurors have to listen to the testimony and assess that
       20    testimony in the same way as they would the testimony of other
       21    witnesses to determine whether they're giving credible,
       22    believable testimony or not; and you can take into account the
       23    regular ways in which you assess whether the person is telling
       24    you the truth.  And you can also consider the person's
       25    expertise and any reasons that the person is testifying in
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             45PLSAT2
        1    determining how much, if any, of that testimony to accept.
        2             So that's what an expert is.
        3    A.  Okay.  In the chemistry, things like that, I do believe it.
        4    But I don't believe psychiatry.  If it's somebody -- my
        5    personal thing.  I don't think anybody can read in somebody
        6    else mind.
        7    Q.  Okay.
        8    A.  But as far as chemistry, things like that, yes, I do
        9    believe.
       10    Q.  If you were chosen as a witness -- if you were chosen as a
       11    juror, what you'd have to do is to listen to all of the
       12    witnesses and determine whether you find that they're credible
       13    or not credible, based upon an analysis of all of the testimony
       14    of the witness.  And you wouldn't be able to simply say, Well,
       15    as a matter of principal, I don't accept testimony from such a
       16    witness.  You have to listen to the testimony of each witness
       17    and assess the credibility of that witness.  And then you
       18    discuss it with all of your fellow jurors after listening to
       19    all of the testimony of that witness.
       20             Can you do that?
       21    A.  I believe so.
       22    Q.  Okay.  Will you do that?
       23    A.  Definitely, if I am going to be chosen.
       24    Q.  Okay.  One of the defendants is a lawyer.  Do you have any
       25    personal views about lawyers that would prevent you from
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        1    reaching a fair and impartial verdict in this case based solely
        2    upon the evidence presented here in court?
        3    A.  Can you explain a little bit by this way -- I know is a
        4    lawyer, why should they be treated different than another
        5    person?  I don't understand.
        6    Q.  You're absolutely right.  I was just trying to make sure
        7    that there was nothing about the fact that one defendant was a
        8    lawyer that would cause you to treat that person any
        9    differently from any other person.
       10    A.  Okay.
       11    Q.  Any other person.
       12    A.  Okay, yeah.  The only thing, Sir, I feel if a lawyer breaks
       13    the law, which she is a part of the law or he is a part of the
       14    law -- but with the lawyer, well, I think she's guilty one and
       15    a half because she knows -- you know, if I break the law, which
       16    I don't even know, that's -- it's a little stupidity on my
       17    part.  But the lawyers, which is part of the law, which knows
       18    everything, I think he should be more careful to break the law
       19    than me or somebody else.
       20             I don't know if that answers your question, Sir.
       21    Q.  Well, you started off by saying that, no, you don't see any
       22    reason that any person should be treated differently just
       23    because they're a lawyer.
       24    A.  No, for some crime, no -- I don't know.  I go over it
       25    again.  I mean, I feel if you know the law, I mean, somebody --
                            SOUTHERN DISTRICT REPORTERS, P.C.
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        1    sometime you can break the law unwillingly or whatever, but
        2    lawyers, which knows all the law and all the point, then he's
        3    willingly to break the law, maybe you have to, you know, take
        4    that into account, too.
        5    Q.  Okay.  If you were chosen as a juror, you would have to ask
        6    yourself whether with respect to each of the defendants,
        7    considering the evidence against each of the defendants
        8    separately, whether the government had proven the charges in
        9    the indictment against that defendant beyond a reasonable doubt
       10    based solely on the evidence or the lack of evidence.  So you
       11    would have to ask yourself with respect to each of the
       12    defendants, including the defendant who's a lawyer, whether the
       13    charges against that lawyer and the other defendants, looked at
       14    individually, whether the government has proven those charges
       15    beyond a reasonable doubt.
       16             Now, you -- and you'd have to give a fair and
       17    impartial consideration to each of those defendants and
       18    consider the evidence or lack of evidence against each of the
       19    defendants.  So that's what I'm trying to find out, whether you
       20    would do that for each of the defendants, including the
       21    defendant who's a lawyer.
       22    A.  Well, I don't think just because a lawyer automatic that
       23    she's guilty.  Definitely you have to find -- have to look and
       24    prove, whatever, demonstrate it.  I didn't mean just because
       25    it's a lawyer, automatically she can be guilty or he can be
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        1    guilty.  I mean, definitely have to see the proof, whatever the
        2    government brings in.
        3    Q.  Is there -- would you be able to be a fair and impartial
        4    juror in a case where one of the defendants is a lawyer?
        5    A.  I have nothing against lawyers.  I have never had anything
        6    to do with the lawyers.  I have customers are lawyers.  I have
        7    nothing against lawyers.
        8             All I said, if some lawyers breaks the law -- I didn't
        9    say she say or he is automatically guilty.  But should find
       10    guilty in the case, because it's a lawyer, maybe the punishment
       11    be a little bit harsher than somebody else.  That's what I was
       12    trying to come out.  I don't know if I made myself clear.
       13    Q.  Okay.  Do you go into this case with any belief that the
       14    defendant who is a lawyer is, or any of the other defendants,
       15    is guilty of the charges in the indictment?
       16    A.  I only saw the lawyer once on television.  And I was change
       17    channel, and this came out, and they mention the lawyer, which
       18    was this blind man, and now they said that she's accused.  But
       19    I was changing channel, I change it again.  And I didn't know
       20    much about -- I don't know much about the case with this people
       21    they indicted.  The only thing I know, this blind man, which
       22    was part of the building that went -- bomb it.  And that
       23    they've been found guilty.  That's what I know about the case.
       24    Nothing else I know.
       25    Q.  Okay.  But what I'm asking you is do you go into the case
                            SOUTHERN DISTRICT REPORTERS, P.C.
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        1    with any sort of belief that any of the defendants --
        2    A.  No, Sir.
        3    Q.  -- are guilty of any of the charges?
        4    A.  No, Sir.  I don't know much about.  So I cannot make a
        5    judgment without knowing anything.
        6    Q.  Okay.  One other thing that you mentioned in the course of
        7    discussing this is that you said you were -- you had some views
        8    with respect to the issue of punishment.  One of the things
        9    that I tell jurors is that the issue of punishment is for the
       10    Court alone.  That's not for the jurors, and no juror can take
       11    that into account.
       12             Will you follow that instruction?
       13    A.  Yes.
       14    Q.  All right.  Is English your first language?
       15    A.  No.  It's Italian.
       16    Q.  Can you tell us where your parents were born?
       17    A.  Italy.
       18    Q.  And when did your -- did your parents come here or?
       19    A.  Yes.  First my father; and then I came; and my mother come
       20    later.
       21    Q.  And about when was that?
       22    A.  My father came in, I think, '57.  I come in '58.  But I
       23    don't remember when my mother -- my mother came like four or
       24    five years later.
       25    Q.  Okay.  Can you tell me where your wife was born?
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        1    A.  Italy.
        2    Q.  And when did she come here?
        3    A.  '69.
        4    Q.  Have you ever traveled outside the United States?  Have you
        5    ever gone outside the United States after you've come here?
        6    A.  Oh, yeah.  I go every year, I go back to Italy.
        7    Q.  And have you or anyone you know ever worked in any capacity
        8    anywhere in the Middle East, including but not limited to
        9    Afghanistan, the Arab Emirates, Egypt, Iran, Jordan, Kuwait,
       10    Iraq, Israel, Lebanon, Pakistan, Qatar, Saudi Arabia, Syria and
       11    Yemen?
       12    A.  No.
       13    Q.  You mentioned that you have seen Lynne Stewart on
       14    television.  Can you tell me what you recall seeing on
       15    television about Lynne Stewart?
       16    A.  I just mentioned before, I got to repeat the same thing.  I
       17    just was change channel, and she come out, and the announcer
       18    said that she was the lawyer for the blind man, and now she's
       19    been accused of pass information to some people.  But I changed
       20    station, and I don't know what's happened after.
       21    Q.  All right.  And similarly, you were asked whether you had
       22    heard anything about Sheikh Abdel Rahman, and you said, Yes,
       23    that he is a leader of a criminal organization.
       24    A.  That's what I heard from television, that he was the head
       25    of some kind of organization, which they put the car bomb on
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        1    the Twin Tower.
        2    Q.  Anything else that you recall?
        3    A.  No.
        4    Q.  If you were chosen as a juror in this case, you would have
        5    to listen to the evidence in the case and decide the case based
        6    solely on the evidence or lack of evidence in the case.  Will
        7    you do that?
        8    A.  Definitely.
        9    Q.  Now, with respect to anything that you've seen or heard, I
       10    can tell you that it's a matter of law that jurors have to put
       11    aside anything that they've seen or heard.  And what they have
       12    to do is to ask whether the charges in the indictment are
       13    proved beyond a reasonable doubt, based upon the evidence or
       14    lack of evidence that's received here in court.  They can't
       15    consider anything that they saw, heard or read in the
       16    newspapers or the TV.  That's not evidence.  It may or may not
       17    be right.  But the only thing the jurors can consider is what
       18    they hear in court.
       19             Do you understand that?
       20    A.  Yes, Sir.
       21    Q.  And is there anything that you've seen or heard or read
       22    that would prevent you from deciding this case solely on the
       23    evidence or lack of evidence received here in court?
       24    A.  No, Sir.
       25    Q.  If you were chosen as a juror in this case, as I say, you
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        1    would be required to decide the case based solely on the
        2    evidence or lack of evidence and my instructions on the law.
        3    Would you do that?
        4    A.  Yes, sir.
        5    Q.  As you can tell from all of my questions, the fundamental
        6    issue is whether there's anything in your personal history or
        7    life experience, whether I've asked you about it specifically
        8    or not, that would prevent you from being a fair and impartial
        9    juror in this case, so let me ask you one final time whether
       10    there's anything, whether I've asked you about it specifically
       11    or not, that would prevent you from being a fair and impartial
       12    juror in this case.
       13    A.  I don't -- I cannot -- I mean, I cannot think anything
       14    about.  I don't know.  I don't know what to say.  Because I
       15    don't think I have anything.  I try to think about, but I
       16    cannot come out -- I wish I could come out with something.  But
       17    I can't.
       18    Q.  I know it's a long trial.  And you're a very conscientious
       19    person, and you've answered all of my questions and you've
       20    indicated to me that you've thought long and hard about this.
       21    So let me ask you one final time whether there's anything,
       22    whether I have asked you about it specifically or not, that
       23    would prevent you from being a fair and impartial juror in this
       24    case.
       25    A.  I wish I could say yes, but I can't.  No, I don't think
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        1    there is anything.
        2    Q.  Will you be a fair and impartial juror in this case?
        3    A.  I would try my best, if I should be in it.
        4    Q.  Is there anything you know of what would prevent you from
        5    being a fair and impartial juror in this case?
        6    A.  No, Sir.
        7    Q.  Okay.  Will you step out, please?
        8    A.  Thank you, Sir.
        9               (Juror absent)
       10             MR. TIGAR:  Your Honor, in addition to the language
       11    issue in a case that involves a great many documents, we have
       12    the following very specific concern:  In discussing lawyers,
       13    the juror began by saying, Why should a lawyer be treated
       14    differently?  And then, he said, But the lawyers should be more
       15    careful; then he is willingly to break the law.  That's what I
       16    heard the juror say.
       17             Now, every one of the counts here against Miss Stewart
       18    charges a so-called specific intent offense in which the
       19    question will be, depending on the language the Court chooses
       20    to use, whether the government has proven that Miss Stewart
       21    intentionally violated a known legal duty.  And the term
       22    "willfully" or terms such as willfully are going to be used.
       23    So it appears that we have a juror who is more willing to
       24    believe that a lawyer would know the law and therefore is
       25    already halfway to believing that the lawyer intentionally
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        1    violated a known legal duty by virtue of her status as a
        2    lawyer.  That's what the juror said, and that's the conclusion
        3    that we draw.  And while -- thus, the determination is, where's
        4    the burden of proof here?
        5             We respectfully suggest that there's at least a doubt
        6    here that the juror is fair, and on that basis, we challenge
        7    for cause.
        8             THE COURT:  All right.
        9             MR. RUHNKE:  We join, your Honor.
       10             THE COURT:  I'm sorry?
       11             MR. RUHNKE:  We join.
       12             THE COURT:  Government?
       13             MS. BAKER:  Your Honor very carefully followed up on
       14    some of the juror's earlier responses to the questions about
       15    lawyers, and in response to your later questions, he said that
       16    a lawyer would not be automatically guilty, and my
       17    recollection, my notes are that he specifically said that the
       18    government would need to prove the lawyer's guilt, and that he
       19    has nothing against lawyers.  And then in a later statement he
       20    said, in words or substance, if the lawyer is guilty.  So the
       21    government submits that he did, overall, indicate -- in fact,
       22    he answered affirmatively to your question, would he be fair
       23    and impartial to a lawyer defendant; and that his other answers
       24    support that conclusion.  And thus, there is not a basis for a
       25    cause challenge.
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             45PLSAT2
        1             THE COURT:  I agree.  It's not a challenge for cause.
        2    He is an extraordinarily conscientious, thoughtful person.  I
        3    followed up extensively with respect to all of his views about
        4    this case and about lawyers, and it's clear to me that he has
        5    searched his mind as to whether there is any basis to believe
        6    that he will not listen to the evidence or lack of evidence and
        7    my instructions on the law and decide the case fairly and
        8    impartially based upon the evidence or lack of evidence and my
        9    instructions on the law.  And he answered all of those
       10    questions.  And I followed up at great length with him.
       11             I have assessed his credibility and he is plainly a
       12    person who would follow the laws scrupulously, listen to the
       13    evidence or lack of evidence, hold the government to its burden
       14    of proof, and would be a fair and impartial juror.
       15             So it's not a challenge for cause.  Let's bring back
       16    the juror.
       17               (Juror present)
       18    BY THE COURT:
       19    Q.  Good afternoon, 153.  I'm going to -- you're still involved
       20    in the jury selection process, but you won't have to call in
       21    again until June the 18th.  And then you will receive
       22    instructions on June the 18th, and Mr. Fletcher will give you a
       23    slip of paper to tell you where to call.
       24             It's very important that you continue to follow my
       25    instructions.  Please, don't look at or listen to anything to
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        1    do with the case.  If you should see something, just turn away.
        2    Remember not to talk about the case or anything to do with it.
        3    Remember, as I'll tell all of the jurors, please, keep an open
        4    mind until you've heard all of the evidence, I've instructed
        5    you on the law, and you've gone to the jury room to begin your
        6    deliberations.  Fairness and justice to the parties requires
        7    that you do that.  All right?
        8    A.  Okay.
        9    Q.  Thank you, Sir.
       10               (Juror absent)
       11             DEPUTY CLERK:  154.
       12             THE COURT:  Did someone need a break?
       13             MS. BAKER:  If we could have five minutes, your Honor,
       14    I'd appreciate it.
       15             THE COURT:  Okay, we'll take five minutes.
       16               (Continued on next page)
       17
       18
       19
       20
       21
       22
       23
       24
       25
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        1             THE COURT:  Good afternoon all, please be seated.
        2             Juror 303 is unavailable from June 1st to June 4th, is
        3    available June 7th, faxed a cruise summary to the jury
        4    administrator.  Unless the parties have any desire to read the
        5    cruise summary I will leave it with the jury administrator.  So
        6    I have noted on my list that juror 303 will not be available
        7    until June 7th.
        8             Now we have juror 154.
        9             (Juror present)
       10    BY THE COURT:
       11    Q.  Good afternoon, Juror 154.
       12    A.  Good afternoon.
       13    Q.  Let me ask you some preliminary questions.
       14             Since you were here last has anything changed
       15    concerning your ability to serve as a juror in this case or has
       16    anything occurred to you that may affect your ability to be a
       17    fair and impartial juror in this case?
       18    A.  No.
       19    Q.  It now appears that the final jury will be chosen on
       20    Monday, June 21st.  So after today you won't have to call back
       21    until June 18th.  Does that present any serious hardship for
       22    you?
       23    A.  No.
       24    Q.  Sips you were here last have you spoken to anyone about
       25    this case or have you looked at or listened to anything about
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        1    the case?
        2    A.  No.
        3    Q.  Has anyone spoken to you about the case, and that includes
        4    any conversations here at the courthouse or with any other
        5    prospective jurors?
        6    A.  No.
        7    Q.  While you were waiting with the other prospective jurors
        8    did you or anyone you overheard discuss the case?
        9    A.  No.
       10    Q.  You mentioned that you were retired from the New York City
       11    Department of Corrections and when did you retire?
       12    A.  August of 2001 -- 2002, I am sorry.
       13    Q.  August 2002?
       14    A.  Yes.
       15    Q.  And is there anything about your prior employment that
       16    would prevent you from being a fair and impartial juror in this
       17    case?
       18    A.  No.
       19    Q.  Now, one of the things that -- one of the instructions that
       20    I give is that no witness is entitled to any greater or lesser
       21    credibility simply because of their occupation and so no law
       22    enforcement officer is entitled to any greater or lesser
       23    credibility simply because they are a law enforcement officer.
       24    You would have to assess their credibility in the same way as
       25    you would the credibility of any other witness.  Would you do
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        1    that?
        2    A.  I could, yes.
        3    Q.  Okay.
        4             And will you follow that instruction?
        5    A.  Yes.
        6    Q.  And you mentioned in response to another question when I
        7    asked it that when you filled out that question you said -- I
        8    said would you be inclined to believe a witness more or less
        9    solely because of that witness was a law enforcement officer
       10    and you said yes.  And you explained that almost all detainees
       11    claim not guilty, which very few were really not guilty.
       12             So tell me, would you follow my instruction that no
       13    witness, including any law enforcement officer is entitled to
       14    any greater or lesser credibility because of their occupation?
       15    A.  I would follow your instructions because with that question
       16    meaning like I have experienced a lot, because I was a workgang
       17    officer and basically every time they would come back they
       18    would have been guilty, found guilty, so that is what I
       19    witnessed from experience.  But to follow orders, I have always
       20    been able to follow -- I have always been good at that.  I have
       21    never had no problems following instructions.
       22    Q.  And would you follow all of my instructions on the law?
       23    A.  Yes, to the best that I could.
       24    Q.  All right.
       25             And based upon everything in the questionnaire, and I
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        1    will go over some other questions, but do you have any reason
        2    to question or doubt that you would follow my instructions in
        3    this case on the law?
        4    A.  I would try to the best of my ability to follow it.
        5    Q.  Do you have any reason to believe that you would not follow
        6    my instructions?
        7    A.  No.
        8    Q.  So will you follow my instructions?
        9    A.  I would try to, you know.
       10    Q.  What I am trying to get at is I can't get into your mind
       11    obviously, and if there is any reason that you doubt that you
       12    could follow my instructions and decide this case based solely
       13    upon the evidence or lack of evidence and my instructions on
       14    the law, tell me.
       15             Do you have any doubts in your mind?
       16    A.  No.
       17    Q.  Okay.
       18             So with respect to this instruction, and, you know, it
       19    is the case that sometimes witnesses from any occupation don't
       20    get their testimony quite right for anyone of a number of
       21    reasons.  And I will explain instructions on credibility.  It
       22    can be based upon the fact that a witness may be mistaken.  It
       23    could be that a witness in some cases does not testify
       24    truthfully.  I am not suggesting that any witness would ever do
       25    that, but what I am saying is that if you listen to any
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        1    witness -- any witness -- law enforcement officer, any witness,
        2    you would have to listen to the witness and assess that
        3    witness' credibility without any preconception or presumption
        4    or anything like that that any witness is entitled to any
        5    greater or lesser credibility because of their occupation,
        6    whether it be law enforcement officer or anything else.
        7             Do you understand that?
        8    A.  Yes.
        9    Q.  And will you follow that instruction?
       10    A.  Yes, I would.
       11    Q.  Do you have any question in your mind that you can follow
       12    that instruction and that you will follow that instruction?
       13    A.  I would follow the instruction.  I don't have anything in
       14    my mind, you know.  I will be able to follow your orders or
       15    whatever to the best of my ability really.
       16    Q.  Okay.
       17             Is there anything about the fact that you were
       18    employed as a corrections officer that would prevent you from
       19    being a fair and impartial juror in this case?
       20    A.  No.
       21    Q.  You mentioned that your spouse was disabled and can you
       22    tell me what the nature of the disability was?
       23    A.  She was assaulted by a patient in Jacobi Hospital and that
       24    was in December 21, 2001, and she has been out and I have been
       25    taking care of her.  She just got spinal surgery of the upper
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        1    neck, and on March 16 of this year, and that is what I have
        2    been doing lately.  And she has just been out of commission.
        3    Q.  Is there anything about the care that you give to your wife
        4    that would prevent you from serving as a juror in this case?
        5    A.  Not really because now she has been a little bit doing
        6    everything on her own and, you know, just sometimes that I have
        7    to take her to appointments.
        8    Q.  Okay.
        9             How often do you have to do that?
       10    A.  Sometimes 3 times a week, but my son is off from school
       11    now, so he helps a lot.
       12    Q.  Okay.
       13             How about since the case is expected to go into the
       14    fall, would you be able to make arrangements in the fall for
       15    your wife?
       16    A.  With the case going on I would try to see if I can make
       17    arrangements but that sometimes don't work sometimes.
       18    Q.  The case is expected to last about 4 to 6 months, begin in
       19    June, and so it would continue into the fall, the early winter.
       20    Is there anything about that that would -- in terms of your
       21    care for your wife --
       22    A.  I honestly can't say.  I can't say because I don't know,
       23    you know, like my son's schedule from school and stuff like
       24    that.  I don't know.  I honestly can't say.
       25    Q.  How often would you take your wife to her appointments?
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        1    A.  Well, if anything I would just have to work around it.
        2    Q.  We don't sit on Fridays, and we don't sit after 4:30.
        3    A.  So I would try to work around it then.
        4    Q.  Okay.
        5             But you don't know -- do you believe that that is
        6    possible, that you could make arrangements?
        7    A.  I could make arrangements, you know, but, like I said, I
        8    honestly don't know how it's going to work out.  It's not like
        9    if -- like if it's at night or something or every Friday,
       10    because sometimes some doctors are in or not, so my son,
       11    whenever I could, he will try to take over.
       12    Q.  Could he do that in the fall?  You also have several other
       13    children, right?
       14    A.  Yes.
       15    Q.  Would they be able to help?
       16    A.  That is what I am calculating but now in another month, one
       17    is leaving to Virginia for a job and one is in the Air Force,
       18    and one is upstate, so, you know, I could, you know, try my
       19    best.
       20    Q.  Well, as you sit here today with the knowledge of how long
       21    the case is and what you have to do and your other family
       22    members and taking care of your wife, right now is this
       23    something that you can reasonably do without serious hardship?
       24    A.  The worst that she has to go to appointments is I would
       25    have to send her in a taxi or something, you know, so I would
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        1    have to get other arrangements, but --
        2    Q.  But you don't personally, as you see it now, see it as a
        3    serious hardship for you?
        4    A.  The way I have seen things have been going, because
        5    sometimes she will be able to do things, I think if anything if
        6    I would lien towards it would be some hardship because I don't
        7    know how it would go.  Like sometimes she will wake up and she
        8    can't get up and in pain, so it could happen, you know.  That
        9    is why I can't say, you know.  I can't have an honest answer.
       10    It could happen, but I would try to work around it.
       11    Q.  Okay.
       12             You mentioned that your son -- you have a son who is
       13    in the Air Force.  Is there anything about that that would
       14    prevent you from being a fair and impartial juror in this case?
       15    A.  No, with my son, no.  He is in Washington State.
       16    Q.  Okay.
       17             And is there anything about the nature of your wife's
       18    disability or the cause of that disability that would prevent
       19    you from being a fair and impartial juror in this case?
       20    A.  No.
       21    Q.  You mentioned that you have a co-worker and a friend and a
       22    family member who have gone overseas in Iraq or Afghanistan.
       23    Can you tell me who that was?  Just don't tell me the names but
       24    describe their relationship to you and when they went.
       25    A.  My wife's grandfather's stepbrother, he was in recently in
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        1    Iraq.  And I have a lot of friends who are reservists,
        2    co-workers from the job that have been in Iraq and Afghanistan.
        3    Q.  Okay.
        4             Is there anything about that that would prevent you
        5    from being a fair and impartial juror in this case?
        6    A.  No.
        7    Q.  You mentioned that you have been a juror three times and am
        8    I right that each of those cases were in state court?
        9    A.  Two of them were state court and one was in federal but I
       10    got, how you call that -- disqualified from the federal.
       11    Q.  Why were you disqualified?
       12    A.  I really don't know.
       13    Q.  You didn't serve as a juror?
       14    A.  No.  I meant that I was -- I went to the same thing that I
       15    am doing now.
       16    Q.  And you weren't picked.
       17    A.  No.  I wasn't a juror, no.
       18    Q.  Okay.
       19             And you were twice a juror in state court?
       20    A.  Yes, civil cases, and they were both settled.
       21    Q.  Did they settle after you had begun to listen to any of the
       22    evidence?
       23    A.  Both got settled before we went out, yes.
       24    Q.  Okay.
       25             Is there anything about any of those experiences with
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        1    the court process or the jury system that would prevent you
        2    from being a fair and impartial juror in this case?
        3    A.  No.
        4    Q.  You mentioned that someone in your family was the victim of
        5    a serious crime.  Were you referring to your wife?  What were
        6    you referring to there?
        7    A.  Really to my wife.
        8    Q.  Okay.
        9             By the way, were any charges brought in connection
       10    with that?
       11    A.  No.
       12    Q.  And anything about that experience that would prevent you
       13    from being a fair and impartial juror in this case?
       14    A.  No.
       15    Q.  You mentioned that people in your family have been employed
       16    by or sought employment with a prosecutor's office or a law
       17    enforcement agency.  Again, don't tell me names, but just tell
       18    me what their relationship was to you or who you were referring
       19    to?
       20    A.  I had a brother-in-law and that is basically it.  And a lot
       21    of co-workers, friends.
       22    Q.  Co-workers from when you were in the corrections system?
       23    A.  Yes.
       24    Q.  The brother-in-law, what does your brother-in-law do?
       25    A.  He is retired now but he was in narcotics.
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        1    Q.  Okay.
        2             Anything about any of those connections that would
        3    prevent you from being a fair and impartial juror in this case?
        4    A.  No.
        5    Q.  And you mentioned that you and close friends were in
        6    corrections.  Anything about that that would prevent you from
        7    being a fair and impartial juror in this case?
        8    A.  No.
        9    Q.  Let me ask you following up again with respect to the fact
       10    that you were a corrections officer and law enforcement
       11    personnel may testify in the course of the trial, will you
       12    follow my instruction that no witness -- no witness --
       13    including any law enforcement officer, is entitled to any
       14    greater or lesser credibility simply because of their
       15    occupation?
       16    A.  No.  I would follow your instruction.
       17    Q.  You said no.
       18    A.  Well --
       19    Q.  Will you follow my instructions?
       20    A.  Yes.
       21    Q.  And can you follow that instruction?
       22    A.  Yes.
       23    Q.  You mentioned that you were not very knowledgeable about
       24    Islam.  What you knew you mentioned you learned from a
       25    co-worker.  Can you tell me what it is that you in general
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        1    learned from your co-worker?
        2    A.  Basically like part of our job was to serve like Muslim
        3    work, like workers that had to go to their Muslim, how do you
        4    call it, you know, like studies and stuff, and we had to give
        5    them, you know, their break to go to their studies and certain
        6    times that we had to give certain foods to them and preparing
        7    their own foods for the regular Allah and every different party
        8    in the jail system.
        9    Q.  And is there anything about any of your conversations with
       10    your co-workers or your dealings with any people an at the
       11    facility who were Muslim, is there anything about that that
       12    would prevent from you being a fair and impartial juror in this
       13    case?
       14    A.  No.
       15    Q.  Do you have any biases or prejudices against any people of
       16    Middle Eastern descent or any people of the Islamic faith?
       17    A.  No.
       18    Q.  You mentioned that you had heard about or read about the
       19    defendants in this case from newspaper and TV.  Can you tell me
       20    what you recall hearing or reading?
       21    A.  Just about that there was a lawyer, you know, passing --
       22    getting some information passed from an inmate.
       23    Q.  All right.
       24             You also recall seeing or hearing something about
       25    Sheikh Rahman.  Can you tell me what you recall seeing or
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        1    hearing about him?
        2    A.  Sometimes I would hear like in the news watching like
        3    channel 7 news and I would just hear, but I can't remember
        4    because it has been a little while and, you know, like I can't
        5    say.  I just remember what was happening because with us a lot
        6    of times at our job they would instruct us to be careful
        7    because things are going on in different areas and, you know,
        8    like we don't want it to happen to us.  So we just were being
        9    precautious and stuff like that with what was going on.
       10    Because usually what goes on in one jail it can happen in every
       11    other jail, so it's just instructions that we had gotten from
       12    our bosses to be careful especially with the incident in MCC
       13    and it's just what we were instructed to be aware and careful.
       14             (Continued on next page)
       15
       16
       17
       18
       19
       20
       21
       22
       23
       24
       25
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        1    BY THE COURT:
        2    Q.  Okay.  What incident at the MCC were you referring to?
        3    A.  The incident where there was a correction officer that got
        4    stabbed in the eye, a possible escape.
        5    Q.    Let me ask you, have you heard or -- what have you heard
        6    or read about this case?
        7    A.  This case?
        8    Q.  Yes.
        9    A.  Basically, of what I said before.  About passing
       10    information from detainee to lawyer.
       11    Q.  Okay.  Is there anything about the charges in this case as
       12    I've explained the case to you that leads you to believe that
       13    you could not be a fair and impartial juror in the case?
       14    A.  No.
       15    Q.  If you were chosen as a juror, you would have to put aside
       16    side anything that you have seen or heard or read in the
       17    newspapers and decide the case based solely upon the evidence
       18    or lack of evidence that's presented here in court.  Could you
       19    do that?
       20    A.  Yes.
       21    Q.  Do you have any doubt whether you could do that?
       22    A.  No.
       23    Q.  Do you understand that if you were chosen as a juror in
       24    this case, you would have to listen to the evidence in the case
       25    and decide the case based solely upon the evidence or lack of
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        1    evidence in the case and my instructions on the law?  Do you
        2    understand that?
        3    A.  Yes.
        4    Q.  Is there -- would you do that?
        5    A.  Yes, I would, yes.
        6    Q.  Do you have any questions about whether you could do that?
        7    A.  No.
        8    Q.  As you can tell from all of my questions, the fundamental
        9    issue is whether there is anything in your personal history or
       10    life experience that would prevent you from acting as a fair
       11    and impartial juror in this case, so let me ask you one final
       12    time whether there's anything, whether I've asked you about it
       13    specifically or not, that would prevent you from being a fair
       14    and impartial juror in this case?
       15    A.  No, I would -- I would be fair.  I would, you know, follow
       16    your instructions.  That's what I would try, you know, the best
       17    of my ability.
       18    Q.  You say that you would try to the best of your ability.  Do
       19    you have any questions in your mind about whether you would be
       20    able to do that?
       21    A.  No, I don't have any questions.
       22    Q.  Okay.  Can you step out for a moment?
       23               (Juror absent)
       24             MR. TIGAR:  Your Honor, our concern is that even
       25    though he's retired he still does associate with people he was
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        1    on the job with and talks about things.  And he said that,
        2    having heard that there was a case about messages between a
        3    detainee and a lawyer, it was something that everybody talked
        4    about because, as he said, usually what goes on in one jail,
        5    goes on in every other jail.  And he immediately skipped over
        6    then and was talking about the MCC episode, which did involve a
        7    Middle Eastern person, as I recall the facts, all in the same
        8    paragraph or thought pattern.
        9             In addition to that, your Honor, you did ask him
       10    several times about law enforcement officers, but in this case,
       11    there are going to be prison guards, correction officers, who
       12    will be witnesses in the case.  It is inevitable.  And
       13    therefore we would ask your Honor to explore those two areas.
       14             First, what did they talk about?  About detainees and
       15    messages and so on?  And what are his attitudes about it.
       16             Second, your Honor, somebody with that many years
       17    experience in corrections is almost bound to have heard about a
       18    person named Lynne Stewart, particularly in connection with
       19    such things as the Larry Davis case.  Would your Honor ask him,
       20    Has he heard, read, talked about the lawyer Lynne Stewart.
       21    Your Honor knows the nature of her practice, and these seem
       22    like reasonable areas to pursue.
       23             THE COURT:  All right.  He was asked about,
       24    specifically, about Lynne Stewart.  But I'll raise it
       25    separately with him, and I'll certainly raise the prison guards
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        1    and the -- what's the precise nature of the question about
        2    talking about detainees?
        3             MR. TIGAR:  Your Honor, he said that he heard that
        4    there was a case involving alleged passing of messages from a
        5    detainee for a lawyer.  It was discussed as a current security
        6    issue at his facility.
        7             THE COURT:  Okay.
        8             MR. TIGAR:  Your Honor recalls he didn't retire until
        9    August of 2002, after the indictment in this case was returned.
       10             THE COURT:  Okay.  Anything else?  All right.
       11               (Juror present)
       12    BY THE COURT:
       13    Q.  Hi.  I have a few follow-up questions.  I've asked you
       14    about law enforcement personnel.  I've told you that law
       15    enforcement personnel might be witnesses.  It also may be that
       16    corrections officers or guards or security officers may be
       17    witnesses at the trial.  And their credibility has to be
       18    assessed the same way as every other witness.  You would have
       19    to listen to their testimony in the same way as you would any
       20    other witness, and you could not give their testimony any
       21    greater or lesser credibility simply because they were involved
       22    in corrections in one form or another.  Do you understand that?
       23    A.  Yes.
       24    Q.  And would you follow that instruction?
       25    A.  Yes, I would.
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        1    Q.  Okay.  And you understand the importance of that?  Every
        2    witness has to be assessed based upon their credibility, here
        3    on the stand, to determine whether they're being accurate or
        4    not accurate in their testimony.  Will you follow that
        5    instruction?
        6    A.  Yes.
        7    Q.  Tell me, have you -- are you familiar at all or have you
        8    heard or read about Lynne Stewart?
        9    A.  Yes, in the paper.
       10    Q.  Okay.  And tell me what you've heard or read about Lynne
       11    Stewart?
       12    A.  It was in the paper that she was, you know, like on charges
       13    of receiving messages, you know, from a detainee.
       14    Q.  Okay.
       15    A.  That they didn't have any outside contact.
       16    Q.  All right.  Now, did you read or hear anything else about
       17    her that you can recall?
       18    A.  Basically, it's that.  That was it.
       19    Q.  Okay.  Now, I went over this with you before, but I want to
       20    make sure -- oh, let me just ask you another question in that
       21    connection:  You mention that you had conversations about
       22    detainees passing messages as part of your work as a
       23    corrections officer; is that right?
       24    A.  Uh.
       25    Q.  Go ahead?
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        1    A.  Basically, it wasn't -- because, like, our detainees is a
        2    different type.  They could talk and make calls outside and we
        3    weren't instructed anything like that.  You know, the only
        4    thing is:  Contraband.  That's the only thing that we were, you
        5    know, aware of.  Concerning messages or whatever, it was
        6    nothing -- you know, it wasn't like an inmate couldn't talk to
        7    the public, only to his lawyer.
        8    Q.  Okay.
        9    A.  The only thing that we got instructions were to, you know,
       10    be careful, like there was an incident that happened in a
       11    jail -- because I used to work up the block in the Tombs in
       12    Manhattan, and from -- what is it, MMC or -- there was an
       13    incident.  And just be alert, because usually any uprisings
       14    start one and go all over.  So that's what we were told:  To be
       15    careful.
       16    Q.  All right.  You don't recall any other discussions about --
       17    or receiving any instructions about passing information?
       18    A.  No, not in my -- not in our, where we worked at.
       19    Q.  Okay.
       20    A.  Because they all had privileges to talk, you know, on the
       21    phone and stuff, and talk to their lawyers, family members and
       22    everybody.
       23    Q.  All right.  Now, you -- and I know I went over this with
       24    you before, but let me do it again.  You had heard something
       25    about the lawyer and you heard something about the case, and
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        1    you've told us what you had heard.  It's very important for all
        2    of the parties in this case to have jurors who will assure them
        3    that they will decide this case based solely upon the evidence
        4    or lack of evidence in this case, and my instructions on the
        5    law.  Despite any publicity, anything that's been in the
        6    newspapers, which can always be incorrect, the case has to be
        7    decided solely on the evidence or lack of evidence and my
        8    instructions on the law, and will you put aside anything that
        9    you have seen or heard or read in the newspapers or talked
       10    about and listen to the evidence in this case or the lack of
       11    evidence and decide this case based solely upon the evidence or
       12    lack of evidence and my instructions on the law?
       13    A.  Yes.
       14    Q.  And can you do that?
       15    A.  Yes, I could.
       16    Q.  All right.  Can you step out for a moment?
       17               (Juror absent)
       18             THE COURT:  No further questions.  And no challenges
       19    for cause?  I'll ask him to come back --
       20             MR. TIGAR:  Your Honor, may I have just a moment,
       21    please, your Honor?
       22             THE COURT:  Oh, sure.
       23               (Off the record)
       24             MR. TIGAR:  Your Honor, we would challenge the juror
       25    for cause.  I listened to his -- the colloquy, and although the
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        1    words were the right words, a higher intonation, particularly
        2    with the, "Yes, I would" answer on evaluating the credibility
        3    of prison guards, he hesitated, he looked around.  It was
        4    clearly something about which he had difficulty.  And I know
        5    it's hard to talk about candor and lack of candor, and these
        6    are things for your Honor to decide, but here is a man who's
        7    spent his entire working life guarding prisoners and who has
        8    said that he's convinced that the detainees, most of whom are
        9    presumed innocent, turn out not to be; who continues to
       10    associate with people who are in that same profession.  I think
       11    that it is simply not proven that he would be able to put all
       12    of that experience out of his mind.
       13             MR. RUHNKE:  We join the challenge.
       14             THE COURT:  All right.  Ms. Baker?
       15             MS. BAKER:  If your Honor was prepared to rule -- I
       16    just wanted to say your Honor observed the jurist's demeanor
       17    himself.  We would submit that his demeanor reflected he was
       18    being careful and thinking about each question, and to the
       19    extent that he was answering slowly, he spoke slowly
       20    throughout.  He did not answer any more slowly in response to
       21    your Honor's repeated questions about whether he could follow
       22    the instructions.
       23             THE COURT:  Yes.  I listened to him very carefully,
       24    and I assessed his credibility, I assessed his demeanor.
       25    Counsel says correctly that the answers were, on their face,
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        1    answers which do not support a challenge for cause.  And the
        2    issue is one of credibility.
        3             Counsel questions his credibility, but I've listened
        4    to him, I've observed his demeanor, I've gone over with him at
        5    length all of his contacts, experiences, and he is a credible,
        6    believable witness when he says that he will follow my
        7    instructions, that it's important to him to follow orders, and
        8    that he will get my instructions on the law, he's carefully
        9    thought about the issues, and he will decide this case based
       10    solely upon the evidence or lack of evidence and my
       11    instructions on the law and that he will be a fair and
       12    impartial witness.  And I've listened to him very carefully,
       13    and there is not a challenge for cause.
       14             MR. TIGAR:  To complete the record, your Honor, our
       15    challenge was also an implied bias challenge.  As your Honor
       16    may recall, a closely divided Supreme Court in Dennis versus
       17    Unites States did uphold the presence of government employees
       18    on the contempt of congress case of Eugene Dennis, but as the
       19    dissenters pointed out and the majority acknowledged, there's
       20    certain professions within government service that would create
       21    what is called implied bias.
       22             I simply wanted to make that additional point.
       23             THE COURT:  Trust me, I have carefully considered the
       24    issue of implied bias.  I've carefully considered the three
       25    classes of bias that the Court of Appeals has set out, and this
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        1    is a person who is retired.  There is nothing about his prior
        2    employment that supports the challenge, and I've carefully
        3    examined that he will have no actual bias.
        4             I've also considered whether there's any possible
        5    inferred bias as to which I should exercise any discretion in
        6    this case, and that's why I so carefully listened to all of his
        7    answers, and I believe that there is a juror who would be a
        8    fair and impartial juror, and I have considered all of the
        9    possible categories of bias.
       10             I appreciate your bringing it to my attention.  Bring
       11    in the juror.
       12               (Juror present)
       13    BY THE COURT:
       14    Q.  Please have a seat.  Juror Number 154, you're still in the
       15    process of jury selection.  I'll ask you to call back on June
       16    the 18th, and Mr. Fletcher will give you a slip of paper to
       17    point out to you the telephone number and all.
       18             It's very important that you follow my continuing
       19    instructions:  Please don't talk about this case or anything to
       20    do with it.  Please, don't look at or listen to or read
       21    anything about the case.  Please, as I'll tell all of the
       22    jurors who are selected, do not -- remember to keep an open
       23    mind until you've heard all of the evidence, I've instructed
       24    you on the law, and you've gone to the jury room to begin your
       25    deliberations.  Fairness and justice to the parties requires
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        1    that you do that.
        2             All right?
        3    A.  Okay.
        4    Q.  Okay.
        5               (Juror absent)
        6             DEPUTY CLERK:  156.
        7               (Juror present)
        8    BY THE COURT:
        9    Q.  Please have a seat.
       10    A.  Thank you.
       11    Q.  Good afternoon, Juror 156.
       12    A.  Good afternoon.
       13    Q.  It's nice to see you.  Since you were here last, has
       14    anything changed concerning your ability to serve as a juror in
       15    this case or has anything occurred to you that may affect your
       16    ability to be a fair and impartial juror in this case?
       17    A.  No.
       18    Q.  It notice appears that the date that the final jury will be
       19    chosen in this case will be Monday, June the 21st.  So after
       20    today, it's unlikely that you'll be called to come back before
       21    June the 18th.  Does that present any serious hardship for you?
       22    A.  No.
       23    Q.  And, actually, it would be call in on June the 18th.  Since
       24    you were here last, have you spoken to anyone about the case or
       25    have you looked at or listened to anything about the case?
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        1    A.  No.
        2    Q.  Has anyone spoken to you about the case, and that includes
        3    any conversations here at the Court house or with any other
        4    prospective jurors?
        5    A.  No.
        6    Q.  While you were waiting with the other prospective jurors,
        7    did you or anyone you overheard discuss the case?
        8    A.  The first day that I was here?
        9    Q.  Either the first day or today.
       10    A.  No, we were told not to discuss it.
       11    Q.  Very good.  And you mentioned in response to the
       12    questionnaire that your -- that you had a -- that you have a
       13    niece who's in the Navy, and is she currently in the Navy?
       14    A.  Yes, she is.
       15    Q.  And you have a former husband who is in the Army?
       16    A.  Yes.
       17    Q.  Do you know, is he still in the Army?
       18    A.  No.
       19    Q.  And you have two brothers who were in the service.  Are
       20    they still in?
       21    A.  No, they're finished.
       22    Q.  They've finished.  And you mentioned that some of your
       23    family were -- saw service in Vietnam.  Who was that?
       24    A.  My youngest brother -- middle brother.
       25    Q.  Okay.  And is there anything about any of those experiences
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        1    that would prevent you from being a fair and impartial juror in
        2    this case?
        3    A.  Not at all.
        4    Q.  You told us that you were called for jury duty three times
        5    but you were never selected for a jury.  Is that right?
        6    A.  Yes.
        7    Q.  Okay.  Is there anything about those experiences in the
        8    course of jury selection or anyone in connection with that
        9    process that would prevent you from being a fair and impartial
       10    juror in this case?
       11    A.  Not at all.
       12    Q.  You mention that you have a family members who were or are
       13    involved in corrections.  You've pointed out your former
       14    husband was employed in corrections and is now retired.  And
       15    that you have an uncle, also retired, who was in corrections.
       16    And a cousin who is still employed in corrections.
       17             Were all of those employed with the New York City
       18    Department of Corrections -- or the New York City corrections
       19    or the state corrections?
       20    A.  I think it's the state.
       21    Q.  The state.
       22    A.  Yes.
       23    Q.  Okay.  Is there anything about those connections that would
       24    prevent you from being a fair and impartial juror in this case?
       25    A.  No.  They were doing their job.
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        1    Q.  Okay.  One of the instructions that I will give to jurors
        2    is that no witness, no witness, is entitled to greater or
        3    lesser credibility based upon their occupation, and that
        4    includes law enforcement officers.  And there may be law
        5    enforcement officers or prison officials or prison guards who
        6    may be witnesses in the case.  And you would have to assess
        7    their credibility in the same way that you would any other
        8    witness.  They would be entitled to no greater or lesser
        9    credibility just because of their occupation.
       10             Do you understand that?
       11    A.  Yes, I do.
       12    Q.  And will you follow that instruction?
       13    A.  Yes.
       14    Q.  You mentioned that you were not very knowledgeable about
       15    Islam.  Could you tell me what the basis for any knowledge that
       16    you have about Islam is?  If you can.
       17    A.  Only that, you know, that which has taken place in the
       18    news.  You know, other than that, it was a place on the map.
       19    Q.  Based on a map?
       20    A.  No, it was -- you know, prior to when it became, you know,
       21    outstanding in the news, it was, you know, just a place on the
       22    map.
       23    Q.  Okay.
       24    A.  You know.  And I know these are people that -- a culture of
       25    people that exists, like we Americans.  Other than that, I
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        1    don't have any relationships, friends, you know.
        2    Q.  Okay.  Do you have any biases or prejudices against any
        3    people of Middle Eastern descent or any people of the Islamic
        4    faith?
        5    A.  No, I have no reason to.
        6    Q.  All right.  If you were chosen as a juror in this case, you
        7    would be required to decide this case based solely on the
        8    evidence or lack of evidence in the case, and in accordance
        9    with my instructions on the law.  Will you do that?
       10    A.  Yes.
       11    Q.  As you can tell from all of my questions, the fundamental
       12    issue is whether there's anything in your personal history or
       13    life experience, whether I've asked you about it specifically
       14    or not, that would prevent you from being a fair and impartial
       15    juror in this case.  So let me ask you one final time whether
       16    there's anything, whether I've asked you about it specifically
       17    or not, that would prevent you from being a fair and impartial
       18    juror in this case?
       19    A.  I don't believe so.
       20    Q.  Okay.  Do you have any reason to doubt that?
       21    A.  I have no reason to doubt it.
       22    Q.  Will you be a fair and impartial juror in this case?
       23    A.  I'll do my best.
       24    Q.  Do you have any reason to believe that you will not be fair
       25    and impartial?
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        1    A.  I have no reason to.
        2    Q.  So will you assure all of the parties in this case that you
        3    will be a fair and impartial juror, that you will listen to the
        4    evidence or lack of evidence and decide the case based solely
        5    on the evidence or lack of evidence and my instructions on the
        6    law?
        7    A.  I'll have to go on the evidence that's presented, and
        8    present myself accordingly as best I know how.
        9    Q.  All right.  So will you do that?
       10    A.  I can do it.
       11    Q.  Okay.  Thank you.  You can step out, please.
       12    A.  Okay.
       13               (Juror absent)
       14             MR. RUHNKE:  Your Honor, just a couple of questions,
       15    some additional questioning of this juror.  She said on the
       16    questionnaire that she's now retired and that she spends her
       17    time doing volunteer work.  Would you inquire of her what kind
       18    of volunteer work she does?
       19             THE COURT:  Sure.  Yes.
       20             MR. RUHNKE:  That's Question 18.  Also, when she was
       21    asked about her knowledge of Islam, she said in essence, she
       22    really didn't think much about it until it became something
       23    that was very much in the news.  And I infer from that a
       24    reference to 9/11, terrorism in general.
       25             Would you ask her -- if you're not satisfied that
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        1    that's what she probably did mean, ask her what she meant by
        2    that, and if she says "9/11" or words to that effect, would you
        3    ask her if she associates terrorism with people who are
        4    Islamic?
        5             That's all I'd ask for, your Honor.
        6             MR. TIGAR:  Your Honor, her former husband was a
        7    corrections officer, and it's not clear whether they were
        8    married at the time he did that work.  But whether or not they
        9    were, it seems a legitimate inquiry, whether he feared for his
       10    physical safety as a correction officer or whether they talked
       11    about his work.  Questions to explore whether there was
       12    anything in that period of time that would leave her with an
       13    impression that would be relevant to this case.
       14             MR. DEMBER:  Your Honor, just one matter:  She lists
       15    her daughter's occupation as -- with the initials NPA.  Would
       16    you ask her what those stand for?  It's not clear.  That's on
       17    Page 8, your Honor, Question 11.
       18             THE COURT:  Okay.  I'll ask a few follow-up questions
       19    of the juror.  If the follow-up questions don't suggest a
       20    challenge for cause, I'll tell the juror to come back on June
       21    the 18th, or call, right?
       22             MR. TIGAR:  Yes.
       23             MR. RUHNKE:  That's correct.
       24             MR. DEMBER:  That's correct.
       25             THE COURT:  All right.  Retrieve the juror.
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        1               (Juror present)
        2    BY THE COURT:
        3    Q.  Hi, again.  A few other questions, Juror Number 156.
        4             You mentioned on the questionnaire that your
        5    daughter -- in listing your daughter's occupation, you said
        6    NPA.  What does NPA stand for?
        7    A.  She took a nursing course to go into the homes and take
        8    care of the elderly, sick.
        9    Q.  Okay.
       10    A.  She call it NPA.  I think I got it right.
       11    Q.  It's some form of a nurse's aid?
       12    A.  In home, for people.
       13    Q.  Nurse's aid?
       14    A.  Yes.
       15    Q.  And you had mentioned that you do volunteer work.
       16    A.  Yes.
       17    Q.  Could you just describe for me what kind of volunteer work
       18    you do?
       19    A.  I'm retired now, and I used to do the type of work my
       20    daughter's doing now.  And, you know, like bring in groceries,
       21    something like that.  At church.  Mentor.
       22    Q.  What?
       23    A.  Mentor.  I mentor, you know, a couple of my cousins, the
       24    younger people.  Different places.  You know, it's just a way
       25    of life.
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        1    Q.  Okay.  You mentioned that Islam was in the newspapers.  Can
        2    you describe to me what you meant by Islam being in the
        3    newspapers?
        4    A.  Well, when it became, you know, newsworthy, when --
        5    Q.  I can't hear -- could you just -- thank you.
        6    A.  I'm sorry.  When all the activity started when the
        7    buildings -- 9/11, and, you know, that's when everything came
        8    into the news.
        9    Q.  Okay.
       10    A.  So that's, you know, that's when it became prominent.
       11    Q.  Okay.
       12    A.  Yeah.
       13    Q.  Let me explain something.
       14    A.  Uh-huh.
       15    Q.  This case does not involve 9/11.  None of the defendants in
       16    this case are charged with any offenses in connection with
       17    9/11.  So 9/11 is simply not involved in this case.
       18    A.  Uh-huh.
       19    Q.  You mention that you had seen publicity over 9/11.  Is
       20    there anything about that that would prevent you from being a
       21    fair and impartial juror in this case, listening to the
       22    evidence or lack of evidence in this case, and deciding this
       23    case based solely upon the evidence or lack of evidence and my
       24    instructions on the law?
       25    A.  Hmmm -- I understand what you're saying.  I don't see where
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        1    it's relevant.
        2    Q.  I'm sorry?
        3    A.  I don't see where it's connecting, you know.  This was an
        4    incident of people gone mad, you know, on that day.  And as the
        5    judge explained to us when we came into the room that day, you
        6    know, he explained to us, you know, these were people that got
        7    involved in something, so it's a different case.
        8               (Continued on next page)
        9
       10
       11
       12
       13
       14
       15
       16
       17
       18
       19
       20
       21
       22
       23
       24
       25
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             45PSSAT5
        1    Q.  Okay.
        2             You had mentioned that your husband was a former
        3    corrections officer.
        4    A.  Yes.
        5    Q.  Is there anything about that that would prevent you from
        6    being a fair and impartial juror in this case?
        7    A.  I don't see why.
        8    Q.  Is there anything that you discussed with your prior
        9    husband or anything that he said to you or anything like that
       10    that leads you to believe that you would not be a fair and
       11    impartial juror in this case?
       12    A.  Well, we are divorced.  We are not living together, so his
       13    life is separate except that we have children together, you
       14    know.  But like all of my other relatives that were in
       15    corrections, they are doing their job and it has no weight on
       16    what I do.
       17    Q.  Can I just ask you, I don't mean to pry, but how long have
       18    you been separated from your husband?
       19    A.  Oh, about 1977.
       20    Q.  Oh, okay.
       21    A.  Yes.  We are family but we are not together.
       22    Q.  Okay.
       23             Juror 156, I am going to ask you to call in on June
       24    18th and Mr. Fletcher will give you a piece of paper where to
       25    call in, but it's very important that you follow my continuing
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        1    instructions.  Please, please don't talk about this case at all
        2    or anything to do with it.  Please remember not to look at or
        3    listen to or read anything to do with the case.  Always
        4    remember to keep an open mind as I will tell the jurors until
        5    they have heard all of the evidence, I have instructed them on
        6    the law, and they have gone to the jury room to begin their
        7    deliberations.  Fairness and justice requires that they do
        8    that.
        9             All right?
       10    A.  Okay.  I understand.
       11    Q.  Thank you.  You can go home now.
       12             (Juror absent)
       13             THE COURT:  Can I just pause for one moment.  We have
       14    two more jurors from this morning but it's very close to
       15    lunchtime and I would be inclined to ask those jurors to come
       16    after lunch and continue after lunch.
       17             MR. TIGAR:  We certainly agree with that, your Honor.
       18    I would also signal I don't know how late your Honor intends to
       19    sit this evening.  I have an appointment with a witness at 7
       20    o'clock.
       21             THE COURT:  Oh, golly, I really hope that we won't
       22    come close.
       23             MR. TIGAR:  This was a hope I hoped to share with the
       24    court.
       25             THE COURT:  I hope so too.  If it's necessary to call
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        1    some jurors back tomorrow we will call them back tomorrow.  We
        2    will try not to sit beyond 5 o'clock.
        3             Why don't we try and take a little less for lunch.  So
        4    let's say 2:30.  We will break for lunch until 2:30.
        5             Thank you.
        6             (Luncheon recess)
        7             (continued on next page)
        8
        9
       10
       11
       12
       13
       14
       15
       16
       17
       18
       19
       20
       21
       22
       23
       24
       25
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        1             AFTERNOON SESSION
        2             2:30 p.m.
        3             THE COURT:  Good afternoon all.  Please be seated.
        4             The potential jurors are being brought over.
        5             Let me raise a couple of issues with you while we are
        6    waiting.
        7             First, I received the correspondence from the parties
        8    relating to Juror Number 16 and I agree with Mr. Ruhnke's
        9    letter that it's not a challenge for cause.  It's unlike the
       10    other situations that we have dealt with and on its face it's
       11    not a challenge for cause.
       12             Second, I had given you a list of prospective
       13    jurors -- I had given you a list of prospective jurors that I
       14    thought that the parties might agree to strike, 164, 184,
       15    201 --
       16             MR. TIGAR:  Was there a 196 in there, your Honor?
       17             THE COURT:  No.  I left open 196 because it wasn't
       18    clear to me how definite the names were that were there.  I
       19    just didn't know.  I mean, it's possible.
       20             164, 184, 201, 202, 212, and 229.
       21             MR. TIGAR:  The defense agrees with that list, your
       22    Honor.
       23             MR. DEMBER:  Your Honor, we agree with 164, 184, 201,
       24    202, 212 and 229.
       25             Frankly, I can't find the names that you are referring
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        1    to on questionnaire for the Juror 196.
        2             THE COURT:  It's the names of the --
        3             MR. TIGAR:  196 is a street address, your Honor.
        4             MR. DEMBER:  I see it.  It wasn't a name.  It was a
        5    street address, okay.
        6             THE COURT:  It was 195 that I was thinking of with the
        7    names of children.
        8             MR. DEMBER:  That is correct, your Honor.
        9             THE COURT:  If it's 196 with the street address, then
       10    I would agree with the parties.
       11             MR. DEMBER:  I would agree, your Honor.  I didn't see
       12    the street address.  I was looking for names of individuals.
       13    So we agree with 196 as well.
       14             THE COURT:  Okay.
       15             I will make sure that the jury clerk calls.  164, 184,
       16    196, 201, 202, 212 and 229 should be stricken, and one of those
       17    would otherwise be here this afternoon also.
       18             164 will be here later so we can tell 164 that 164 is
       19    excused.  That juror is coming up in a few so we might as well
       20    continue with the order.
       21             So the next juror is 157.
       22             (Juror present)
       23    BY THE COURT:
       24    Q.  Good afternoon, Juror 167.
       25             Let me ask you a few questions on your questionnaire
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             45PSSAT5
        1    before going back to some preliminary questions.
        2             You didn't indicate on your form whether you would
        3    have a serious hardship if you were chosen for this case.
        4    A.  Well, I work full-time.  I guess everybody does.  And I
        5    take care of my older daughter's children in the afternoon.
        6    Q.  But you would be paid if you took off from work, right?
        7    A.  Yes.
        8    Q.  And there is nothing about the care that you give to the
        9    other children that would prevent you from serving?
       10    A.  Probably not.
       11    Q.  Since you were here last has anything changed concerning
       12    your ability to serve as a juror in this case or has anything
       13    occurred to you that may affect your ability to be a fair and
       14    impartial juror in this case?
       15    A.  I have tickets to go to Europe.
       16    Q.  When?
       17    A.  June 4th.
       18    Q.  For how long?
       19    A.  Ten days.
       20    Q.  Actually the jury in this case will only be chosen on June
       21    21st and you won't have to call back until June 18th.  So does
       22    that pose any serious hardship for you?
       23    A.  No.
       24    Q.  Since you were here last have you spoken to anyone about
       25    the case or have you looked at or listened to anything about
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        1    the case?
        2    A.  I have not.
        3    Q.  Has anyone spoken to you about the case?
        4    A.  No.
        5    Q.  That includes anyone here at the courthouse or any
        6    conversations with any other prospective jurors?
        7    A.  No.
        8    Q.  While you were waiting with the other prospective jurors,
        9    did you or anyone you heard discuss the case?
       10    A.  No, we did not.
       11    Q.  Could you tell me what types of law your daughter
       12    practices?
       13    A.  My daughter no longer practices.  She is now teaching.  My
       14    son-in-law does litigation.
       15    Q.  Without telling me the law firm that your son-in-law
       16    practices at, what kind of law is it that he practices?
       17    A.  Well, I know he is doing business litigation and he is
       18    doing some marriage and divorce work.
       19    Q.  You mentioned that your father was an attorney.  What kind
       20    of law did he practice or does he practice?
       21    A.  He practiced for a while and then he worked for the U.S.
       22    government.
       23    Q.  Okay.
       24             What did he do for the government?
       25    A.  He worked in income taxes and excise taxes.
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        1    Q.  He worked --
        2    A.  Income and excise taxes.
        3    Q.  Anything about that that would prevent you from being a
        4    fair and impartial juror in this case?
        5    A.  No.
        6    Q.  You mentioned that you were an alternate juror on a
        7    criminal case in White Plains.
        8    A.  Correct.
        9    Q.  About 15 years ago?
       10    A.  Yes.
       11    Q.  Was that in federal court or state court in White Plains?
       12    A.  It was in White Plains, in state court.
       13    Q.  And that was a criminal action.?
       14    A.  Yes.
       15    Q.  And you did not actually deliberate in that case?
       16    A.  That is correct.
       17    Q.  And is there anything about that experience with the
       18    criminal justice process or with any of the participants in the
       19    process that would prevent you from being a fair and impartial
       20    juror in this case?
       21    A.  No.
       22    Q.  You mentioned that you support various organizations which
       23    defend people's civil liberties and civil rights.  You were
       24    asked have you or has an immediate family member ever belonged
       25    to an organization the purpose of which is to defend people's
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        1    civil liberties or civil rights, and you said yes, you support
        2    with charitable contributions.
        3    A.  That is about it, right.
        4    Q.  And I was just asking you which organizations.
        5    A.  American Jewish Committee.
        6    Q.  Okay.
        7             Any others?
        8    A.  I am trying to remember.  Not really, I don't think.
        9    Q.  Okay.
       10             What kind of law does your daughter teach, by the way?
       11    A.  My daughter doesn't teach law anymore.  She is now a
       12    teacher.  After practicing for several years, she went back to
       13    school again.
       14    Q.  And she is now a teacher or is she a student?
       15    A.  She is a teacher now of children.
       16    Q.  Oh, I see.
       17    Q.  What grade does she teach?
       18    A.  Sixth.
       19    Q.  You also mentioned that your ex-husband was also a lawyer?
       20    A.  Yes.
       21    Q.  Can you tell me what kind of law he practiced?
       22    A.  Also business litigation.
       23    Q.  And you mentioned that your uncle was at one time the
       24    United States Attorney for the Southern District.  Can you
       25    just, without telling us who that was, about how long ago was
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        1    that?  Is that --
        2    A.  It was a while ago, a long time ago.
        3    Q.  A long time ago?
        4    A.  Yes.
        5    Q.  Okay.
        6             And what kind -- is your uncle still alive?
        7    A.  No.
        8    Q.  And what other kinds of law did he practice?
        9    A.  He didn't.
       10    Q.  I am sorry?
       11    A.  He didn't practice law.
       12    Q.  Okay.
       13             Now, in response to the questions on people you know
       14    who are associated with the legal justice system you mentioned
       15    that you have members of your family.
       16    A.  Yes.
       17    Q.  And, similarly, that members of your family have been
       18    associated with the federal or state investigative agency.
       19             Have we covered those, your father who worked for the
       20    IRS, your uncle --
       21    A.  You have covered them.
       22    Q.  Okay.
       23             And, similarly, the judiciary or the court system,
       24    that was referring to your uncle, is that right?
       25    A.  Yes.
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             45PSSAT5
        1    Q.  Yes?
        2    A.  Yes.
        3    Q.  Now, is there anything about any of those relationships
        4    that would prevent you from being a fair and impartial juror in
        5    this case?
        6    A.  I don't think so.
        7    Q.  People have different ways of expressing themselves.  Is
        8    there anything that you know of as a result of any of those
        9    connections that would prevent you from being a fair and
       10    impartial juror in this case, listening to the evidence or lack
       11    of evidence and deciding the case based solely on the evidence
       12    or lack of evidence and my instructions on the law?
       13    A.  I guess not.  Am I supposed to say yes or no?
       14    Q.  Well, under your oath as a potential juror the parties are
       15    entitled to know whether --
       16    A.  Well, I would hope that I could.
       17    Q.  We are going to get to some other questions also but before
       18    we even get to those questions, you say you hope that you could
       19    and that you guess you would.
       20             Tell me, we are going to get to all of the other
       21    questions but you tell me, as you sit here today do you
       22    question whether based on your personal history, based on the
       23    allegations in this case as I have explained them to you, and
       24    they are solely allegations, do you doubt whether you could be
       25    a fair and impartial juror in this case?
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        1    A.  On the basis of that I guess I could be impartial.
        2    Q.  I am sorry?
        3    A.  I said I think I could be impartial on the basis of the
        4    connections there and the questions you asked me so far.
        5    Q.  I am not limiting myself to the questions so far.  That is
        6    what I was trying to make clear.  I am going to get to the
        7    other questions also but, tell me, and we will go through all
        8    of them if you wish, but what I was trying to do was to ask you
        9    whether based upon your personal history and life experience
       10    and the allegations in this case, you would be a fair and
       11    impartial juror?
       12    A.  I guess I would be a fair and impartial juror.  That is the
       13    best I can do.
       14    Q.  You say you guess?
       15    A.  I would want to be.  I would hope that I would be, but I am
       16    just not completely sure.
       17    Q.  Okay.
       18             Could you step out for a moment?
       19    A.  Sure.
       20             (Juror absent)
       21             THE COURT:  I am prepared to continue the questioning
       22    but it's reasonably clear to me where I will be at the end of
       23    the day.
       24             MR. RUHNKE:  Your Honor, we think she is a cause
       25    challenge at this point and we haven't even gotten to some of
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        1    the questions later in the questionnaire and we are wondering
        2    if the government wishes to pursue it or whether they agree.
        3             THE COURT:  You are more direct.
        4             MR. DEMBER:  Your Honor, we have no objection to this
        5    juror being excused.
        6             THE COURT:  Okay.  I agree.  The juror has expressed
        7    sufficient doubts for a challenge for cause.
        8             Okay, call the juror back.
        9             (Juror present)
       10    BY THE COURT:
       11    Q.  Juror 157, I have decided to excuse you and I very much
       12    appreciate your participating in the process.  I appreciate the
       13    time and effort that you have taken with the questionnaire and
       14    in responding to my questions today and I hope that you
       15    appreciate that your very participation in the process is
       16    performing a public service.  So I hope you take away the
       17    satisfaction of knowing that you have done that.
       18    A.  Thank you.
       19    Q.  And you are excused now and all the paperwork will be taken
       20    care of by mail.
       21             (Juror absent)
       22             THE CLERK:  158.
       23             THE COURT:  158 is apparently not there so we will
       24    call 159 and we will have to follow up to see where 158 is.
       25             (Juror present)
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        1    BY THE COURT:
        2    Q.  Good afternoon, Juror 159.  Nice to see you.
        3             Since you were here last has anything changed
        4    concerning your ability to serve as a juror in this case or has
        5    anything occurred to you that may affect your ability to be a
        6    fair and impartial juror in this case?
        7    A.  The only thing my job refuses to pay for the length of
        8    time.  They have said that I would have to take a leave of
        9    absence and partial pay, which would be very hard.
       10    Q.  Don't tell me where your employer is or who your employer
       11    is, but I thought that when you filled out the questionnaire
       12    you were not then working.
       13    A.  I am full-time employed.
       14    Q.  Oh, I am sorry, you are absolutely right.  But you told me
       15    on the questionnaire that serving on the jury would not cause
       16    or would not be a serious hardship for you and that it would
       17    not cause you hardship and that you would be paid your salary.
       18    A.  Well, I assumed that the job would do that, but they have
       19    said otherwise.
       20    Q.  They won't pay your salary?
       21    A.  Only partially, and I will have to take a leave of absence.
       22    Q.  Okay.
       23             I see, you work for an insurance company.
       24    A.  That is right.
       25    Q.  And they have a regular policy with respect to sort of
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        1    length of jury service?
        2    A.  That is right, after 8 days.
        3    Q.  And you tell me you would be paid partial salary?
        4    A.  That is what they said.
        5    Q.  And would you be able to keep your jury pay also, $40 a pay
        6    and then $50 a day?
        7    A.  I don't know.
        8    Q.  You don't know.
        9             Your spouse works also?
       10    A.  Yes.
       11    Q.  So would serving on the jury be -- you know, the parties in
       12    the case are entitled to a jury from a cross section of their
       13    community and jurors have lots of responsibilities and so would
       14    serving on the jury be a serious economic hardship for you?
       15    A.  It would be because I own a house.  I have two kids in
       16    private school and I have two cars and I don't think whoever I
       17    would owe for a mortgage would give me time to pay up.
       18    Q.  All right.
       19             What would the partial pay that you received be?
       20    A.  They didn't say.  They just said it was partial payment.
       21    Q.  Depending upon the extent of the partial payment, could you
       22    serve without it being a serious economic hardship?
       23    A.  For the length of time?
       24    Q.  Yes.
       25    A.  It would be very hard.
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        1    Q.  But how do you know that without even knowing how much they
        2    would pay you?
        3    A.  Well, I would suppose it would be half of my salary or even
        4    less.
        5    Q.  All right.
        6             And would half of your salary combined with the juror
        7    pay be a serious economic hardship for you?
        8    A.  I don't think it would come up to what my salary would be
        9    if I had partial payment.
       10    Q.  You have to tell me.  Would it prevent you from paying your
       11    mortgage and putting --
       12    A.  It would prevent me from something, paying at least half of
       13    something.
       14    Q.  Can you step out for a moment?
       15    A.  Sure.
       16             (Juror absent)
       17             THE COURT::  Do the parties want me to pursue it with
       18    her?
       19             MR. RUHNKE:  We think she should be excused.
       20             MR. DEMBER:  We agree, your Honor.
       21             THE COURT:  All right, we will excuse 159.
       22             (Juror present)
       23    BY THE COURT:
       24    Q.  Juror 159, I will excuse you.  Please, you can go home now
       25    and all of your paperwork will be taken care of through the
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        1    mail.
        2    A.  Thank you.
        3             (Juror absent)
        4             THE CLERK:  163.
        5             (Juror present)
        6    BY THE COURT:
        7    Q.  Good afternoon, Juror 163.  It's good to see you.
        8    A.  Good afternoon.
        9    Q.  Juror 163, since you were here last has anything changed
       10    concerning your ability to serve as a juror in this case or has
       11    anything occurred to you that may affect your ability to be a
       12    fair and impartial juror in this case?
       13    A.  No, it hasn't.
       14    Q.  It now appears that the date that the final jury will be
       15    chosen in the case will be Monday, June 21st.  So after today
       16    it's unlikely you will be called or will have to call back
       17    before June 18.  Does that present any serious hardship for
       18    you?
       19    A.  No, it doesn't.
       20    Q.  Since you were here last have you spoken to anyone about
       21    the case or have you looked at or listened to anything about
       22    the case?
       23    A.  No, I haven't.
       24    Q.  Has anyone spoken to you about the case, and that includes
       25    anyone in the courthouse or any other prospective jurors?
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        1    A.  No, they haven't.
        2    Q.  And could you keep your voice up and talk into the
        3    microphone there.
        4    A.  Okay.
        5    Q.  And while you were waiting with the other prospective
        6    jurors, did you or did you hear anyone discuss the case?
        7    A.  No.
        8    Q.  Could you tell me -- and don't give me your address but
        9    just tell me what section in the Bronx you live in.
       10    A.  I think we call it University Heights.
       11    Q.  University Heights, okay.
       12             And you mentioned that your father was in the Army and
       13    was a master sergeant and he served 21 years.  Is there
       14    anything about that that would prevent you from being a fair
       15    and impartial juror in this case?
       16    A.  No.
       17    Q.  You mentioned that you served twice as a juror in civil
       18    cases in the Bronx.
       19    A.  Yes.
       20    Q.  And that is state court in the Bronx, right?
       21    A.  Yes.
       22    Q.  And can you tell me what those cases were about, what the
       23    issues were, what the claim was in those cases?
       24    A.  Well, both of them was civil cases.  One was being sued --
       25    Q.  Keep your voice up.
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        1    A.  One lady was suing the city for falling down in the park.
        2    Q.  Suing the city for what?
        3    A.  She fell in the park and broke her leg.
        4    Q.  Fell in the park, okay.
        5    A.  And the other one was about -- I can't remember to be
        6    honest.  I can't remember.  I think --
        7    Q.  It was what?
        8    A.  It was -- it has been so long.
        9    Q.  Okay.  But it was also a civil case?
       10    A.  Yes.
       11    Q.  In both of those cases don't tell me what the verdict was
       12    but did the jury reach a verdict in both of those cases?
       13    A.  Yes, they did.
       14    Q.  And you were a foreperson in one of those juries or both of
       15    them?
       16    A.  One.
       17    Q.  Which one were you the foreperson?
       18    A.  The one where the woman fell in the park.
       19    Q.  And is there anything about your jury experience and your
       20    experience with the court system and the jury process and with
       21    the participants in those cases, anything about any of that
       22    that would prevent you from being a fair and impartial juror in
       23    this case?
       24    A.  Not that I can think of.
       25    Q.  Have you ever served on a grand jury?
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        1    A.  Never.
        2    Q.  All right.
        3             If you were chosen as a juror in this case, you would
        4    be required to decide this case based solely on the evidence or
        5    lack of evidence and in accordance with my instructions on the
        6    law.  Will you do that?
        7    A.  Yes.
        8    Q.  And as you can tell from all of my questions, the
        9    fundamental issue is whether there is anything in your personal
       10    history or life experience that would prevent you from being a
       11    fair and impartial juror in this case.  So let me ask you one
       12    final time whether there is anything, whether I have asked you
       13    about it specifically or not, that would prevent you from being
       14    a fair and impartial juror in this case?
       15    A.  Not that I know of.
       16    Q.  Okay.
       17             Thank you, sir.
       18             Can you step out just for a moment?
       19             (Juror absent)
       20             MR. RUHNKE:  Just one follow-up question, your Honor,
       21    if I may.
       22             The juror stated on question number 8 on the
       23    questionnaire that he lives with relatives and friends but he
       24    doesn't list who they are or their relationship and we would
       25    like to know who they are and whether they are employed and
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        1    what they do.
        2             THE COURT:  All right.
        3             And if there is nothing that comes up in response to
        4    that I will ask the juror to come back on -- to call in on June
        5    18.
        6             No other questions, no challenges for cause at this
        7    point?
        8             Let's call the juror back.
        9             (Juror present)
       10    BY THE COURT:
       11    Q.  Juror 163, I just had some follow up.  You had indicated
       12    for us that you live with relatives or friends.  Can you tell
       13    me those people that you live with, do any of of them work and,
       14    if so, what they do?
       15    A.  Well, my aunt, she works for the Board of Education.
       16    Q.  Okay.
       17    A.  My uncle is retired.
       18    Q.  All right.  Thank you.
       19             Juror 163, I will ask you to call back in on June 18th
       20    and Mr. Fletcher will give you a sheet of paper to indicate
       21    where you should call.  Please remember my continuing
       22    instructions.  Please don't talk about this case at all or
       23    anything to do with it.  Please remember not to look at or
       24    listen to or read anything to do with the case.  If you should
       25    see something just turn away.
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        1             Remember, as I will tell the jurors finally selected,
        2    they should always remember to keep an open mind until they
        3    have heard all of the evidence, I have instructed them on the
        4    law and they have gone to the jury room to begin their
        5    deliberations.  Fairness and justice requires that they do
        6    that.  All right?
        7             Okay.
        8             (Juror absent)
        9             THE CLERK:  165 is next.
       10             THE COURT:  I should excuse 164.
       11             (Continued on next page)
       12
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       16
       17
       18
       19
       20
       21
       22
       23
       24
       25
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             45PSSAT5
        1               (Juror present)
        2    BY THE COURT:
        3    Q.  Good afternoon.
        4    A.  Good afternoon.
        5    Q.  Are you Juror 164?
        6    A.  Yes, please.
        7    Q.  Juror 164, I have gone over the information on the
        8    questionnaire, and I will excuse you as a juror, so you can go
        9    home and all the paperwork will be taken care of by mail.
       10    A.  Okay.
       11    Q.  I appreciate your participating in the process.
       12    A.  Okay.
       13    Q.  Okay?
       14    A.  Thank you.
       15               (Juror absent)
       16               (Juror present)
       17    BY THE COURT:
       18    Q.  Please, have a seat.
       19    A.  Thank you.
       20    Q.  Good afternoon, Juror 165.
       21    A.  Hello.
       22    Q.  It's nice to see you.  Since you were here last, has
       23    anything changed concerning your ability to serve as a juror in
       24    this case or has anything occurred to you that may affect your
       25    ability to be a fair and impartial juror in this case?
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        1    A.  No.
        2    Q.  It now appears that the date that the final jury will be
        3    chosen in this case will be Monday, June the 21st.  So after
        4    today, you won't have to call back until June the 18th.
        5    A.  Okay.
        6    Q.  Does that present any serious hardship for you?
        7    A.  No.
        8    Q.  Since you were here last, have you spoken in anyone about
        9    the case or have you looked at or listened to anything about
       10    the case?
       11    A.  No.
       12    Q.  Has anyone else spoken to you about the case, and that
       13    includes anyone here at the courthouse or any of the other
       14    prospective jurors?
       15    A.  No.
       16    Q.  While you were waiting with the other prospective jurors,
       17    did you or anyone you overheard discuss the case?
       18    A.  No.
       19    Q.  You mention that both your -- on the questionnaire, that
       20    both your father and your brother were in the Navy.
       21    A.  Right.
       22    Q.  And how long ago was it that they got out?
       23    A.  My father was in World War II.
       24    Q.  Okay.  Keep your voice up, maybe pull the microphone
       25    closer.
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        1    A.  Okay.
        2    Q.  Thanks.
        3    A.  My father was in the 1940's.  My brother, in probably the
        4    early to mid 90's.
        5    Q.  Okay.  Anything about that that would prevent you from
        6    being a fair and impartial juror in this case?
        7    A.  No.
        8    Q.  You mentioned that you were on one civil jury trial.  You
        9    were a juror in a civil jury trial in Putnam County.
       10    A.  Right.
       11    Q.  That's state court?
       12    A.  Yes.
       13    Q.  And --
       14    A.  County.
       15    Q.  A long time ago?
       16    A.  Objection yeah.  Over 25 years, I think.
       17    Q.  And it was a personal injury case?
       18    A.  Yes.
       19    Q.  And you -- did the case get submitted to the jury?
       20    A.  No.
       21    Q.  It was resolved during the trial or before --
       22    A.  I think -- if I recall, it was some -- I guess something
       23    that we should not have heard was brought out in court, so they
       24    had to start over again.  So we were dismissed.
       25    Q.  And is there anything about that process that would, or
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        1    your dealings with the case and the participants in that case,
        2    that would prevent you from being a fair and impartial juror in
        3    this case?
        4    A.  No.
        5    Q.  You mention that among the organizations that you belong to
        6    is the Support Connection?
        7    A.  Yes.
        8    Q.  And what's the Support Connection?
        9    A.  It's a support group for women with cancer.
       10    Q.  Okay.  And you mention that you listen to the radio during
       11    your commute and you listen to a local station.  Could you tell
       12    me what station it is that you usually listen to?
       13    A.  There's New York stations -- I can't even think of the --
       14    one of them is a Westchester station, WHUD.  One is in
       15    New York.  They're mostly music stations.
       16    Q.  Okay.  You mentioned that your sister's stepson was
       17    involved in a traffic accident and they were sued.  What
       18    happened to that lawsuit?
       19    A.  I don't even know.
       20    Q.  Okay.  Is there anything about that experience that would
       21    prevent you from being a fair and impartial juror in this case?
       22    A.  No.
       23    Q.  You indicated that your son-in-law was an officer with the
       24    department of environmental protection?
       25    A.  Right.
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        1    Q.  Is that right?
        2    A.  Right.
        3    Q.  What sort of work does he do for the DEP?
        4    A.  He's an officer.  He patrols upstate.
        5    Q.  Okay.  In connection with possible pollution or?
        6    A.  Well, I guess there's a lot of reservoirs up there, so I
        7    think that's a lot of what they're keeping an eye on is the
        8    water supply.
        9    Q.  Anything about that that would prevent you from being a
       10    fair and impartial juror in this case?
       11    A.  No.
       12    Q.  Will you follow my instruction that no witness is entitle
       13    to do any greater or lesser credibility just because of their
       14    occupation, and that includes law enforcement officers?
       15    A.  Yes.
       16    Q.  You mention that in the past, you've worked with people of
       17    Middle Eastern descent.  Do you recall what countries they came
       18    from or --
       19    A.  No.  I work in a big office.  There's a lot of people with
       20    a lot of different backgrounds.  But I haven't worked closely
       21    with anyone.
       22    Q.  Okay.  Do you have any biases or prejudices towards people
       23    of Middle Eastern descent or people of the Islamic faith?
       24    A.  No.
       25    Q.  You mention that you had -- you were not very knowledgeable
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        1    about Islam, but the knowledge you had came from media and
        2    museum visits?
        3    A.  Yeah, the art museum.  Metropolitan, you know, art museum.
        4    And really, it's very, very, very limited knowledge.
        5    Q.  Okay.  Is there anything about anything you've seen, heard
        6    or read that would prevent you from being a fair and impartial
        7    juror in this case?
        8    A.  No.
        9    Q.  You mentioned that you had acquaintances at work who were
       10    killed in 9/11?
       11    A.  Right.
       12    Q.  Can you tell me how many acquaintances?
       13    A.  Two.
       14    Q.  And how close were they to you?
       15    A.  No, they were just acquaintances.  People that I used to
       16    work with that -- at the time of the 9/11 incident I did not
       17    work with them.
       18    Q.  So they were former coworkers?
       19    A.  Right, right.
       20    Q.  Now, the -- this case does not involve 9/11, and none of
       21    the defendants in this case are charged with any offences in
       22    connection with 9/11.  9/11 is not involved in this case.
       23    A.  Uh-huh.
       24    Q.  Now, is there anything about your knowledge of these
       25    acquaintances that would prevent you from being a fair and
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        1    impartial juror in this case, listening to the evidence or lack
        2    of evidence in this case and deciding in this case, based
        3    solely on the evidence or lack of evidence and my instructions
        4    on the law?
        5    A.  No.
        6    Q.  If you were chosen as a juror in this case, you would be
        7    required to decide this case based solely on the evidence or
        8    lack of evidence and my instructions on the law.  Will you do
        9    that?
       10    A.  Yes.
       11    Q.  And as you can tell from all of my questions, the
       12    fundamental issue of whether there is anything in your personal
       13    history or life experience, whether I've asked you about it
       14    specifically or not, that would prevent you from being a fair
       15    and impartial juror in this case, so let me ask you one final
       16    time whether there is anything, whether I've asked you about it
       17    specifically or not, that would prevent you from being a fair
       18    and impartial juror in this case?
       19    A.  No.
       20    Q.  Okay.  Thank you, Juror 165.  Could you step out for a
       21    moment?
       22    A.  Sure.
       23               (Juror absent)
       24             THE COURT:  All right.  No questions and no
       25    challenges.  Call Juror 165 back in.
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        1               (Juror present)
        2    BY THE COURT:
        3    Q.  Hi.
        4    A.  Hello.
        5    Q.  Juror 165, you're still involved in the jury selection
        6    process, so I'll ask you to call back on June the 18th.
        7    Mr. Fletcher will give you a piece of paper to remind you about
        8    who to call, and I'll ask you also to continue to follow my
        9    instructions:  Please, don't talk about this case or anything
       10    to do with it.  Please don't look at or listen to or read
       11    anything to do with the case.  As I'll tell the jurors who are
       12    finally selected:  Always remember to keep an open mind until
       13    you've heard all of the evidence in the case, I've instructed
       14    you on the law, and you've gone to the jury room to begin your
       15    deliberations.  Fairness and justice to the parties requires
       16    that you do that.  All right?
       17    A.  Okay.
       18    Q.  Good to see you.
       19    A.  Thank you.
       20               (Juror absent)
       21             DEPUTY CLERK:  172.
       22             U.S. MARSHAL:  172.
       23             DEPUTY CLERK:  If 167 is there, you can bring them;
       24    otherwise, 172.
       25             U.S. MARSHAL:  Okay.
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        1             MR. DEMBER:  Are you skipping 167?
        2             DEPUTY CLERK:  Missing.
        3               (Juror present)
        4             DEPUTY CLERK:  172?
        5             JUROR:  Yes, sir.
        6    BY THE COURT:
        7    Q.  Hi.  Please have a seat.  Good afternoon, Juror 172.
        8    A.  Good afternoon, Sir.
        9    Q.  It's good to see you.  Since you were here last, has
       10    anything changed concerning your ability to serve as a juror in
       11    this case or has anything occurred to you that may affect your
       12    ability to be a fair and impartial juror in this case?
       13    A.  My health, sir.  My blood pressure is very high, and my
       14    doctor's very concerned.  I went last Wednesday for a checkup,
       15    and it's very high.  He's very concerned about it.  And he's --
       16    it depends upon how -- what it is at the end of this week as to
       17    whether I will have to change my medication, and it also
       18    requires me to go to the bathroom quite frequently.
       19    Q.  Okay.  Now, the issue of the bathroom, I -- are you taking,
       20    right now, do you take water pills?
       21    A.  I take Norvasc for the high blood pressure and Lipitor for
       22    my cholesterol.  I take it twice a day, in the mornings and in
       23    the afternoons, and right now my blood pressure is very high.
       24    Right now, today, this morning, it was 190 over 80, which is
       25    very high.
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        1    Q.  Now, we don't sit for longer than a an hour and a half or
        2    so at a time.  Maybe up to two hours.  But if any of the jurors
        3    needed a break, we can always take a rest room break.
        4    A.  I know.  The doctor's concerned about my having a stroke,
        5    because I've had this for the past couple of years, on and --
        6    it fluctuates and -- it decreases and fluctuates.  It's an
        7    ongoing thing.  I have headaches when it gets high, so I can't
        8    really concentrate too clearly.  So I wouldn't be able to
        9    really, you know, be very observant of what was going on.
       10    Q.  The doctor thinks you should not serve as a juror, I take
       11    it?
       12    A.  Yes.
       13    Q.  Okay.  Can you step out for a moment?
       14    A.  Sure.
       15               (Juror absent)
       16             THE COURT:  I'll excuse the juror.
       17             MR. DEMBER:  We agree, your Honor.
       18             MR. RUHNKE:  We agree.
       19               (Juror present)
       20    BY THE COURT:
       21    Q.  All right.  Juror 172, I'll excuse you as a juror.  All of
       22    your paperwork will be taken care of in the mail, and you can
       23    go home now.
       24    A.  Thank you, Sir.
       25               (Juror absent)
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        1             DEPUTY CLERK:  173.
        2               (Juror present)
        3    BY THE COURT:
        4    Q.  Hi.
        5    A.  Hi.
        6    Q.  Good afternoon Juror 173.  It's good to see you.
        7    A.  It's nice to see you.
        8    Q.  You indicated on your form that, on the questionnaire, that
        9    serving on the jury would not be a serious hardship for you; is
       10    that correct?
       11    A.  Yes.
       12    Q.  You had also indicated that you didn't know if your salary
       13    would be paid?
       14    A.  Yes.  I think it won't be.
       15    Q.  I'm sorry?
       16    A.  For certainty, I don't believe it will be.
       17    Q.  But even though your salary won't be paid, that would not
       18    be a serious economic hardship for you?
       19    A.  Well, I did go back and think about that some more, and I
       20    think it will be a serious hardship.  Because it would only be
       21    $40 a day.
       22    Q.  $40 a day, and then after some period of time, it goes up
       23    to $50 a day.  And could you pull the microphone towards you?
       24    A.  Sure.
       25    Q.  You indicated that you work for a --
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        1    A.  Accounting firm.
        2    Q.  For an accounting firm?
        3    A.  Yes.
        4    Q.  Are you sure that they don't pay for jury service?
        5    A.  Yes.
        6    Q.  You've checked with them?
        7    A.  Yes.
        8    Q.  So would the loss of that income for you be a serious
        9    economic hardship?  When you had filled out the questionnaire,
       10    you didn't think so.
       11    A.  Yeah, I didn't think it through like I should have.  But I
       12    think, after going back and thinking about it some more, I
       13    think it will present a serious hard ship for me.
       14    Q.  All right.  Can you step out?
       15    A.  Yes.
       16               (Juror absent)
       17             THE COURT:  I'm prepared to make further inquiries or
       18    to excuse the juror at this point.
       19             MR. RUHNKE:  We don't think any further inquiry is
       20    required.
       21             MR. DEMBER:  Neither do we, your Honor.
       22             THE COURT:  Okay.  I'll excuse Juror 173.
       23               (Juror present)
       24    BY THE COURT:
       25    Q.  Juror 173, I will excuse you.
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        1    A.  Okay.
        2    Q.  Your paperwork will be taken care of through the mail.  And
        3    you can go home now.
        4    A.  Okay, thank you.
        5    Q.  All right.
        6               (Juror absent)
        7             THE COURT:  Juror 176.
        8             DEPUTY CLERK:  176.
        9               (Juror present)
       10    BY THE COURT:
       11    Q.  Hi, Juror 176.  It's good to see you.  Let me ask you some
       12    preliminary questions.  Since you were here last, has anything
       13    changed concerning your ability to serve as a juror in this
       14    case or has anything occurred to you that may affect your
       15    ability to be a fair and impartial juror in this case?
       16    A.  No.
       17    Q.  It now appears that the date that the jury will be chosen
       18    in this case will be Monday, June the 21st.  So you won't have
       19    to call back or do anything in the case until June the 18th.
       20    Does that present any serious hardship for you?
       21    A.  Oh, yes.
       22    Q.  What's that?
       23    A.  I didn't hear that good.
       24    Q.  Maybe I wasn't clear.  The jury in this case will only be
       25    chosen now on June the 21st.
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        1    A.  Uh-huh.
        2    Q.  And so you won't have to call in or do anything in
        3    connection with the case until June the 18th.  If you continue
        4    in this case, you'll have to call back on June the 18th.
        5    A.  Yes, I understood that.
        6    Q.  All right.  Now, does that present any hardship for you?
        7    A.  No, Sir.
        8    Q.  Okay.  Since you were here last, have you spoken to anyone
        9    about the case or have you looked at or listened to anything
       10    about the case?
       11    A.  No, Sir.
       12    Q.  Has anyone spoken to you about the case?
       13    A.  No, I haven't talked to anyone about it.  I live alone.
       14    Q.  I'm sorry?
       15    A.  I live alone in my house.
       16    Q.  Oh, okay.  And when -- while you were waiting with the
       17    other prospective jurors, did you talk to anyone and did anyone
       18    talk to you or did you overhear anyone talking about the case?
       19    A.  No, Sir.
       20    Q.  Okay.  You are 70 years old and I appreciate your
       21    participation in the jury process.  And I appreciate your being
       22    a responsible citizen.  I want to make sure that you understand
       23    that if you wished to be excused or deferred based on your age,
       24    you could be if you wanted to be.  Do you wish to be excused or
       25    deferred or do you want to continue with the case?
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        1    A.  I wish I could continue.
        2    Q.  Certainly.
        3    A.  Yes.
        4    Q.  Absolutely.  That's completely up to you.  You've told me
        5    that you live by yourself, right?
        6    A.  Yes, sir.
        7    Q.  What type of work did you do before you retired?
        8    A.  I was truck driver.
        9    Q.  I'm sorry?
       10    A.  A truck driver.
       11    Q.  Oh, truck driver.  Okay.  You also mentioned that -- was it
       12    you who served in the Army?  Or was it someone --
       13    A.  Yes, sir, in Korea.
       14    Q.  You served?
       15    A.  Yes.
       16    Q.  And is there anything about that experience that would
       17    prevent you from being a fair and impartial juror in this case?
       18    A.  No, I don't have anything.
       19    Q.  You answered all of the questions on the questionnaire, but
       20    there was one question that was stuck in that you overlooked.
       21    So let me ask it:  Do you know just from looking at the other
       22    prospective jurors, was there anyone whom you recognized that
       23    you knew among all of the jurors here?
       24    A.  No, I didn't know any one of them.  Not before.
       25    Q.  If you were chosen as a juror in this case, you would be
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        1    required to decide this case based solidly on the evidence or
        2    lack of evidence and in accordance with my instructions on the
        3    law.
        4    A.  Yes.
        5    Q.  Will you do that?
        6    A.  Oh, yes.
        7    Q.  As you can tell from all of my questions, the fundamental
        8    issue is whether there is anything in your personal history or
        9    life experience that would prevent you from being a fair and
       10    impartial juror in this case.  So let me ask you one final time
       11    whether there is anything, whether I have asked you about it
       12    specifically or not, that would prevent you from being a fair
       13    and impartial juror in this case?
       14    A.  No.
       15    Q.  Okay.  Thank you, sir.  Could you step out just for a
       16    moment?
       17    A.  Thank you.
       18               (Juror absent)
       19             THE COURT:  No further questions, and no challenges?
       20             MR. TIGAR:  Excuse me, your Honor.  He did say he
       21    lives alone in his house, but on Question 8 he says he lives
       22    with relatives and friends.
       23             THE COURT:  Okay.  I'll ask him.  Thank you.
       24             MR. TIGAR:  Could you also ask him, your Honor, does
       25    he have a hearing problem?
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        1             THE COURT:  We seemed to have -- I'll ask him, but we
        2    seemed to have been communicating fine.
        3               (Juror present)
        4    BY THE COURT:
        5    Q.  Hi.  I just had some follow-up questions.  On the -- in
        6    response to one of the questions on the questionnaire, you
        7    indicated that you lived with relatives or friends.  Could you
        8    just explain to me, do you live with relatives or friends or do
        9    you live alone, or how --
       10    A.  No, no, I live alone.  But I have friends.  I have friends,
       11    and my sons, my daughter.  But I live alone in my house, in my
       12    apartment.
       13    Q.  Okay.  You have -- do you have any children?
       14    A.  Children?  I have three.  But they all are married and they
       15    have their own.
       16    Q.  Okay.  Tell me the house that -- do you live in an
       17    apartment?
       18    A.  Yes, I have an apartment for the senior citizen.  A
       19    government.
       20    Q.  Okay.  And is that -- do you live with other senior
       21    citizens?
       22    A.  Yes, at the house.
       23    Q.  And you have your own apartment there?
       24    A.  Yes, sir.
       25    Q.  So you don't live with anyone else in your particular
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        1    apartment?
        2    A.  No.  I just visit my family.
        3    Q.  Okay.  Now, you mention that you have children.  But
        4    they're all married and they don't live with you?
        5    A.  Yes, Sir.
        6    Q.  Okay.  And can you tell me what those children do?  Do they
        7    work, your children?
        8    A.  Oh, yes.
        9    Q.  And what do they do?
       10    A.  My older one work at the -- computer, technical computer.
       11    My second one, with the government, how you say it -- he's a
       12    toll collector.
       13    Q.  Okay.
       14    A.  And my daughter, she's living in Long Island.  She's
       15    working, also, there.  But I don't know what kind of job she
       16    have now.
       17    Q.  You don't know what she does?
       18    A.  No.
       19    Q.  How long has it been since you were retired?
       20    A.  How long?  Since 1976.
       21    Q.  Is there have you ever served on a jury before?
       22    A.  No.  I have been called a few times, but have never served
       23    as a juror.
       24    Q.  Okay.  Have you carefully listened to all of my questions?
       25    A.  Yes, sir.
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        1    Q.  Did you have any trouble hearing any of my questions?
        2    A.  No.
        3    Q.  Do you have any hearing difficulty at all?
        4    A.  Hearing?  No, Sir.
        5    Q.  Okay.  When I described this case for you in the other
        6    courtroom, had you ever heard about this case at all?
        7    A.  No, Sir.
        8    Q.  Have you heard about any of the parties or lawyers in this
        9    case?
       10    A.  No, Sir.
       11    Q.  If you were chosen as a juror in this case, would you
       12    decide this case based solely on the evidence or lack of
       13    evidence in this case and my instructions on the law?
       14    A.  Yes, sir.
       15    Q.  Okay.  Can you step out just for a moment?
       16               (Juror absent)
       17             MR. TIGAR:  Your Honor, there are a number of gaps in
       18    the juror's presentation that give us pause about whether he
       19    understood the questionnaire.  He says he was retired in -- and
       20    that would make him at the age of 42, based on what he said.
       21    He did not list his children, and --
       22             THE COURT:  That's why I went over it with him.
       23             MR. TIGAR:  But the questionnaire clearly called for
       24    him to list the children.  He says he lives alone in a house,
       25    but it is apparently a senior citizen type compound.  It's hard
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        1    to know exactly what that situation is.  In short, there are
        2    these communication gaps that give us pause with respect to his
        3    ability to fully deal with the evidence in a long and complex
        4    trial.
        5             THE COURT:  Government?
        6             MR. DEMBER:  Your Honor, just from your questions here
        7    today and from looking at the questionnaire where he does
        8    answer practically all the questions and gives responsive
        9    answers to those questions, it appears as if he understands
       10    English more than sufficiently to be a juror in this case.
       11             THE COURT:  Yes.  All right.
       12             MR. DEMBER:  I don't think a cause challenge really is
       13    appropriate here.
       14             THE COURT:  Okay.  There's no challenge for cause
       15    here.  It is a -- he explained to me the fact that he lives in
       16    a senior citizen home and has his own residence there.  So he
       17    lives alone, which is why he explained it that way.  He is a
       18    person who answered lots of the individual questions with very
       19    specific answers.  But it's also clear that he has no knowledge
       20    of the facts of this case, no knowledge of any of the parties,
       21    and that he will decide this case based solely upon the
       22    evidence or lack of evidence and my instructions on the law.
       23             He's also clearly someone who's impartial and will be
       24    impartial.  And he understood everything that I said when he
       25    didn't understand something because it was probably my fault,
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        1    he asked for an explanation, and I provided it to him.
        2             So, the -- it is not a challenge for cause, and I will
        3    have the juror call back on June the 18th.
        4               (Juror present)
        5    BY THE COURT:
        6    Q.  Juror 176, you are still in the jury selection process.  So
        7    please call back on June the 18th, and Mr. Fletcher will give
        8    you a slip of paper with the instructions about how to call
        9    back on June the 18th.
       10    A.  Okay, Sir.
       11    Q.  And it's very important that you continue to follow my
       12    instructions.
       13    A.  Right.
       14    Q.  Please, don't talk about this case at all or anything to do
       15    with it.  Remember to keep an open mind until you've heard all
       16    of the evidence, I've instructed you on the law and you've gone
       17    to the jury room to begin your deliberations.  Remember not to
       18    look at or listen to anything to do with the case.
       19    A.  Right, yes.
       20    Q.  Good to see you.
       21    A.  All right.  Thank you.
       22    Q.  And you may go home.
       23               (Juror absent)
       24             DEPUTY CLERK:  180.
       25             MR. TIGAR:  Your Honor, before the juror comes in, are
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        1    the juror questionnaires being saved as exhibits for the
        2    qualified jurors?
        3             THE COURT:  Oh yes.
        4             MR. TIGAR:  It's not necessary for me to preserve my
        5    record on the cause challenge to ask that the questionnaire be
        6    marked for the record?  They were all preserved for the record?
        7             THE COURT:  I'm saving all the questionnaires.
        8             MR. TIGAR:  Thank you.
        9               (Juror present)
       10    BY THE COURT:
       11    Q.  Please, have a seat.  Good afternoon, Juror 180.
       12    A.  Good afternoon.
       13    Q.  It's good to see you.  Since you were here last, has
       14    anything changed concerning your ability to serve as a juror in
       15    this case or has anything occurred to you that may affect your
       16    ability to be a fair and impartial juror in this case?
       17    A.  No.
       18    Q.  It now appears that the final jury will be chosen in this
       19    case on Monday, June 21st.  So after today, it's unlikely that
       20    you'll be called back before June the 18th.  Does that present
       21    any serious hardship for you?
       22    A.  No.
       23    Q.  Since you were here last, have you spoken to anyone about
       24    this case or have you looked at or listened to anything about
       25    the case?
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        1    A.  No.
        2    Q.  Has anyone spoken to you about the case, and that includes
        3    any conversations here at the courthouse or with any other
        4    prospective jurors?
        5    A.  No.
        6    Q.  While you were waiting with the other prospective jurors,
        7    did you or anyone you overheard discuss the case?
        8    A.  No.
        9    Q.  You mentioned that you had a serious hardship?
       10    A.  Well, I had to file for bankruptcy, so....
       11    Q.  Could you talk into the microphone?
       12    A.  I had to file for bankruptcy, because my husband doesn't
       13    work consistently.
       14    Q.  I'm sorry, your --
       15    A.  My husband doesn't work consistently and we've fallen on
       16    some difficulties with our mortgage.
       17    Q.  Okay.  Well, the question would be whether you -- whether
       18    serving on this jury would interfere with either of your jobs
       19    in the sense of, you know, your income.
       20    A.  Well, it probably would, only because I really -- I don't
       21    know the plan that my primary job would have in the case of me
       22    serving as a --
       23    Q.  Could you keep your voice up?
       24    A.  I'm sorry.  My primary job, I'm not sure how long they
       25    would pay.  I do know that they pay for my jury duty at the
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        1    present time.  But I'm not sure how that would play out if it
        2    was a long-term case.  And the second job, it's part-time, and
        3    they basically, I guess, have the right to not pay me.  But
        4    they haven't really told me, so....
        5    Q.  You indicated that on your questionnaire, if you could
        6    serve without losing your second job, you would be honored to
        7    serve.
        8    A.  That's correct.
        9    Q.  And you thought that your first job did pay for jury
       10    service?
       11    A.  That's correct.  I thought that they did pay, because if I
       12    were like on a local jury -- you know, like in my town and I
       13    was out for a week or two weeks, they probably would pay.  I
       14    don't know if there's a precedent for a longer case.  So I
       15    really don't know if it would be paid for four months or for
       16    six months.
       17    Q.  Okay.
       18    A.  Because they do have in our personnel policy that -- you
       19    know, for people in military service and for jury duty, so
       20    there are provisions there.  I'm not really well versed in the
       21    whole policy about it.
       22    Q.  That's your first job?
       23    A.  That's my primary job, yes.
       24    Q.  Now, how about your second job?
       25    A.  I believe they have said to me that they wouldn't pay me.
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        1    Q.  Okay.  Now, your second job was part-time?
        2    A.  Yes.
        3    Q.  We don't sit on Fridays and we don't sit after about 4:30;
        4    we don't sit weekends.  Is there -- what is it that you do in
        5    your part-time job?
        6    A.  I work as a receptionist at a physical therapy center, and
        7    my hours are typically from 5:00 to 8:00.
        8    Q.  Okay.  Would the loss -- your second job wouldn't pay you?
        9    A.  That's correct.
       10    Q.  And would the loss of the income from the second job be a
       11    serious economic hardship for you?
       12    A.  I'm not sure if I would use the word "serious", because
       13    I've been there for five years, and in my personal life, at the
       14    present time, I'm trying to think about not having to have that
       15    second job.  And basically trying to live more within our means
       16    and maybe make better use of my day time.  So if that had to
       17    be, I still -- the honor would be to do my civic duty.
       18    Q.  Okay.  So really the issue of hardship for you comes down
       19    to the first job and whether they pay you?
       20    A.  Correct.
       21    Q.  All right.  Let me ask you the -- some other questions.
       22    Without telling me where you work, could you just explain to me
       23    what you do in your primary job, the day job?
       24    A.  I'm an administrator in a daycare center, the center
       25    director.  I supervise staff.
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        1    Q.  Okay.  And the part-time job you have is as a receptionist?
        2    A.  Correct.
        3    Q.  You mention that you have step-children who are in the
        4    military?
        5    A.  That's correct.
        6    Q.  And are they currently in the military?
        7    A.  One is currently in the Navy; and the other is in the ROTC
        8    program at her college, for air force.
        9    Q.  Okay.  Is there anything about -- and you also mention that
       10    your stepson was in the Persian Gulf War in 2003?
       11    A.  Correct.
       12               (Continued on next page)
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       18
       19
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       21
       22
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       24
       25
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        1    Q.  And is he home now?
        2    A.  Yes, he is.
        3    Q.  And that you have had family and friends, you have your
        4    stepson and you also have friends who were in Iraq and Kuwait?
        5    A.  Correct.
        6    Q.  Are they still there or home?
        7    A.  No, they are presently home.
        8    Q.  Okay.
        9             And you also have a friend who is going to Iraq.
       10    A.  That is correct.
       11    Q.  Next month in June?
       12    A.  Yes.
       13    Q.  And how close a friend is that?
       14    A.  Since my husband is in the entertainment industry, he does
       15    music work and the friends that we have are the young men in
       16    the band and one of these young men is actually returning to
       17    Iraq.  He is being redeployed.
       18    Q.  Okay.
       19             Is there anything about your knowledge of any of those
       20    people, your relationships with any of those people that would
       21    prevent you from being a fair and impartial juror in this case?
       22    A.  No.
       23    Q.  You mentioned that your husband has been involved with
       24    legal disputes with his sister and brother-in-law?
       25    A.  That is correct.
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        1    Q.  And that he sued them and was sued.  What happened to that
        2    litigation?
        3    A.  Well, the first litigation he lost and we had to leave the
        4    family home and they gave us a small monetary settlement to
        5    relocate.  It stemmed basically from the father's will-
        6    Q.  Keep your voice up.
        7    A.  I am sorry.  That litigation stemmed from the father's will
        8    which he didn't contest and the father had promised him the
        9    property and they said that it wasn't written down, so he lost
       10    that.
       11             The present one that he is involved in is about the
       12    will of his mother and that she signed over everything to the
       13    sister and brother-in-law and did-while she made provision in
       14    her will that the estate be split between the sister and the
       15    brother, there doesn't seem to be much to split.  So he is
       16    contesting how they apportioned out the estate.
       17    Q.  And that litigation is ongoing?
       18    A.  Correct.
       19    Q.  Is there anything about your experiences with the
       20    litigation process, with the lawsuits and the various
       21    participants in those lawsuits that would prevent you from
       22    being a fair and impartial juror in this case?
       23    A.  No.
       24    Q.  You mentioned that either you or someone close to you has
       25    been a member of an organization that takes positions on gun
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        1    control, such as the National Rifle Association.
        2    A.  My husband had applied once for membership and that was a
        3    long time ago.
        4    Q.  I am sorry, your husband what?
        5    A.  My husband had, you know, signed for one year for
        6    membership to get the NRA and he never followed through on it
        7    after that.
        8    Q.  How long ago was that?
        9    A.  Ten, 15 years.
       10    Q.  Okay, thank you.
       11             Anything about that would prevent you from being a
       12    fair and impartial juror in this case?
       13    A.  No.
       14    Q.  You mentioned that your husband had a bad experience with a
       15    lawyer.  Could you describe that for me?
       16    A.  Yes, that went with the first litigation with his family.
       17    A lawyer he had hired he found out was basically friendly with
       18    his sister and brother-in-law and so he let him go and hired
       19    another lawyer.
       20    Q.  Okay.
       21             Is there anything about that experience that would
       22    prevent you from being a fair and impartial juror in this case?
       23    A.  No.
       24    Q.  Would you hold that experience against any of the lawyers
       25    in this case or any of the parties in this case?
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        1    A.  No.
        2    Q.  You had said that you were against extremist views held by
        3    radicals who advocate violence against innocents.  Can you
        4    explain to me what you meant by that?
        5    A.  Well, that would be anyone who basically has such a belief
        6    that they are the only correct and righteous judgment that they
        7    have the power to judge others and execute judgment upon them.
        8    That is what I mean, and there are many groups that that would
        9    cover.
       10    Q.  Okay.
       11             Now, if you were chosen as a juror in this case, you
       12    would have to listen to the evidence in this case, and you
       13    would have to ask whether the charges in this case were proven
       14    beyond a reasonable doubt.  You would have to put aside
       15    anything you had seen, heard or read.  You would have to put
       16    aside any personal views that you had and look at the case
       17    solely on the issue of whether the charges in the indictment
       18    have been proved beyond a reasonable doubt at trial based on
       19    the evidence or lack of evidence, and my instructions on the
       20    law.
       21             If you were chosen as a juror in this case, would you
       22    do that?
       23    A.  I believe I could do that.
       24    Q.  You say you believe you would do that or could do that.
       25    Would you do that?
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        1    A.  Yes, I would do that.
        2    Q.  Do you have any question about whether you could do that?
        3    A.  I am not sure what you mean by question.
        4    Q.  Well, do you have any doubt in your mind that you would be
        5    a fair and impartial juror in this case?
        6    A.  I would have to say that based on evidence or facts
        7    presented to me I would have to make a fair decision.  Often in
        8    my work in child care I have to listen to both sides of the
        9    story and basically come to some sort of understanding of what
       10    has happened.  So I try to look at the individuals on both
       11    sides.  This would be a little bit more serious in terms of
       12    probably physical evidence, things of that nature, but I do
       13    believe that I could do that.
       14    Q.  Based upon -- have you heard anything, read anything about
       15    the parties in this case?
       16    A.  I am unfamiliar with them.  I don't know them at all.
       17    Q.  The defendants in the case are Ahmed Sattar, Lynne Stewart
       18    and Mohammed Yousry.  Okay?  Have you ever heard of or do you
       19    know or have you ever had any contact with them?
       20    A.  No.
       21    Q.  Have you ever heard of Sheikh Abdel Rahman?
       22    A.  Yes, I have heard of him in the news.
       23    Q.  Okay.  Can you recall what it is that you heard about him?
       24    A.  I think that was the 1993 World Trade Center, that is all I
       25    can remember, that he is blind.  That is about all I remember
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        1    of that case.
        2    Q.  All right.
        3             In response to the one question on the questionnaire
        4    when I asked whether you had heard of any of the defendants,
        5    you said yes, just cursory news items, no more than that.
        6    A.  Right.  That is basically how I remember them.
        7    Q.  Can you tell me what cursory news items you recall about
        8    the defendants?
        9    A.  I mean, you know, I watch the news pretty much every day
       10    now and so I probably have heard it on CNN or NBC or Fox News.
       11    Q.  Okay.
       12             What is it that you recall hearing, if anything?
       13    A.  Quite honestly, I can't remember other than what I just
       14    said to you about the sheikh being blind and that it was the
       15    1993 World Trade Center.  I really truly can't remember what it
       16    was.
       17    Q.  Okay.
       18             You had mentioned that you had -- you were asked
       19    whether you knew anyone who had been injured or killed in an
       20    act of terrorism, and you said you knew someone who was injured
       21    slightly in the World Trade Center?
       22    A.  Yes.
       23    Q.  On 9/11.  How close was that person to you?
       24    A.  One of my co-workers, it's her husband, and he worked in
       25    one of the buildings nearby.  And in terms of injury it would
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        1    be mostly the emotional affects that he has been suffering.
        2    Q.  I am sorry --
        3    A.  In terms of injury I don't believe he suffered physical
        4    injury, although he was covered with the concrete dust when he
        5    walked out of Manhattan.  But he still suffers emotionally from
        6    it.
        7    Q.  Okay.
        8             This case has nothing to do with 9/11.  The defendants
        9    are not charged with having done anything in connection with
       10    9/11.  The case simply doesn't involve 9/11.
       11             Is there anything about your relationship with the
       12    other person or your reaction to 9/11 that would prevent you
       13    from being a fair and impartial juror in this case?
       14    A.  No, I don't believe so.  No.
       15    Q.  The jurors who sit in this case will be instructed that
       16    they must base their decisions entirely on the evidence
       17    produced in court and not from any outside source or
       18    pre-existing opinion or attitudes.  Can you do that despite
       19    anything you may have read, seen or heard about anything to do
       20    with this case?
       21    A.  Yes.
       22    Q.  Can you do it despite anything you may have heard, read or
       23    seen?
       24    A.  Yes.
       25    Q.  If you were chosen as a juror in this case, would you be
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        1    fair and impartial?
        2    A.  Yes.
        3    Q.  If you were chosen as a juror in this case, you would be
        4    required to decide the case based solely on the evidence or
        5    lack of evidence and in accordance with my instructions on the
        6    law.  Will you do that?
        7    A.  Yes, I would.
        8    Q.  And as you can tell from all of my questions, the
        9    fundamental issue is whether there is anything in your personal
       10    history or life experience that would prevent you from acting
       11    as a fair and impartial juror in this case.  So let me ask you
       12    one final time whether there is anything, whether I have asked
       13    you about it specifically or not, that would prevent you from
       14    being a fair and impartial juror in this case?
       15    A.  No.
       16    Q.  All right.
       17             Could you step out for a moment?
       18             (Juror absent)
       19             MR. TIGAR:  One of the questions for follow-up, your
       20    Honor.  The juror said that she is accustomed to resolving
       21    disputes in her work in the child care center and listening to
       22    both sides and weighing the evidence.  Would your Honor please
       23    just make sure that she understands that we don't really have a
       24    side?
       25             THE COURT:  Yes, sure, yes.
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        1             MR. TIGAR:  Thank you.
        2             Anyone else?
        3             What I intend to do is if this question doesn't
        4    indicate any challenge for cause, is that I intend to tell the
        5    juror that she has expressed some concern about her economic
        6    situation.  She works for a large organization and she should
        7    check with the organization whether they will pay her and that
        8    she should tell Mr. Grate, write a note to Mr. Grate as to
        9    whether she will be paid and whether this presents a serious
       10    economic hardship for her.  And if it does, if she is not going
       11    to be paid for her primary job, and that would be a serious
       12    economic hardship, then I will show whatever she writes to the
       13    parties but I would think that a serious economic hardship, but
       14    we will have to wait to see what she says.
       15             The parties agree?
       16             MR. DEMBER:  Yes, your Honor.
       17             MR. TIGAR:  Yes, your Honor.
       18             THE COURT:  Okay.  All right.
       19             (Juror present)
       20    BY THE COURT:
       21    Q.  Hi.
       22             Juror 180, let me follow up on one subject.  You have
       23    indicated that you are used to resolving disputes and that you
       24    listen to both sides.  Let me make sure that you understand
       25    what the rules of law are that apply in this case.
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        1             This is a criminal case and obviously, as you said, it
        2    is much more serious than the disputes that you resolve in your
        3    work.  Plainly it is important, if you were chosen as a juror
        4    in this case, to follow the law as it applies in this case.
        5    Among the rules of law are all of the defendants are presumed
        6    to be innocent.  That is a presumption that continues that they
        7    have now and that continues with them through the trial and
        8    into deliberations.
        9             The defendants don't have to prove or show anything.
       10    It is the government that is required to prove the charges in
       11    the indictment beyond a reasonable doubt.  It is perfectly
       12    sufficient for the defendants to stand on the presumption of
       13    innocence and to say as a matter of law that if the government
       14    hasn't proven the charges in the indictment beyond a reasonable
       15    doubt based upon the evidence or lack of evidence, then the
       16    jury must return a verdict of not guilty.
       17             The defendants don't have to do or say anything.
       18             Do you understand that?
       19    A.  I do understand that.
       20    Q.  And will you follow those rules of law?
       21    A.  Yes, I will.
       22    Q.  All right.
       23             Now, you left me with one issue with respect to the
       24    issue of your possible economic hardship.  What I am going to
       25    do is to say please check with your employer.  It's a large
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        1    employer.  They recognize jury service and, as I explained to
        2    you, they plainly can't penalize you for being on jury service.
        3    It's important to find out what their policy is with respect to
        4    paying people while they are on jury service.  And I understand
        5    from you that if they do pay you, then it's not economic
        6    hardship and you would then be able to continue in the jury
        7    selection process.
        8    A.  Yes.
        9    Q.  So I am going to give you or have Mr. Fletcher give you a
       10    slip to indicate that you should call back on June 18th for the
       11    continuing jury selection process.  But meanwhile what I want
       12    you to do is to check with your employer, don't tell your
       13    employer what case you are involved in at all, just say that
       14    you are in a case for which you have been asked to be a juror
       15    and it's a long trial that may last 4 to 6 months, what is the
       16    policy with respect to paying employees?  Then write a note to
       17    Mr. Grate explaining what your situation is.
       18             If there is no economic hardship, you will follow up
       19    and call back in on June 18th.  But Mr. Grate will get back to
       20    you.  But follow up on this quickly and remember to follow my
       21    continuing instructions.  Please don't talk about this case at
       22    all or anything to do with it, don't look at or listen to or
       23    read anything to do with the case.  Remember to keep an open
       24    mind until you have heard all of the evidence, I have
       25    instructed you on the law, and you have gone to the jury room
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        1    to begin your deliberations if you are eventually chosen to be
        2    a juror, all right?
        3    A.  Thank you very much.
        4    Q.  Okay.
        5             (Juror absent)
        6             THE CLERK:  182.
        7             (Juror present)
        8    BY THE COURT:
        9    Q.  Good afternoon, Juror 182.  It's nice to see you.
       10             Let me ask you some preliminary questions.  Since you
       11    were here last has anything changed concerning your ability to
       12    serve as a juror in this case or has anything occurred to you
       13    that may affect your ability to be a fair and impartial juror
       14    in this case?
       15    A.  I did read something inadvertently in the paper.
       16    Q.  Okay.
       17    A.  I don't know if that has any bearing on anything.
       18    Q.  Well, I very much appreciate your bringing it to my
       19    attention.  Tell me what you inadvertently saw in the paper.
       20    A.  In our local paper --
       21    Q.  Keep your voice up.  Your local paper --
       22    A.  Our local paper, there was a letter to the editor and as I
       23    was reading the letter in one of the paragraphs there was a
       24    reference to someone who was going to be put on trial for
       25    helping someone who was in jail and then after I read it and I
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        1    thought about it I realized that it might be one of the
        2    potential defendants.
        3    Q.  Okay.
        4             What is your local newspaper?
        5    A.  The Journal News.
        6    Q.  Okay.
        7             And do you recall anything else about the letter?
        8    A.  Well, the letter was in reference to the Republican
        9    Convention that will be held in New York City later on and he
       10    was talking about whether it was a good idea to do it because
       11    of possible terrorist acts.
       12    Q.  I am sorry?
       13    A.  I am sorry, he was saying that it might not be a good idea
       14    to hold it because of possible terrorist acts and as the
       15    paragraphs went down it led to this reference to a possible
       16    defendant.
       17    Q.  Okay.
       18             You said you inadvertently saw this.  It wasn't a
       19    letter that was about this case?
       20    A.  The letter I think was actually about the Republican
       21    Convention that was to be held but as you went on in the letter
       22    it made reference to this possible defendant.
       23    Q.  Did you see anything in the letter that different from
       24    anything that I explained to you about what the charges in this
       25    case were?
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        1    A.  No.
        2    Q.  As I told you before, it's possible that there could be
        3    publicity about the case and what you have to do, if there is
        4    any publicity, and you don't necessarily know where it's coming
        5    from, if you do see something you just turn away.
        6    A.  Okay.
        7    Q.  And is there anything that has so affected you from what
        8    you saw in the letter that it would prevent you from being a
        9    fair and impartial juror in deciding this case solely on the
       10    evidence or lack of evidence and my instructions on the law?
       11    A.  I don't think so.
       12    Q.  Do you have any question about that?
       13    A.  Me?
       14    Q.  Yes.  You say you don't think so.  People express
       15    themselves in different ways.
       16    A.  I mean, like I said, I read it and it wasn't until after I
       17    read it that it kind of hit a chord that it might be part of
       18    this trial and then I just didn't really think about it
       19    anymore.
       20    Q.  And really I very much appreciate your thoughtfulness and
       21    conscientiousness in bringing it to my attention.  So what I am
       22    asking is one of the things that I give in my instructions and
       23    that was even part of the questionnaire was if you see or hear
       24    something in connection with the case, and there has been some
       25    publicity prior to the case, you have to put aside any of that
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        1    and decide the case based solely upon the evidence or lack of
        2    evidence and my instructions on the law.
        3             And will you do that?
        4    A.  Yes.
        5    Q.  Is there anything that was in that letter that you had seen
        6    that would prevent you from doing that?
        7    A.  No.
        8    Q.  All right.
        9             It now appears that the date that the final jury will
       10    be chosen will be Monday, June 21st.  So after today it's
       11    unlikely that you will be called to come back before June 18th.
       12             Does that present any serious hardship for you?
       13    A.  No.  That should be okay.
       14    Q.  Since you were here last have you spoken to anyone about
       15    the case or other than what you have already told me, have you
       16    looked at or listened to anything about the case?
       17    A.  No.
       18    Q.  Has anyone spoken to you about the case, and that includes
       19    any conversations here at the courthouse or with any other
       20    prospective jurors?
       21    A.  People ask me, you know, like what case I am on but I tell
       22    them I can't talk about it but, no, nobody has approached me or
       23    anything.
       24    Q.  Okay.  Thank you.
       25             And you do exactly the right thing.  All you have to
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        1    do is to say the judge has told us we can't talk about it.
        2    That is the simple answer.
        3             While you were waiting with the other prospective
        4    jurors, did you or anyone you overheard discuss the case?
        5    A.  No.
        6    Q.  You indicated that your husband was in the Army?
        7    A.  Yes, reserves.
        8    Q.  Is he still in the Army?
        9    A.  No.
       10    Q.  How long since he has been in the Army?
       11    A.  I forget, in the '70s, so it has been quite a while.
       12    Q.  Okay.
       13             Anything about that that would prevent you from being
       14    a fair and impartial juror in this case?
       15    A.  No.
       16    Q.  You mentioned that some of your friend's children are
       17    serving in Iraq now?
       18    A.  Yes.
       19    Q.  Okay.
       20             Anything about that that would prevent you from being
       21    a fair and impartial juror in this case?
       22    A.  Well, I mean I feel bad that they are there and I am
       23    sensitive to how they feel.  I hope it wouldn't influence my
       24    serving.  I don't know.  I don't know what to say.
       25    Q.  Okay.
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        1             You say you hope it wouldn't.
        2             Is there anything about that that leads you to think
        3    that it might influence you in the way in which you view the
        4    case or the evidence in the case or the allegations in the case
        5    or anything like that?
        6    A.  I hope it wouldn't, but I couldn't say for sure.  I don't
        7    know how I would feel once I heard all the evidence and stuff.
        8    I don't know.
        9    Q.  If you were chosen as a juror in the case, you would have
       10    to listen carefully to the evidence or lack of evidence.  You
       11    would have to ask yourself whether the charges in the
       12    indictment were proved beyond a reasonable doubt.
       13             Would your concerns over friend's children in Iraq
       14    influence you as you think about the charges in the case or the
       15    evidence as I have explained it -- well, as I have explained
       16    the charges to you?
       17    A.  I guess truthfully I would have to say it might.
       18    Q.  Okay.  That is all that I am looking for in all of these
       19    questions.  It's very important to think about how you think
       20    and what the allegations are and everything that I have told
       21    you about the case.  So you are absolutely right to tell me
       22    exactly what is on your mind.
       23             Can you step out please?
       24    A.  Sure.
       25             (Juror absent)
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        1             MR. DEMBER:  Your Honor, I would ask you to do what
        2    you have done in situations where jurors have indicated that
        3    they have lost people on September 11 of 2001, which is to tell
        4    them that this case has nothing to do with what happened on
        5    that particular day.  Well, this case certainly has nothing to
        6    do with what is going on in Iraq now or what has been going on
        7    in Iraq.  It's quite different and distinct.  You haven't done
        8    that with this juror.
        9             THE COURT:  There was a reason for that.  But I will
       10    ask some more questions, but then I also have to say I think in
       11    fairness that in describing the charges there will certainly be
       12    allegations of terrorism and the answers to these questions are
       13    leading to only one conclusion, but I am happy to take the time
       14    and further pursue them at this point.
       15             I listen carefully and I follow up, which is why, as I
       16    have explained repeatedly, there comes a point when the answers
       17    to the questions are clear to me as to where they are going
       18    that if I believe that there is a fair challenge for cause I
       19    indicate that and I pursue the questions as thoroughly as
       20    possible to make the determinations as to whether there is a
       21    challenge for cause.  Do you really want me to pursue this
       22    further?
       23             MR. DEMBER:  May I have a moment to consult with my
       24    colleague?
       25             THE COURT:  Sure.
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        1             (Pause)
        2             MR. DEMBER:  Your Honor, we would like you to pursue
        3    further questions with this juror.  What occurs to us is that
        4    it's not clear to us that she is simply concerned about the
        5    sons or daughters of friends who are in harm's way now and this
        6    case obviously has to do with terrorism to a degree which
        7    obviously could put people in harm's way, or is it a more
        8    direct connection between what the children of her friends are
        9    going through and this case.  It's not clear.  So we would ask
       10    for at least a little more inquiry on the subject.
       11             THE COURT:  Sure.
       12             MR. RUHNKE:  Can we just weigh in a little from this
       13    side?  This is different from the 9/11 situation somewhat.  It
       14    has been our position that the 9/11 situation simply is an
       15    equivalent statement to your concern generally about terrorism
       16    but the President of the United States was on television last
       17    night saying what is going on in Iraq is a war against
       18    terrorism generally and to say this has nothing to do with Iraq
       19    is to say this has nothing to do with terrorism, which I don't
       20    think is the government's position.  I mean, we don't think
       21    there is any need for further questioning but your Honor
       22    obviously has decided to question further.
       23             THE COURT:  Okay.  I will ask certainly further
       24    questions.  As you know, I have pursued these issues in
       25    exhaustive detail and I want to make sure that all sides are
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             45PSSAT7
        1    satisfied before I make a determination with respect to a
        2    challenge for cause.  So that is why I have conducted the
        3    extensive inquiries that I have conducted.
        4             Let's call 182 back in.
        5             (Juror present)
        6    BY THE COURT:
        7    Q.  Juror 182, let me just follow up.
        8             Could you explain to me why your concerns over your
        9    friend's children in Iraq might be an issue for you here?  I
       10    have described to you the allegations in this case and they are
       11    plainly historical allegations in the sense that they deal with
       12    things that have allegedly occurred in the past and the issue
       13    would be whether the government has proven those charges beyond
       14    a reasonable doubt at trial.
       15             So why is it that you believe that there is something
       16    about your friend's children that might somehow influence you
       17    in connection with this case?
       18    A.  Well, because I feel bad that they are there and that we
       19    are in a war, you know.  You know, if I can express it.  It's
       20    just --
       21    Q.  Okay.
       22             The allegations in this case don't relate to what is
       23    going on in Iraq.
       24    A.  Right.
       25    Q.  There may well be allegations or evidence relating to what
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        1    can be described as terrorism.
        2             Is there anything about those allegations or the
        3    nature of those allegations that would prevent you from being a
        4    fair and impartial juror and deciding the case solely on the
        5    evidence or lack of evidence with respect to the charges in
        6    this indictment?
        7    A.  The more you keep asking the more I feel I can't do it.  I
        8    just feel I don't think I will be able to do it.  I keep second
        9    guessing myself.
       10    Q.  I am sorry?
       11    A.  I feel like I keep second guessing myself.  I don't know --
       12    the more you ask me the more I feel I don't think I could do
       13    it, being impartial.  I don't know.
       14    Q.  Could you explain to me a little more why that is true?
       15    A.  I guess because I tried not to think about it like after we
       16    left that first day and you explained the charges, I tried not
       17    to think about it.
       18    Q.  Right.
       19    A.  Now that you keep -- that we are talking about it, it kind
       20    of dredges up memories and, you know, you think about the
       21    people that are there and you empathize with the families and
       22    of course the boys that are there, the boys and women and now I
       23    am second guessing, maybe I wouldn't be a good juror.  Maybe I
       24    wouldn't be able to be impartial and clearly look at the
       25    evidence as it is without thinking of those people or what has
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        1    gone on in the past or what is going on today.
        2    Q.  You know, you are an honest, forthright, conscientious
        3    person and that is all I ask.
        4             The issue is the parties in the case are entitled to a
        5    fair and impartial jury and have jurors look at the case, the
        6    allegations in the case, look at their own personal history and
        7    life experience and ask themselves, you know, will I be a fair
        8    and impartial juror in this case?  And if there are doubts that
        9    a juror has, then the juror says the doubts.  There is nothing
       10    wrong with that.  That is exactly what this whole process is
       11    meant to do.
       12    A.  Then I guess I would have to say I have doubts.
       13    Q.  Okay.
       14             Could you step out?
       15    A.  Sure.
       16             (Juror absent)
       17             MR. DEMBER:  Your Honor, we have no objection for this
       18    juror to be excused.
       19             THE COURT:  Okay.  I agree.  Defendants agree?
       20             MR. RUHNKE:  Yes, we agree, your Honor.
       21             THE COURT:  Let's call back in Juror 182.
       22             (Juror present)
       23    BY THE COURT:
       24    Q.  Hi.
       25             Juror 182, I will excuse you.
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        1             I want to emphasize to you that I really appreciate
        2    your participation in the jury selection process and you should
        3    take away from this process a personal satisfaction of knowing
        4    that you have performed a public service by your participation
        5    in the process.  And so you are excused.  You can go home and
        6    all of the paperwork will be taken care of by mail.
        7    A.  Okay, thank you.
        8    Q.  Sure.
        9             (Juror absent)
       10             (Continued on next page)
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        1             THE COURT:  What about Juror 183?  And Juror 167?
        2             U.S. MARSHAL:  167 is not here.
        3             DEPUTY CLERK:  184.
        4             THE COURT:  I'm sorry?
        5             DEPUTY CLERK:  184.
        6             THE COURT:  Let's find out where the juror is.
        7               (Off the record)
        8             THE COURT:  184 is stricken; we'll excuse 184.
        9               (Juror present)
       10    BY THE COURT:
       11    Q.  Good afternoon, Juror 184.
       12    A.  Good afternoon.
       13    Q.  I've reviewed your questionnaire and I'm going to excuse
       14    you as a juror.  I very much appreciate your participation in
       15    the process.  All of the paperwork will be taken care of by
       16    mail, and so you can go home now and you'll receive all the
       17    paperwork in the mail.
       18    A.  Thank you.
       19    Q.  Thank you, Sir.
       20               (Juror absent)
       21             THE COURT:  No further jurors left?
       22             DEPUTY CLERK:  I'll check.
       23             MS. BAKER:  May I addresses a housekeeping matter
       24    while Mr. Fletcher is checking that?  The government wrote a
       25    letter on May 11, 2004 proposing a briefing schedule regarding
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        1    motions to quash subpoenas that were delivered to Messrs. Fried
        2    and Packer.  And we have not seen a memorandum of law or
        3    endorsement by the Court.
        4             I don't know whether the Court considered that
        5    scheduling order or not.
        6             THE COURT:  I thought that the schedule was fine.
        7    I'll check why the endorsement didn't go out.  I thought I had
        8    endorsed the letter.  Thank you.
        9             Now, tomorrow we'll do the next 20, Which begins at
       10    186.  Number 82, Juror Number 186.  And given the strikes
       11    already, that means that tomorrow, I don't know if the jury
       12    administrator will be able to bring in any people that we've
       13    skipped over so far, but otherwise it goes to, in any event, on
       14    the list, Number 108, Juror Number 233.  Because 196 is
       15    stricken, 200, 201, 202, 212, 102 will come in on May 28th.
       16    229 is stricken.
       17             You're not two days ahead anymore.  I'm going to be
       18    getting these questionnaires, I think, on Wednesday for the
       19    jurors that I would be examining on Thursday.  Isn't that
       20    right?
       21             MR. RUHNKE:  If that's the case, we're moving faster
       22    for some reason, maybe because we have we're striking the
       23    jurors.  But that is correct, to answer your question, your
       24    Honor.
       25             THE COURT:  Can you get the questionnaires -- can you
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        1    get me your questions tonight?
        2             MR. RUHNKE:  I can do this, your Honor:  I've been
        3    coordinating with other groups on one set.  I think we can get
        4    ours to you tonight.  If Mr. Tigar and Mr. Fallick will have
        5    additional questions to add to them, I doubt they'll be
        6    extensive.  Maybe just make up follow-up suggestions before the
        7    juror actually comes in.  I'm hearing from the group to my
        8    right they're going to have difficulty because they're meeting
        9    with witnesses tonight.  We had expected not to have to get
       10    those to you till tomorrow night.
       11             THE COURT:  All right.  When tomorrow?
       12             MR. RUHNKE:  I'm saying I can get you the next 20
       13    tonight.
       14             THE COURT:  Oh.
       15             MR. RUHNKE:  Especially since we're ending relatively
       16    early tonight.
       17             THE COURT:  Okay.
       18             MR. RUHNKE:  And that if there are any additions to
       19    that from the group to my right, they can get those to you
       20    tomorrow.  I doubt they'll be significant additions.
       21             THE COURT:  That's fine.  The government also?
       22             MR. DEMBER:  Your Honor, we've got 15 done, so I think
       23    we can finish them tonight and get them out to you tonight.
       24             THE COURT:  Okay.  Fax them.
       25             MR. DEMBER:  We'll fax them.
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        1             THE COURT:  And, you know, in order to stay on
        2    schedule, you really should give me then another 20 on
        3    Wednesday, and another 20 on Thursday, and another 20 on
        4    Friday.  And then, given the long weekend, another 30 on
        5    Monday.  And then 20 on Tuesday and Wednesday.  And I think
        6    that brings us -- will bring us pretty current.
        7             MR. STERN:  Judge, I want to maybe re-raise an issue
        8    with you.  We've heeded your advice and spoken with the
        9    government about -- we're all in agreement about, you won't be
       10    surprised to hear, not working on Friday.  We promised the
       11    jurors in the questionnaire, it's Page 4, Page 2, that they
       12    will not work on Friday, and I think under the circumstances --
       13    we have 32 qualified jurors now.  We've been doing an average
       14    of a little over six a day, which means in about 10 working
       15    days -- today, we went faster, but generally six a day.
       16             I think if we could have Friday off it will give us an
       17    opportunity both to catch up on these questionnaires that
       18    you're talking about and won't significantly slow down the
       19    process.  It will also give us a chance to do other things
       20    that, as you might imagine, are difficult to do between doing
       21    these -- questioning jurors during the day and doing the
       22    questionnaires in the evening.
       23             So since we have so much time before June 21st, that
       24    one day I don't think will delay -- it will obviously delay
       25    jury selection by one day, but won't delay the trial at all and
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        1    give us all the chance to catch our breath and catch up on
        2    things we've gotten behind on.
        3             I think the government agrees, too, and it would be
        4    useful to keep our promise made to the jurors in the
        5    questionnaire.
        6             THE COURT:  How do your figures add up?
        7             MR. STERN:  My count is that we have 32 qualified
        8    jurors, that we've been averaging a little over six a day.  So
        9    that even 60 more now would be 58 more -- when you said you
       10    wanted 90, I'm not sure if that's still the number you want, we
       11    should do that in 10 working days at six a day for 10 days.
       12    Would be 60.  We need 58.
       13             THE COURT:  I had said 90 might be possible -- that
       14    gives us a cushion of 34.  It may not be necessary to go up to
       15    90.
       16             MR. STERN:  We've discussed it.  We think it's not
       17    necessary.
       18             THE COURT:  Everyone is shaking their heads.
       19             MR. STERN:  Right.
       20             MR. RUHNKE:  We have discussed this with the
       21    government and we think even with a belt and suspenders,
       22    thought 90 is way, way too many to need.  There would have to
       23    be some cataclysmic occurrence to have all of a sudden 20
       24    jurors decide not to show up for jury selection.  We think
       25    picking 20 extra would still allow plenty of room.
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        1             I mean, I don't want to bring too much personal
        2    experience into this, but I've done struck jury systems with
        3    this same method of jury selection on maybe 20 occasions.  I
        4    have never seen more than one or two jurors not show up at the
        5    end of the process.  So, for what it's worth....
        6             THE COURT:  Have you discussed it with the government
        7    also, Mr. Stern?
        8             MR. STERN:  You mean not working Friday?
        9             THE COURT:  Yes.
       10             MR. STERN:  Yes.  I think they eagerly agree.
       11             MR. DEMBER:  Your Honor, we were asked earlier today.
       12    We discussed it.  Considering the fact that we had made some
       13    representations to the jurors, we had agreed to jointly make
       14    this request.
       15             THE COURT:  Oh, okay.  Well, let me look at it
       16    overnight and then tell you tomorrow.
       17             MR. STERN:  Fair enough.
       18             THE COURT:  The jurors won't be called for Friday
       19    until Thursday evening in any event.
       20             MR. PRICE:  That's correct, your Honor.
       21             THE COURT:  Okay.  Okay.  I'll think about it
       22    overnight.  Get me the questionnaires and I will talk to you
       23    about it tomorrow.
       24             Anything else?
       25             MR. RUHNKE:  No, your Honor.  Thank you.
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        1             THE COURT:  Good evening, all.
        2             MR. TIGAR:  Good evening, your Honor.
        3             MR. RUHNKE:  Good evening.
        4             MR. DEMBER:  Good evening.
        5               (Adjourned to Wednesday, May 26, 2004, @ 9:30 a.m.)
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