15 February 2001
Source: Digital file from the Court Reporters Office, Southern District of New York; (212) 805-0300.

This is the transcript of Day 6 of the trial.

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


                                                                686



   1   UNITED STATES DISTRICT COURT
       SOUTHERN DISTRICT OF NEW YORK
   2   ------------------------------x

   3   UNITED STATES OF AMERICA

   4              v.                           S(7)98CR1023

   5   USAMA BIN LADEN, et al.,

   6                  Defendants.

   7   ------------------------------x

   8
                                               New York, N.Y.
   9                                           February 15, 2001
                                               9:45 a.m.
  10

  11

  12   Before:

  13                       HON. LEONARD B. SAND,

  14                                           District Judge

  15

  16

  17

  18

  19

  20

  21

  22

  23

  24

  25



                                                                687



   1                            APPEARANCES

   2   MARY JO WHITE
            United States Attorney for the
   3        Southern District of New York
       BY:  PATRICK FITZGERALD
   4        DAVID KELLEY
            KENNETH KARAS
   5        PAUL BUTLER
            Assistant United States Attorneys
   6

   7   SAM A. SCHMIDT
       JOSHUA DRATEL
   8   KRISTIAN K. LARSEN
            Attorneys for defendant Wadih El Hage
   9
       ANTHONY L. RICCO
  10   EDWARD D. WILFORD
       CARL J. HERMAN
  11   SANDRA A. BABCOCK
            Attorneys for defendant Mohamed Sadeek Odeh
  12
       FREDRICK H. COHN
  13   DAVID P. BAUGH
       LAURA GASIOROWSKI
  14        Attorneys for defendant Mohamed Rashed Daoud Al-'Owhali

  15   DAVID STERN
       DAVID RUHNKE
  16        Attorneys for defendant Khalfan Khamis Mohamed

  17

  18            (In open court; jury not present)

  19            THE COURT:  Good morning.  Please be seated.  We have

  20   a number of matters I'd like to cover.  It's not the first

  21   item in terms of the agenda, but so I don't forget, so that

  22   there is no confusion with respect to the cross-examination of

  23   Al Fadl, and I do this because there was a request on behalf

  24   of counsel for El Hage for another conference to deal with

  25   that, I just want to make sure that there is an understanding



                                                                688



   1   what the ground rules are.  I'm aware that some of this

   2   relates to some classified material and we're in open court.

   3            The cross-examination of the witness with respect to

   4   such matters as his understanding of the Koran, of the terms

   5   of the bayat and so on, is to be conducted by asking him

   6   direct questions without references to any documents not in

   7   evidence.  If in the opinion of counsel the answer given

   8   requires resorting to any documents, including the specially

   9   prepared documents which was the subject of our robing room

  10   conferences --

  11            MR. BAUGH:  Excuse me.  Your Honor, I don't mean to

  12   interrupt.  I don't believe there are any Swahili interpreters

  13   in the middle group.

  14            THE COURT:  Excuse me?

  15            MR. BAUGH:  I don't believe there are any Swahili

  16   interpreters in the middle group.

  17            (Pause)

  18            THE COURT:  A sidebar is to be requested.  Let me say

  19   that I will be very surprised should that occasion arise where

  20   you have had the example of two cross-examinations of the

  21   witness, including inquiry into those matters and there seemed

  22   to be no problem in eliciting the witness' responses.  Should

  23   that arise, there is to be request for a conference.  I will

  24   reluctantly, but if necessary, grant that conference.

  25            At that conference we will deal with a number of



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   1   matters.  One, whether there is indeed need for a reference to

   2   the document in question.  Two, whether the government will

   3   take the position that the nature of that inquiry will open

   4   the door on the concept of completeness for the government to

   5   make reference to other portions of those documents; and

   6   three, an opportunity of co-counsel to object as they have

   7   indicated in the past they would.

   8            That is the protocol which we will follow, if

   9   necessary.  I say I will be surprised if it is necessary.  Is

  10   there any question as to the procedure with respect to that

  11   matter?

  12            MR. DRATEL:  No, your Honor, but what we were

  13   intending to do, your Honor, is to give you a letter, probably

  14   tomorrow, just highlighting what we think if that comes up,

  15   just to highlight for the Court what might be.

  16            THE COURT:  I have a letter request on behalf for an

  17   order for a curative instruction with respect to the reading

  18   of exhibit 1600T.  My understanding of 1600T is that is an

  19   exhortation by Bin Laden to his audience to engage in

  20   anti-American terrorist activity, and that as evidence of that

  21   he cites the vulnerability of the United States as evidenced

  22   by, among other things, Somalia.  Page 35:  Appear before the

  23   world promising to retaliate but his promises were only

  24   preliminary things for withdrawals.  God humiliated you and

  25   you left, and this had seriously shown that you're incompetent



                                                                690



   1   and weak.

   2            In other words, my understanding of the context of

   3   this is a reference by Bin Laden to the victories, the

   4   successes achieved as a result of other terrorist acts.  He

   5   doesn't claim responsibility for these acts, but he cites them

   6   as examples of the sort of activity which has achieved

   7   success, success being a humiliation and withdrawal by the

   8   Americans.

   9            Does anybody quarrel with that as a fair

  10   characterization of what Bin Laden is doing in those portions

  11   of this document?

  12            All right.  Silence then is acquiescence.  In light

  13   of that, Mr. Wilford, what is it that you would have me tell

  14   this jury?

  15            MR. WILFORD:  That these statements contained in

  16   1600TT are reflective of Bin Laden's state of mind and they

  17   are not reflective of the state of mind of Mr. Odeh.

  18            THE COURT:  Mr. Bin Laden is not an individual.  He's

  19   not -- he is, you know, we talk about the pyramid and he's the

  20   top of the pyramid, right?  This is in 1996.

  21            MR. WILFORD:  Your Honor, the statements that he's

  22   making at that time are reflective of his state of mind.  What

  23   the jury ultimately gets to determine is whether or not Mr.

  24   Odeh or any of the other defendants agreed or accepted that,

  25   and the statement that is made and the way that the government



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   1   suggested it, according to Mr. Karas yesterday, was that it

   2   was coming in simply to show what Bin Laden's state of mind

   3   was and what he hoped to have people believe.

   4            THE COURT:  You want me to say that exhibit 1600 is a

   5   statement issued by Bin Laden distributed by people working

   6   for him which constitutes the declaration of holy war against

   7   the Americans.  You want me to tell that to the jury?  I have

   8   no difficulty telling that to the jury.  I don't imagine the

   9   government would have any difficulty my telling that to the

  10   jury.

  11            MR. WILFORD:  I request what is suggested in my

  12   letter.

  13            THE COURT:  Not for the truth contained therein.

  14            MR. WILFORD:  Yes.  Because the government's proffer

  15   of this particular piece of evidence, your Honor, was that

  16   it's being offered for the state of mind.  I wouldn't want

  17   jury to be confused and being misled as to what the document

  18   is being offered for, and I don't want confusion to occur

  19   later on in terms of argument of this particular document.

  20            THE COURT:  You go on to say -- I'm reading the last

  21   paragraph -- therefore, Mr. Odeh requests that the jury be

  22   instructed that Government Exhibit 1600 and 1600T were

  23   admitted not for the truth contained therein, but rather to

  24   establish what Bin Laden's state of mind was and the message

  25   he had for his followers at that time.



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   1            MR. WILFORD:  Message he had for his followers, not

   2   that his followers accepted that message, but that's the

   3   message he was putting forth.

   4            THE COURT:  How does that differ from any other

   5   statement made by a coconspirator in furtherance of the

   6   conspiracy?

   7            MR. WILFORD:  Well, there are instances where the

   8   statement is more than, it's an agreement between the parties.

   9   The statement can be offered as evidence of agreement between

  10   the parties.  This is not that sort of situation.

  11            THE COURT:  This is an instruction which he, this is

  12   a fatwa which is a declaration of holy war.  Exhibit 1600

  13   constitutes a statement issued by Bin Laden reflecting his

  14   views and the message he had for his followers.  You want me

  15   to say that?

  16            MR. WILFORD:  Yes.

  17            THE COURT:  Any objection to that?

  18            MR. KARAS:  One moment, your Honor.

  19            (Pause)

  20            MR. DRATEL:  Your Honor, I would not want the part

  21   about message he had to his followers.  Also, with respect,

  22   it's our position, but, also, if I could just go back to

  23   Somalia for a second, because just reading it again and while

  24   the specific language in the fatwa does not take credit, if

  25   examined in the context of what the government is trying to



                                                                693



   1   establish with respect to Somalia, it does have an impact on

   2   Somalia.

   3            If the government is going to put in, has put in

   4   through Mr. Al Fadl already, and I anticipate that they will

   5   try to put it in through other statements, not only by Bin

   6   Laden but also by another alleged coconspirator is that al

   7   Qaeda was responsible, so to put that with this it doesn't go

   8   very far to determine the statement of responsibility, and

   9   that's why it's a factor.

  10            Your Honor, also, it can also have an impact to the

  11   jury, that the other issues on Somalia in another context and

  12   it has an impact on what our judgment of our needs are.

  13            THE COURT:  It's what he said, right?  It's what he

  14   told his followers.  He said:  Look how we humiliated

  15   President Clinton and how they withdraw, and this is the sort

  16   of thing you should do to achieve the glorious martyrdom that

  17   he describes.

  18            MR. DRATEL:  Your Honor, in terms of the actual, I

  19   don't know if your Honor is saying that's the instruction or

  20   the Somalia part of it now?  If you're talking about

  21   instruction, my objection to the part about the followers is

  22   that it's a fatwa and whatever fatwa is, it is.  I don't want

  23   to be part of an instruction that it's a fatwa.

  24            THE COURT:  I really think that for the instruction

  25   to be fair and accurate it will not show any interest of the



                                                                694



   1   defendants, because as you say in your letter, Mr. Wilford,

   2   this is a message he had for his followers at the time.  I

   3   don't see any stretching, that would be a fair and accurate

   4   appraisal of what this document is would be appropriate.

   5            Mr. Cohn, what is your client's views on this matter?

   6            MR. COHN:  He takes no position.

   7            THE COURT:  You take no position.

   8            MR. COHN:  I join the application, your Honor.

   9            THE COURT:  The application for a curative

  10   instruction?

  11            MR. COHN:  Yes.

  12            THE COURT:  A curative instruction which will say,

  13   among other things, that this is the instruction, the fatwa,

  14   the declaration of holy war issued by Bin Laden and

  15   constitutes the message he had for his followers at that time.

  16   You want that instruction.

  17            MR. COHN:  Not in those words, your Honor.

  18            THE COURT:  Those are the words of the request.  I

  19   have to say this.  I do know that there is a very

  20   understandable desire on the part of counsel from time to time

  21   to get an adverse ruling from the Court for the sake of

  22   getting an adverse ruling from the Court.

  23            MR. DRATEL:  Your Honor, just so we're clear, I'm not

  24   objecting to the instruction, but I think an instruction that

  25   says this is the speaker's state of mind, it is not the state



                                                                695



   1   of mind of any of the defendants; it is not proof of their

   2   state of mind; it is the speaker's state of mind.  I think

   3   that's consistent with an instruction with respect to any

   4   coconspirator hearsay.  The coconspirator hearsay is designed

   5   to --

   6            THE COURT:  Are you under the impression that it's

   7   appropriate for the Court after every introduction of a

   8   coconspirator's statement in furtherance of the conspiracy to

   9   give an instruction to the jury?

  10            MR. DRATEL:  No, but with something as important as

  11   this document, with so much prejudicial information I think it

  12   is appropriate in this content.

  13            THE COURT:  Mr. Wilford.

  14            MR. WILFORD:  Your Honor, also, we agree with

  15   Mr. Dratel's statement, not every time, but this particular

  16   statement it would be important.  If the Court is not inclined

  17   to give any instruction, I simply ask that the letter that I

  18   submit be made a Court Exhibit.

  19            THE COURT:  Sure.  Court Exhibit 1 of today.

  20            (Marked Court Exhibit 1 of 2/15/01)

  21            THE COURT:  One other matter with respect to the

  22   opinions that were filed under seal on Monday, I'm sure our

  23   friends in the media would appreciate it if they became

  24   available early tomorrow morning so that if you could let us

  25   know by 4:30 today, whether there is anything that has to be



                                                                696



   1   redacted.

   2            MR. COHN:  Your Honor wanted it in writing so we'll

   3   have it for you by then.  The changes we have are very minor.

   4            MR. KARAS:  Judge, just two things with respect to

   5   the declaration of jihad.  One is on page 35 at the very top

   6   there is a word there spelled R-A-Y-E-H-R-I-C-S.  As bad as my

   7   pronunciation has been I don't think that's a word.  I think

   8   it's supposed to be media theatrics, not media racist.  Page

   9   35 at the very top.

  10            THE COURT:  Media theatrics you think that is.  You

  11   know there are a few other instances.

  12            MR. KARAS:  The other thing, your Honor, is when

  13   there is a reference to PBUH I've been reliably informed that

  14   stands for peace be upon him.  That's how we will read it from

  15   here on out.

  16            THE COURT:  Ask them to bring in the jury.

  17            (Continued on next page)

  18

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  22

  23

  24

  25



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   1            (Jury present)

   2            THE COURT:  Good morning, ladies and gentlemen.  When

   3   we adjourn today we are going to adjourn until Tuesday

   4   morning.  It's the last of our February long weekends.  It's

   5   been a while since I reminded you not to read or listen to

   6   anything in the media, and this may be a good time for me to

   7   remind you again that that is the standing instruction.

   8            We are at the point where we are reading the

   9   Government Exhibit 1600T, copies of which you should have, and

  10   I believe we stopped yesterday at the bottom of page 16.

  11            MR. KARAS:  Yes, Judge.

  12            (Government Exhibit 1600T read)

  13            (Continued on next page)

  14

  15

  16

  17

  18

  19

  20

  21

  22

  23

  24

  25



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   1            THE COURT:  If you would just pass those forward,

   2   they will be collected.

   3            MR. FITZGERALD:  There may be one logistical issue

   4   for counsel before the next item, so I wonder if we might take

   5   the break earlier.

   6            THE COURT:  Take a break now?

   7            MR. FITZGERALD:  Yes, Judge.

   8            THE COURT:  We'll take a five-minute recess.

   9            (Jury not present)

  10            THE COURT:  What is the next proposal?

  11            MR. FITZGERALD:  If next proposal is we intended to

  12   read the 1997 Grand Jury transcript of Wadia El Hage, but I

  13   received a call just before I came to Court this morning from

  14   Mr. Schmidt -- Mr. Karas received a call -- indicating that he

  15   was going to propose some redactions to the Grand Jury

  16   testimony and that's why I didn't want to stand up and go

  17   there.  We haven't received the redactions yet, I don't

  18   believe.

  19            MR. DRATEL:  I'm going to call him.  He was working

  20   on it while we were here.  This is something that just came up

  21   yesterday for the first time.  So I have -- I mean, I have

  22   gone through it myself, but if I could just go downstairs and

  23   call him.

  24            THE COURT:  We'll take a ten-minute recess.

  25            MR. FITZGERALD:  My sense from the discussion of the



                                                                699



   1   redactions from Mr. Schmidt, but not Mr. Dratel, is I don't

   2   think we will be agreeing.  So I just wanted to warn your

   3   Honor.  But we'll try, but I think there's a serious issue.

   4            (Recess)

   5            (In the robing room; present:  Mr. Fitzgeral, Mr.

   6   Karas, Mr. Dratel, Mr. Cohen, Mr. Ricco and Mr. Wilford)

   7            THE COURT:  A big surprise that this is arriving so

   8   it's got to be decided two minutes while the jury is waiting.

   9            MR. COHN:  Do not look at us, your Honor.  Call

  10   Typhoid Mary.

  11            THE COURT:  What is the problem?

  12            MR. DRATEL:  We have some sections of the Grand Jury

  13   testimony that we would like redacted.

  14            THE COURT:  On the theory that?

  15            MR. DRATEL:  403, more prejudicial; there's very

  16   little probative value, if any, and they are highly

  17   prejudicial.

  18            THE COURT:  And bear no relationship to the perjury

  19   counts in the indictment?

  20            MR. DRATEL:  They are not alleged as perjurious

  21   statements in the indictment.  I know that some of them --

  22   there may be two that are referred to, one I think vaguely and

  23   another more specifically in the indictment, and our position

  24   is that it's just simply too prejudicial to -- but they're not

  25   perjury counts in the indictment.  What I'm saying is there



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   1   are a couple I think that are referred to within the broader

   2   contours of the conspiracy.  The government knows better about

   3   that.

   4            THE COURT:  Are they being offered against all of the

   5   defendants or only against El Hage?

   6            MR. FITZGERALD:  Only against El Hage.  As an

   7   example, your Honor, one of the things --

   8            THE COURT:  Even if they are not subject, a subject

   9   of a specific count, why would they not be admissible as

  10   against him as admissions?

  11            MR. DRATEL:  Because they're not admissions.  He says

  12   no.  A lot of answers are "no," so it's really the question

  13   that's the issue.

  14            THE COURT:  Give me your best shot.

  15            MR. DRATEL:  Well, can we go through them.  Most of

  16   them don't have to do with things that are in the indictment,

  17   so I would like to proceed that way.  First, I'll read out the

  18   section, the government will say whether they agree or not

  19   agree, then we will know whether we have to argue.

  20            The first one we've resolved, which is page 2 --

  21            THE COURT:  Just tell me things you haven't resolved.

  22            MR. DRATEL:  Just for the purpose of knowing what's

  23   going to come in and not come in.  We've resolved fewer, so

  24   it's actually probably easier.

  25            Page 2, line 23, through page 3, line 3, there is a



                                                                701



   1   question put to Mr. El Hage about John Draid, D-R-A-I-D.  I

   2   think the government's agreeing that --

   3            THE COURT:  Page 2?

   4            MR. DRATEL:  Bottom of page 2.

   5            THE COURT:  Oh, yes.

   6            MR. DRATEL:  Through the top of page 3, and I think

   7   the government has agreed that it will stipulate that they're

   8   not contending that Mr. El Hage ever used that alias.

   9            MR. FITZGERALD:  And I'll interrupt the reading by

  10   the paralegals to state that at that point in time, if that's

  11   easier.

  12            THE COURT:  Very well.  Okay.

  13            MR. DRATEL:  Page 18, line 13 through 22.

  14            THE COURT:  Page 18, line 30 --

  15            MR. DRATEL:  13 through 22.  And that is a photo

  16   presented to Mr. El Hage which he does not recognize, but he

  17   says -- well, I'm sorry, he does recognize it.  He says, "I

  18   don't remember the name, but I have seen his picture in the

  19   news.  He is the one involved in the World Trade Center

  20   bombing."

  21            I think that's too prejudicial, since he does not

  22   know the person other than through the media.

  23            THE COURT:  But then he continues, he goes through --

  24   it's 13 to 22.

  25            MR. DRATEL:  Right, because the second question is --



                                                                702



   1            THE COURT:  What is --

   2            MR. FITZGERALD:  Judge, I don't see what the

   3   prejudice is.  He looked at a picture --

   4            THE COURT:  What's the point?  He doesn't remember

   5   the name but he's seen his picture.

   6            Granted, 13 through 22.

   7            MR. FITZGERALD:  The problem we're going to have,

   8   Judge, since I just got these redactions now, is we've scanned

   9   in the Grand Jury testimony so we could do it with the jury

  10   and I just got the redactions now, so I don't know what we're

  11   going to do about displaying this to the jury.

  12            I don't see what the prejudice is to someone saying,

  13   I saw a photograph of a guy on T.V. but I don't know him, and

  14   we're not going to argue that he in fact knew him.

  15            THE COURT:  We'll just orally instruct the jury to

  16   disregard it.

  17            MR. DRATEL:  Your Honor --

  18            THE COURT:  What do you want me to do?

  19            MR. DRATEL:  The fact that their technology can't

  20   accommodate this should not be why we --

  21            THE COURT:  How many of these are there going to be?

  22            Do you have copies of these for the jury?

  23            MR. FITZGERALD:  We were going to display it on the

  24   screen page-by-page.

  25            THE COURT:  Don't display that page.  Just read that



                                                                703



   1   page.  I think the fact that the technology shouldn't override

   2   the substance is a good point.

   3            Next.

   4            MR. DRATEL:  Page 19, line 11, through page 21, line

   5   23.

   6            THE COURT:  Yes.

   7            MR. DRATEL:  This is with respect to Mr. El Hage's --

   8   the question of Mr. El Hage with respect to Sayyid Nosair.

   9   This is one of the ones where there is a reference in the

  10   indictment not specifically, but there is a reference.

  11            The problem we have is just that the Nosair,

  12   particularly New York, is so prejudicial because there was

  13   involvement in the Kahane murder, and in fact the Kahane

  14   murder is mentioned specifically at page 21, line 5.

  15            THE COURT:  Mr. Wilford is smiling because what he

  16   would say if he weren't so deferential to co-counsel is your

  17   assumption as to what will be immediately known to the jury is

  18   not -- if he went in there and he asked who was Sayyid Nosair,

  19   no one would know.

  20            MR. COHN:  That wasn't why Mr. Wilford was laughing.

  21   He was thinking about lunch.

  22            THE COURT:  The jury is going to be taken to a fancy

  23   restaurant.  So that's to make up for the day they're being

  24   subjected to.

  25            Overruled.



                                                                704



   1            MR. DRATEL:  Your Honor, can we at least take out 21,

   2   line 2 through 21, line --

   3            THE COURT:  Page 21?

   4            MR. DRATEL:  Yes, page 21, line 2, through page 21,

   5   line 16?

   6            THE COURT:  Yes.  How about that?

   7            MR. FITZGERALD:  Judge --

   8            THE COURT:  Yes, what is the probative value of his

   9   knowing that Nosair is in jail?

  10            MR. FITZGERALD:  First all, we'll be offering proof

  11   at this trial that he visited Nosair in jail, which he didn't

  12   admit because he visited Nosair in jail with a man by the name

  13   of Elnore, who he denies knowing one of the photographs of the

  14   people he says he doesn't know.

  15            THE COURT:  That's different.

  16            MR. DRATEL:  Your Honor, but that can be involved

  17   with lines 1, 2 -- 2 through 4, rather.  We don't need 5 and

  18   beyond.  Where is he now?  He's in jail.  That satisfies that.

  19            MR. FITZGERALD:  I think, Judge, what we're now doing

  20   is stripping away the facts as to why Mr. El Hage might want

  21   to lie.

  22            THE COURT:  No, overruled.  Leave it in, subject to

  23   the government's representation that there will be other proof

  24   of his visiting him.

  25            MR. DRATEL:  Your Honor, he never lied, he never --



                                                                705



   1            THE COURT:  What's next?

   2            MR. DRATEL:  He did not ask whether he ever visited

   3   Nosair and says no, he never asked that question.

   4            MR. FITZGERALD:  He lied about knowing Elnore, who he

   5   visited with, and he asked whether he saw him in New York and

   6   he said in Brooklyn.  He never mentioned traveling to Rikers

   7   Island.

   8            THE COURT:  Next.

   9            MR. DRATEL:  The next is page 27, line 25 -- I'm

  10   sorry, page 27, line 17 through 25.  That's another reference

  11   to Nosair as well as to Abouhalima, who is a convicted

  12   defendant in the World Trade Center bombing.  There are two

  13   questions --

  14            THE COURT:  Overruled.  Next.

  15            MR. DRATEL:  Page 30, line 18 through line 23,

  16   there's a question that Mr. El Hage answers "no" which has to

  17   do with someone who visited him in the Sudan whose name he

  18   didn't remember, and the question is:  "Did anyone indicate to

  19   you that he was on the run from anyone who was looking for

  20   him?

  21   "A.  No."

  22            That would be what we would -- and the next

  23   question --

  24            THE COURT:  Then he says --

  25            MR. DRATEL:  Yes, then the next question as well.



                                                                706



   1            THE COURT:  Then he says, "I thought he was sent by

   2   the American Embassy to check on me probably."  Was that with

   3   respect to the same person?

   4            MR. FITZGERALD:  Yes.

   5            MR. DRATEL:  Yes.  But wait, that's the next page,

   6   but the part that we were looking at was before that.

   7            THE COURT:  Yes.

   8            MR. DRATEL:  Which is, "Did anyone indicate to you

   9   that he was on the run from anyone who was looking for him?"

  10   Answer:  "No."  Next question:  "Did anyone indicate he was

  11   wanted by any authorities?"  Answer:  "No."

  12            That's the portion that we think is more prejudicial

  13   than probative, or there's no probative value.

  14            THE COURT:  Is the next series of questions with

  15   respect to the same person?

  16            MR. FITZGERALD:  Yes.

  17            THE COURT:  Overruled.

  18            MR. DRATEL:  Next were page 37, line 5 --

  19            THE COURT:  How many are there of these?

  20            MR. DRATEL:  There are about five more.

  21            THE COURT:  Page 37?

  22            MR. DRATEL:  Line 5.

  23            THE COURT:  Yes.

  24            MR. DRATEL:  Through page 47, line 25.  And that is a

  25   whole discussion of Mr. El Hage's relationship with Abouhalima



                                                                707



   1   who is a convicted defendant in the World Trade Center

   2   bombing, has to do with Mr. El Hage's purchase of weapons from

   3   Mr. Abouhalima that he never picked up.

   4            This is not charged as a perjury count.  None of

   5   these are charged as perjury counts.  It's very prejudicial.

   6   Interspersed within this is discussion of the fact that he's

   7   in jail for the World Trade Center bombing and that there's

   8   also a question about whether these weapons were for use at

   9   the JDL, which Mr. El Hage denies knowing about, and so that's

  10   why we would ask that this be deleted.

  11            MR. FITZGERALD:  Your Honor, among other things,

  12   during this conversation where Mr. El Hage is asked about

  13   Abouhalima, he first says, "I never had a special discussion

  14   with Abouhalima.  Then he's confronted with the fact that

  15   Abouhalima called him to ship weapons to New York, and then he

  16   admits to that.  I think it goes to his pattern of showing he

  17   can't answer the questions.

  18            THE COURT:  Overruled.

  19            MR. DRATEL:  Page 36, line 14 through page 36, line

  20   22, which is purely:

  21            "Do you know where Abouhalima is today?

  22            "He is in jail.

  23            "Do you know what he is in jail for?

  24            "He is accused of the World Trade Center bombing.

  25            "So he is in jail for the World Trade Center bombing?



                                                                708



   1            "Yes."

   2            I don't think there is any reason for that to be in,

   3   your Honor, even under the government's theory.

   4            MR. FITZGERALD:  The government's theory is, knowing

   5   that what the person being investigated or being asked about

   6   is involved for, he is accused of being involved in the World

   7   Trade Center, it's truthful answers.

   8            THE COURT:  It makes it more -- the conclusion that

   9   the answers are deliberately false is enhanced by the

  10   notoriousness of the person about whom the questions have been

  11   answered.

  12            MR. FITZGERALD:  Yes.

  13            THE COURT:  Overruled.

  14            MR. DRATEL:  Your Honor, can we get an instruction

  15   that the World Trade Center was not part of this case,

  16   something like that?  You know, that this is not --

  17            MR. FITZGERALD:  Judge, it already is not part of

  18   this case.  Already we've had --

  19            Hold on.

  20            We've had two things happen.  In the opening,

  21   Mr. Schmidt told the jury that the government --

  22            THE COURT:  Excuse me.  Are the defendants praying

  23   now?

  24            MR. COHN:  No, they're sitting outside waiting.

  25            THE COURT:  Why don't they pray now?



                                                                709



   1            MR. COHN:  Because nobody suggested it until your

   2   Honor, in its wisdom.

   3            THE COURT:  Look, we'll be another five minutes?

   4            MR. DRATEL:  I think that we will be, yes, another

   5   five to ten minutes, I think, just to be --

   6            THE COURT:  Tell the marshals.  Is it all right if I

   7   tell the jury, since they are going to be read to again, that

   8   the jury should understand that we have adjusted the schedule

   9   somewhat to take care of Mr. Schmidt's indisposition?

  10            MR. FITZGERALD:  Yes.

  11            MR. DRATEL:  We're talking about the World Trade

  12   Center.  Obviously, without this, we don't need the

  13   instruction, but because this is reference number three,

  14   basically, to the World Trade Center now, with this and so --

  15            THE COURT:  So what would your instruction be?

  16            MR. DRATEL:  That the World Trade Center is not

  17   charged in this conspiracy.

  18            MR. FITZGERALD:  But what it may be relevant to is

  19   the perjury case as to whether or not he's telling the truth

  20   about the World Trade Center.

  21            MR. DRATEL:  That's notice charged as part of this

  22   conspiracy.  No one is being charged with involvement in the

  23   World Trade Center bombing.

  24            MR. FITZGERALD:  Can we also instruct the jury if El

  25   Hage lied about people involved in that event, that's relevant



                                                                710



   1   to the perjury counts?

   2            MR. DRATEL:  I don't think we need an instruction on

   3   that.  I think the government can argue that.

   4            THE COURT:  Suppose I said, apart from possible

   5   relevance to the perjury counts against El Hage --

   6            MR. DRATEL:  I almost would rather have nothing than

   7   that.

   8            THE COURT:  Yes.

   9            MR. DRATEL:  But just my question is, why does the --

  10   the government's going to argue that no one can argue the

  11   opposite.  In other words, the government can argue that

  12   because -- the government can argue that it is relevant and we

  13   can't say -- I mean, what can we say in response other than

  14   that he didn't perjure himself?

  15            MR. FITZGERALD:  We are not going to argue that he

  16   blew up the World Trade Center.  It's reciprocal.

  17            MR. DRATEL:  Well, but there is one inference, and

  18   our inference is nowhere in front of the -- in other words,

  19   it's sort of a one-sided inference.

  20            THE COURT:  I can't say it's irrelevant because it

  21   clearly is relevant to the perjury charge.

  22            MR. DRATEL:  I didn't say irrelevant, that it's

  23   irrelevant to say -- the Court has decided it's relevant.

  24            THE COURT:  You want to say that the bombing of the

  25   World Trade Center is not --



                                                                711



   1            MR. DRATEL:  Charged in this case and no defendant

   2   is --

   3            THE COURT:  Is not charged against any defendant in

   4   this case?

   5            MR. DRATEL:  Right.

   6            THE COURT:  You have any problem with that?

   7            MR. FITZGERALD:  No.

   8            THE COURT:  I'll do that first time there is a

   9   reference to the World Trade Center.

  10            MR. DRATEL:  Thank you, your Honor.

  11            Okay, the others, the JDL reference at 46, line 2 to

  12   line 9 as part of the same piece.

  13            THE COURT:  Which page are we on now?

  14            MR. DRATEL:  46, line 2.

  15            THE COURT:  Page 46, line 2.

  16            MR. DRATEL:  Through line 9.

  17            THE COURT:  "Did Abouhalima ever tell you that the

  18   guns were to be used to fight against the Jewish Defense

  19   League?

  20            "No.  He never said that."

  21            From lines 1 to where?

  22            MR. DRATEL:  Through 9, the two questions, the two

  23   answers.

  24            MR. FITZGERALD:  Your Honor, again, the Grand Jury's

  25   investigating what the guns were going to be used for in New



                                                                712



   1   York.  We had a good faith basis to ask that question.  He

   2   said no.  That goes to materiality of what he is discussing

   3   about these weapons, which he claims, first, he didn't mention

   4   in response to Abouhalima; second, he claims he never shipped.

   5            THE COURT:  No, I sustain the objection to page 46,

   6   lines 1 through 9, and we'll follow the same procedure --

   7   don't flash that page on the screen.

   8            MR. COHN:  You want a report, Judge?  They can pray

   9   during lunch.  We don't have to delay at all and it's fine.

  10            Judge, don't ask me to be logical.  I'm just merely

  11   the messenger.

  12            THE COURT:  But there is a pattern developing about

  13   how things are important only if the Court denies them.

  14            MR. COHN:  Judge --

  15            THE COURT:  Okay.

  16            MR. COHN:  Prayer is a floating time, depending on

  17   the position of the sun.

  18            THE COURT:  But I have a calendar on my desk with an

  19   explanation from the imam.

  20            Let's go on.

  21            MR. DRATEL:  The next one we have agreed on, I think,

  22   which is --

  23            THE COURT:  Fine.

  24            MR. DRATEL:  Can I say what the agreement is so we're

  25   clear that the government will state during the course of the



                                                                713



   1   deposition, page 56 through 61, which discusses the murder of

   2   Mustafa Shalabi that there's no contention that Mr. El Hage

   3   was involved in any way.

   4            THE COURT:  And the government will say that?

   5            MR. FITZGERALD:  Yes.

   6            THE COURT:  Very well.  Okay.

   7            MR. DRATEL:  The next is a large section, page 72,

   8   line 23, to page 90, line 15, which involves the murder of an

   9   imam in Tucson by the name of Rashad Khalifa.

  10            THE COURT:  Yes.

  11            MR. DRATEL:  And it's not charged in the perjury

  12   count.  The government's position is that it is relevant

  13   because they are going to contend that the same person who

  14   Mr. El Hage visited Nosair with is the same person who visited

  15   Mr. El Hage in Tucson.

  16            THE COURT:  Yes.

  17            MR. DRATEL:  Well prior to this murder.  So the

  18   question is really no connection between the murder and this

  19   visit, other than what the government is going to try to draw

  20   an inference without saying, because there have been people

  21   who have been charged with this murder, with conspiring to

  22   murder.  They live in Colorado in their --

  23            THE COURT:  What is the relevance of the murder?

  24            MR. FITZGERALD:  Your Honor, specifically, the Grand

  25   Jury did charge that one of the material facts for the Grand



                                                                714



   1   Jury to determine, and I'll read from the indictment at page

   2   108, subsection 6:  "The nature of the role, if any, played by

   3   defendant Wadih El Hage in the murder of Rashed Khalifa in

   4   Tucson, Arizona in 1990 and the identity of the person in from

   5   New York who visited Wadih El Hage in Tucson prior to the

   6   murder."

   7            It's the government's contention that the person who

   8   came from New York, who Mr. El Hage would lie about after

   9   being shown this photograph and whom he would then visit

  10   Nosair in jail with in 1991, was involved in the surveillance

  11   prefatory to a murder, not necessarily the murder.  Mr. El

  12   Hage lied about it, explains why he lied about it.  It goes

  13   directly to materiality and was charged in the indictment.

  14            THE COURT:  Overruled.

  15            MR. DRATEL:  Okay.  I just want to say I don't think

  16   the government is going to have any proof that there's any

  17   connection between this visit and the murder.  It's just, I

  18   think, an unfair inference that's totally prejudicial to

  19   Mr. El Hage.

  20            THE COURT:  My ruling is made on the representation

  21   of the government, and if there should be no -- well, but it's

  22   what the Grand Jury was inquiring into which defines what was

  23   material for purposes of their inquiry.

  24            Overruled.  Let's move on.

  25            MR. DRATEL:  Your Honor, also within that I think we



                                                                715



   1   have an agreement that there's part of page 85 that will go

   2   out.

   3            You don't agree?

   4            MR. FITZGERALD:  No.

   5            MR. DRATEL:  I thought you were agreeing.

   6            MR. FITZGERALD:  I wrote down I understood your

   7   argument.

   8            MR. DRATEL:  Page 58, lines 22 to 24, which is really

   9   just exchange between Mr. Fitzgerald and Mr. El Hage.

  10            THE COURT:  Overruled.

  11            MR. DRATEL:  Your Honor, I think that's extremely

  12   prejudicial.  That has no relevance to anything.

  13            THE COURT:  Overruled.

  14            MR. DRATEL:  There's also within that section, page

  15   81, line 15 -- I guess I missed this one.  It has to do with

  16   Mr. El Hage possessing a weapon in Texas and it has nothing to

  17   do with that issue.  It just is within that.  It says, "Do you

  18   have a gun?"  "Yes, I have a shotgun."

  19            THE COURT:  A shotgun in Tucson.  What is the

  20   significance of that?

  21            MR. FITZGERALD:  Judge, a lot of -- this is the first

  22   time I'm hearing this one.

  23            MR. DRATEL:  I forgot to mention it.  It's on the

  24   same line.  I'm sorry.

  25            MR. FITZGERALD:  He asked him if he had a gun in the



                                                                716



   1   house, he had a shotgun.  I don't --

   2            THE COURT:  Take it out.  Take it out and don't

   3   screen that page.

   4            MR. DRATEL:  Page 107, line 2 through 4.

   5            THE COURT:  Page 107,lines which?

   6            MR. DRATEL:  2 through 4.  That's again an issue as

   7   to why a particular defendant is in jail.  I don't know that

   8   the government is even alleging that he's lying about this

   9   person Azmarai, and the question is why that's relevant.  Just

  10   the fact that he's in jail and he's in jail for the World

  11   Trade Center.

  12            THE COURT:  We're going to have the World Trade

  13   Center stipulation that will cover.

  14            MR. DRATEL:  Then page 115, line 5.

  15            THE COURT:  115?

  16            MR. DRATEL:  Line 5.

  17            THE COURT:  Line 5.

  18            MR. DRATEL:  Through 116, line 22.

  19            THE COURT:  Yes.

  20            MR. DRATEL:  Which is a recap by Mr. Fitzgerald of a

  21   variety of different situations that involve fatalities and

  22   then try put Mr. El Hage connected with them, and it's really

  23   like a summation, it's really argument, your Honor.  It's a

  24   series of questions about that, recap of earlier testimony,

  25   and it's just -- it's unnecessary.  It's all there already.



                                                                717



   1   It's prejudicial, sort of summation.

   2            MR. FITZGERALD:  Your Honor, a couple of things.

   3   First of all, it is telling the witness directly what he is

   4   saying and giving him an opportunity to give a truthful

   5   answer, which is he was asked if he ever thought he was being

   6   part of a terrorist group, and he said no.  Even at the end of

   7   the Grand Jury testimony he's asked if there is a single

   8   answer he wanted to change anywhere in his testimony, and I

   9   think it's important when --

  10            THE COURT:  Yes, the objection is overruled.  I'm

  11   cutting you off because I think what you are about to say is

  12   clear.

  13            You are the questioner?

  14            MR. FITZGERALD:  That's been redacted.

  15            THE COURT:  That's been redacted.  That will not be

  16   disclosed to the jury.

  17            MR. DRATEL:  One additional one, page 120, line 26.

  18            THE COURT:  120, line?

  19            MR. DRATEL:  26, through 122, line 8.

  20            THE COURT:  To line 8, that he heard about -- what's

  21   the significance of that?

  22            MR. FITZGERALD:  Your Honor, we had offered a

  23   stipulation that no one in the case was charged with

  24   participating in the Mubarak assassination.

  25            MR. DRATEL:  Okay.  I guess I forgot.



                                                                718



   1            THE COURT:  Okay.

   2            MR. FITZGERALD:  Okay.

   3            THE COURT:  All right.

   4            MR. FITZGERALD:  So we can do it at the same point in

   5   time.

   6            THE COURT:  Is that it?

   7            MR. DRATEL:  That's it.

   8            THE COURT:  And I will tell the jury that the reason

   9   why they're having a day of reading is because we're working

  10   around Mr. Schmidt's unavailability.  And this will take how

  11   long?

  12            MR. FITZGERALD:  Take the balance of the day.

  13            THE COURT:  The balance of the day.

  14            MR. FITZGERALD:  It's 183 pages.  Sans redaction,

  15   175.

  16            MR. DRATEL:  And if you granted more, it would be

  17   shorter.

  18            (In open court; jury present)

  19            THE COURT:  Ladies and gentlemen, two things:  One is

  20   I want to explain the longer recess we had and the fact that

  21   there's going to be some more reading and explain that,

  22   although we made a commitment to try not to waste your time,

  23   we have had to do a little reshuffling because of

  24   Mr. Schmidt's flu.  So please understand why that has taken

  25   place, and we are doing every effort, making every effort not



                                                                719



   1   to waste your time.

   2            I'm told that the next order of business will be the

   3   reading of sections of the questioning of the defendant El

   4   Hage before the Grand Jury, which is relevant to the counts in

   5   the indictment naming the defendant El Hage and accusing him

   6   of committing perjury before the Grand Jury.

   7            These are the perjury counts in the indictment which

   8   are Counts 287 to 308, and understand, then, this testimony is

   9   admissible and is relevant only to the defendant El Hage.  I

  10   think that's the first occasion in which I have advised you

  11   that testimony is not being received, is not admissible for

  12   all purposes, but for a limited purpose, the limited purpose

  13   being with respect to the defendant El Hage and with respect

  14   to the perjury counts of the indictment, 287 through 305.

  15            I'm also handed a stipulation which says that if

  16   called as a witness -- remember I told you there are two types

  17   of stipulations, one is as to facts and the other is as to

  18   what a witness would say if the witness were called, and this

  19   stipulation is that, if called as a witness to testify,

  20   Careyann Rosenblatt, an official Grand Jury reporter for the

  21   Southern District of New York, would testify that Exhibit 400

  22   is a true and accurate transcription of the proceedings before

  23   a Grand Jury in the Southern District of New York, which took

  24   place on September 24, 1997.

  25            It is further stipulated and agreed that Government's



                                                                720



   1   401, 402, 403A through 403A5, 404 through 410 are copies of

   2   the Grand Jury Exhibits 1 through 10 referenced in that

   3   testimony.

   4            MR. FITZGERALD:  Thank you, Judge.  At this time the

   5   government would just offer those exhibits referred to in the

   6   Grand Jury testimony with the exception that to the extent

   7   photographs are looked at but not recognized, we will not

   8   offer those exhibits.

   9            THE COURT:  Very well.

  10            MR. FITZGERALD:  So, for the record, that would be

  11   Exhibits 401, 402, and 403D, H, L, M, N, O, P, Q, Z, AE and

  12   AG, and as to those exhibits just the specific photographs are

  13   referred to, which has page 2 on it, and then Government

  14   Exhibit 405, 409 and 410.

  15            (Government Exhibits 401, 402, and 403D, H, L, M, N,

  16   O, P, Q, Z, AE and AG, and 405, 409 and 410 received in

  17   evidence)

  18            MR. FITZGERALD:  And we will proceed by having

  19   paralegal specialist Abigale Sada and Gerrard Francisco will

  20   read the transcript into the record, with Ms. Sada doing the

  21   introduction or time and the questions by the questioner, and

  22   Mr. Francisco will provide the answers.  And there are also

  23   three other stipulations between the government and counsel

  24   for El Hage which I will interrupt the reading to recite that

  25   stipulation at the appropriate point.



                                                                721



   1            THE COURT:  All right.  Understand, ladies and

   2   gentlemen, that the answers are being given by a paralegal.

   3   His demeanor, his inflexion is irrelevant.  It's simply to

   4   speed the process that is taking place.

   5            Very well, you may proceed to do that.

   6            MR. FITZGERALD:  Also, Judge, we'll be displaying the

   7   pages on the screen, with the exception of I think three pages

   8   for which there had to be a change.  So there will be three

   9   pages that won't be displayed on the screen, but otherwise the

  10   jury will be able to follow along.

  11            MR. FRANCISCO:  United States Grand Jury, Southern

  12   District of New York, In Re:  John Doe, May 1996, additional,

  13   United States Courthouse, Foley Square, New York, New York,

  14   10007.  September 24, 1997, 11:04 a.m.  Appearance by

  15   assistant United States attorney, whose name is redacted,

  16   Careyann Rosenblatt, RPR, CSR, RMR, Acting Grand Jury

  17   Reporter.

  18            "Colloquy precedes.

  19            "Time noted:  11:06 a.m.

  20            "Witness enters room.

  21   "WADIH EL HAGE, called as witness,

  22            "Having been first duly sworn by The

  23            "Foreperson of the Grand Jury, was examined

  24            "And testified as follows:

  25   "EXAMINATION



                                                                722



   1   "BY ASSISTANT U.S. ATTORNEY:

   2   "Q.  Mr. El Hage, can you tell the Grand Jury for the record

   3   what your name is and please spell it.

   4   "A.  It is Wadih, W-A-D-I-H, and last name is El Hage, E-L

   5   H-A-G-E.

   6   "Q.  Legally did you have a different name at a different time

   7   in your life other than Wadih El Hage?

   8   "A.  No.

   9   "Q.  You have to speak up so everyone can hear you.

  10   "A.  Okay.

  11   "Q.  Were you ever known as John Draid, D-R-A-I-D?

  12   "A.  No.

  13   "Q.  Do you know anyone by the name of John Draid, D-R-A-I-D?

  14   "A.  No."

  15            THE COURT:  Just a moment.

  16            MR. FITZGERALD:  There's a stipulation that the

  17   government does not contend that Wadih El Hage ever used the

  18   name John Draid.

  19            THE COURT:  Very well.

  20   "Q.  I would like to begin by advising you of what your rights

  21   are before the Grand Jury.  And for the record, my name is"

  22   (redacted) "and I am an assistant U.S. attorney here in the

  23   Southern District of New York.

  24            "This Grand Jury is investigating violations of Title

  25   18, United States Code, Sections 371, 844, 921, 1958, 1959 and



                                                                723



   1   2332.  I will tell you what those numbers mean.

   2            "Section 371 is a conspiracy statute.  Section 844

   3   relates to bombings of buildings in interstate commerce.

   4            "Section 921 relates to transportation of weapons.

   5            "Section 1958 relates to interstate and foreign

   6   travel in aid of racketeering activity.

   7            "1959 relates to murders and violent crimes in aid of

   8   racketeering activity.  And Section 2332 and the ones that

   9   follow relate to terrorism.

  10            "Those are the charges that this grand jury generally

  11   is investigating.

  12            "In the course of its investigation, if the Grand

  13   Jury uncovers evidence of other alleged illegal activity, it

  14   also has the power to charge or investigate those other

  15   federal crimes.

  16            "Do you understand that general nature of the

  17   investigation?  You have to say yes or no for the record.

  18   "A.  Yes.

  19   "Q.  You have a Constitutional right to refuse to answer any

  20   questions if a truthful answer would tend to incriminate you

  21   personally.

  22            "Do you understand that right?

  23   "A.  I do.

  24   "Q.  And if you choose to answer a question, any statement

  25   that you do make can be used against you in a court of law or



                                                                724



   1   other legal proceeding.

   2            Do you understand that?

   3   "A.  Yes.

   4   "Q.  If you decide to answer any questions, you may stop

   5   answering at any time and invoke your privilege against

   6   self-incrimination.

   7            "Do you understand that?

   8   "A.  Yes.

   9   "Q.  You have a right to consult with an attorney if you wish.

  10            "Do you understand that?

  11   "A.  Yes.

  12   "Q.  And while you do not have the right to have a lawyer

  13   present in the Grand Jury room, the Grand Jury would permit

  14   you, if you wished, a reasonable opportunity to step outside

  15   the Grand Jury room and consult with an attorney if you so

  16   desire.

  17            "Do you understand that?

  18   "A.  Yes.

  19   "Q.  And you understand that if you could not afford an

  20   attorney, you could apply to the Court to have an attorney

  21   appointed for you.

  22            "Do you understand that?

  23   "A.  Yes.

  24   "Q.  For the record, today you are not represented by an

  25   attorney?



                                                                725



   1   "A.  No.

   2   "Q.  Now, the testimony that you are about to give, if you

   3   choose to do so, will be under oath.  That means that the

   4   Grand Jury has the power to indict you for perjury if it finds

   5   that you have willfully testified falsely as to any material

   6   or important fact.

   7            "Do you understand that?

   8   "A.  Yes.

   9   "Q.  And the maximum penalty for each count of perjury is five

  10   years in prison and a $250,000 fine.

  11            "Do you understand that?

  12   "A.  Yes.

  13   "Q.  And you should also understand that if you tell multiple

  14   false statements, if you tell more than one lie in the Grand

  15   Jury, you could be charged with more than one count and get

  16   higher penalties?

  17            "Do you understand that?

  18   "A.  Yes.

  19   "Q.  You should also understand that based upon your

  20   association and conduct with others, that your conduct is also

  21   being investigated by this Grand Jury for possible violations

  22   of criminal law.

  23            "Do you understand that?

  24   "A.  Yes.

  25   "Q.  Do you understand your rights?



                                                                726



   1   "A.  Yes, I do.

   2   "Q.  Now, what I would like to do if you are willing to answer

   3   questions, I would like you to begin by telling the jury where

   4   you were born?

   5   "A.  I was born in Lebanon.

   6   "Q.  In what year?

   7   "A.  1960.

   8   "Q.  Can you tell the jury when you left Lebanon and where you

   9   went?

  10   "A.  When I was two years old I left Lebanon to Kuwait with my

  11   parents.

  12   "Q.  And did there come a time when you left Kuwait?

  13   "A.  The year?

  14   "Q.  Yes.

  15   "A.  1978.

  16   "Q.  When you left Kuwait in 1978, where did you go to?

  17   "A.  I came to the states.

  18   "Q.  What particular state?

  19   "A.  Louisiana.

  20   "Q.  From 1978, how long did you stay in Louisiana?

  21   "A.  Until 1983.

  22   "Q.  And where did you go in 1983?

  23   "A.  To Pakistan.

  24   "Q.  And where in Pakistan?

  25   "A.  Peshawar.



                                                                727



   1   "Q.  And what did you do in Peshawar?

   2   "A.  I worked with the Muslim World League helping the

   3   refugees, Afghanistan refugees.

   4   "Q.  For how long did you stay in Peshawar working with the

   5   Muslim World League helping Afghani refugees?

   6   "A.  Until the end of '94 -- '84.  Until the end of '84.

   7   "Q.  And where did you go at the end of '84?

   8   "A.  I came back in the States.

   9   "Q.  To what state?

  10   "A.  Louisiana.

  11   "Q.  Just focusing on your first trip to Peshawar in 1983, did

  12   you have any contact at that time with a person by the name of

  13   Sheik Abdullah Azzam, A-Z-Z-A-M?

  14   "A.  Yes, I met him in Peshawar.

  15   "Q.  Did you work with him at the Muslim World League, with

  16   shake Abdullah Azzam at that time?

  17   "A.  No, he wasn't working with Muslim World League.

  18   "Q.  Did you engage in any firearms training in Peshawar

  19   during the 1983, 1984 time period?

  20   "A.  No, I didn't.

  21   "Q.  Did you carry a weapon?

  22   "A.  Just carried a weapon, yes, for the interest of carrying

  23   a weapon.

  24   "Q.  Did you ever travel into Afghanistan during that time

  25   period?



                                                                728



   1   "A.  No.

   2   "Q.  So you stayed in the country of Pakistan at all times?

   3   "A.  Yes.

   4   "Q.  Now, what did you do when you got back to Louisiana in

   5   1984?

   6   "A.  I continued my studies in the university.

   7   "Q.  Which university was that in Louisiana?

   8   "A.  The University of Southwestern Louisiana.

   9   "Q.  Did you get a degree from that school?

  10   "A.  Yes.

  11   "Q.  When did you get the degree?

  12   A.  In 1986.

  13   "Q.  From '84, once you returned to Louisiana in 1984, did

  14   there come a time when you left Louisiana?  Did you go

  15   somewhere else?

  16   "A.  In the States?

  17   "Q.  Yes.

  18   "A.  Yes, I did.

  19   "Q.  Where did you go?

  20   "A.  To Arizona.

  21   "Q.  What year did you go to Arizona?

  22   "A.  In '95.

  23   "Q.  '95 or '85?

  24   "A.  '85, I am sorry.

  25   "Q.  How long did you stay in Arizona?



                                                                729



   1   "A.  For about two weeks.

   2   "Q.  The purpose of your trip to Arizona was?

   3   "A.  To get married.

   4   "Q.  And after you got married in Arizona, where did you go?

   5   "A.  I went back to Louisiana.

   6   "Q.  Did there come a time when you left Louisiana again?  Did

   7   you go somewhere else?

   8   "A.  I visited a few other states.

   9   "Q.  Did you go back to Pakistan at any time after 1985?

  10   "A.  Yes, in 1986.

  11   "Q.  When you went to Pakistan in 1986, where in Pakistan did

  12   you go?

  13   "A.  It was the town of Q-U-E-T-T-A, Quetta.

  14   "Q.  When you went to Quetta, what did you do?

  15   "A.  I worked with Mektab al Khidemat.

  16   "Q.  M-E-K-T-A-B A-L K-H-I-D-E-M-A-T.

  17            For how long did you work for Mektab al Khidemat?

  18   "A.  Almost a year.

  19   "Q.  Does Mektab al Khidemat in Arabic mean Services Office?

  20   "A.  Yes.

  21   "Q.  When you worked for the Services Office for a year, who

  22   did you work for?  Who was your boss?

  23   "A.  Well, the boss for Mektab al Khidemat in all Pakistan was

  24   Sheik Abdullah Azzam.

  25   "Q.  Did you work directly for Sheik Abdullah Azzam or did you



                                                                730



   1   work for someone else?

   2   "A.  My immediate bows?

   3   "Q.  Yes.

   4   "A.  No, it was someone else.

   5   "Q.  Who was he?

   6   "A.  His name is Abu Jandal.

   7   "Q.  Abu, spell the last name.

   8   "A.  J-A-N-D-A-L.

   9   "Q.  Abu Jandal?

  10   "A.  Yes.

  11   "Q.  The word Abu means father of?

  12   "A.  Yes.

  13   "Q.  Do you know what his real legal name was besides Abu

  14   Jandal?

  15   "A.  No.

  16   "Q.  Was it is a practice in Pakistan and Afghanistan to use

  17   Abu names rather than real names?

  18   "A.  Yes, it is a practice in many Arab countries.

  19   "Q.  When you lived in Arizona, did you have an Abu name?

  20   "A.  No.

  21   "Q.  Were you referred to as Abu Abdullah?

  22   "A.  Yes, after I had my child.

  23   "Q.  And your child's name was Abdullah?

  24   "A.  Yes.

  25   "Q.  Sometimes people would call you Abu Abdullah?



                                                                731



   1   "A.  Yes.

   2   "Q.  Are you also known as Abu al Sabbur, A-B-U, separate word

   3   A-L, separate word S-A-B-B-U-R?

   4   "A.  Yes.

   5   "Q.  And also referred to as The Engineer, Abu al Sabbur?

   6   "A.  Some people might call me.  Whoever knew that I studied

   7   and had a degree in the States, they would call me engineer,

   8   but it wasn't a famous name.

   9   "Q.  Now, when did you leave -- in the period of 1986 when you

  10   were working for the Services Office, did you have any contact

  11   with Usama Bin Laden?

  12   "A.  He visited once.  I saw him.  We didn't have any talks.

  13   I just saw him coming to the office and talking to the boss

  14   there.

  15   "Q.  Was that the first time you ever saw Usama Bin Laden?

  16   "A.  Yes.

  17   "Q.  Did you know if he had any relationship with the Mektab

  18   al Khidemat, the Services Office, or Sheik Abdullah Azzam at

  19   that time?

  20   "A.  Yes, I knew he was the financier for Mektab al Khidemat.

  21   "Q.  You understood Usama Bin Laden was providing the money to

  22   Mektab al Khidemat?

  23   "A.  Yes.

  24   "Q.  During the time in 1986 when you were in Pakistan, did

  25   you engage in any firearms training?



                                                                732



   1   "A.  No.

   2   "Q.  Did you engage in the shooting of any firearms?

   3   "A.  No.

   4   "Q.  Did you carry a weapon?

   5   "A.  Probably once or twice for the same reason of being

   6   interested in carrying a gun or -- a gun.

   7   "Q.  Why would you be interested in carrying a gun?  What was

   8   the reason?

   9   "A.  Just, I don't know, a hobby or something like that.  Many

  10   people like to carry guns.

  11   "Q.  What kind of gun did you carry?

  12   "A.  An AK-47.

  13   "Q.  An AK-47.

  14            'Did you ever travel into Afghanistan when you were

  15   in Pakistan in the 1986, 1987 period?

  16   "A.  Yes.

  17   "Q.  When you traveled into Afghanistan there was a war going

  18   on, correct?

  19   "A.  Right.

  20   "Q.  And the war was against the Russians?

  21   "A.  Yes.

  22   "Q.  Did you fight in that war?

  23   "A.  No.

  24   "Q.  Did you carry a gun when you went into Afghanistan during

  25   wartime?



                                                                733



   1   "A.  There was a time once or twice when I carried a gun.

   2   "Q.  Were you ever trained how to use a rocket-propelled

   3   grenade launcher, RPG?

   4   "A.  No.

   5   "Q.  Have you seen an RPG?

   6   "A.  Yes, I have.

   7   "Q.  Were you ever shot at while you were in Pakistan or

   8   Afghanistan?

   9   "A.  Was I shot at?  No.

  10   "Q.  Did you ever shoot at anyone?

  11   "A.  No.

  12   "Q.  During the time that you were in Pakistan in 1986, 1987,

  13   did you ever meet a person by the name of Azmarai,

  14   A-Z-M-A-R-A-I?

  15   "A.  '86, '87, no.

  16   "Q.  Now I am going to show you what has been marked for

  17   identification as Grand Jury Exhibit 3, the report.  I will

  18   describe it so the record won't be confused later.

  19            "It has two Grand Jury exhibit stickers.  One of them

  20   says 9 on it without a date.  That is from a prior use.  And

  21   for today I put a sticker on it, Grand Jury Exhibit 3 with

  22   today's date, which I believe is September 24, 1997.

  23            "It has pictures in it numbered 1 through 77, and on

  24   the back page of 77 an unnumbered picture which has more than

  25   one person in it.  So there should be a total of besides the



                                                                734



   1   pictures numbered 1 through 77 on yellow Post-Its, there is

   2   one additional photograph on the back of page 77 showing

   3   multiple males carrying weapons.

   4            "What I am going to ask you to do, Mr. El Hage, is to

   5   look through this book, I think you have seen it before, and

   6   just look at each number, read the number out loud and tell

   7   the Grand Jury whether or not you recognize the person in the

   8   picture, and when you have done that, we will go back and ask

   9   you particular questions about who the people are and how it

  10   is that you know them.

  11            "Do you understand that?

  12   "A.  Yes.

  13   "Q.  Please take whatever time you need.

  14            "(Witness perusing exhibit.)

  15   "Q.  If I could ask you to do one page at a time and read out

  16   the number.  If you recognize, say No. 1, I recognize him, or

  17   No. 1, I don't recognize him, so we are clear on the record

  18   who you know and don't know.

  19   "A.  No. 1, I don't recognize.

  20            "No. 2, I don't recognize.

  21            "No. 3, I don't recognize.

  22            "No. 4, I don't recognize.

  23            "No. 5, I don't recognize.

  24            "No. 6, I don't recognize.

  25            "No. 7, I don't recognize.



                                                                735



   1            "No. 8, I recognize.

   2   "Q.  And before you go on, No. 8, what, do you know the name

   3   of the person pictured in No. 8?

   4   "A.  He is Azmarai.

   5   "Q.  Okay.  We will come back to that.  Continue with No. 9.

   6   "A.  No. 9, I don't recognize.

   7            "No. 10, I don't recognize.

   8            "No. 11, I don't recognize.

   9            "12, I don't recognize.

  10            "13, I don't recognize.

  11            "14, I don't recognize.

  12            "15, I recognize.

  13   "Q.  And what is the name of the person you recognize in No.

  14   15?

  15   "A.  Zindani.

  16   "Q.  Do you know Zindani's first name?

  17   "A.  I don't remember.

  18   "Q.  Z-I-N-D-A-N-I.

  19            "Continue with No. 16.

  20   "A.  I don't recognize.

  21            "17, I don't recognize.

  22            "18, I don't recognize.

  23            "19, I don't recognize.

  24            "20, I don't recognize.

  25            "21, I don't recognize.



                                                                736



   1            "22, I don't recognize.

   2            "23, I recognize.

   3   "Q.  Okay."

   4            MR. FRANCISCO:  Lines 13 through 22 are redacted.

   5   "Q.  And when you went to Kuwait, what high school did you go

   6   to?

   7   "A.  The Ahmadi High School.

   8   "Q.  Spell the name of your high school.

   9   "A.  A-H-M-A-D-I.

  10   "Q.  What years did you attend the Ahmadi High School in

  11   Kuwait?

  12   "A.  '74 through '78, four years.

  13   "Q.  The person in No. 23, did you ever see that person when

  14   you were in Kuwait?

  15   "A.  No.

  16   "Q.  Continue with No. 24.

  17   "A.  I don't recognize.

  18            "25, I do recognize.

  19   "Q.  Who is No. 25?

  20   "A.  He is Sayyid Nosair.

  21   "Q.  Sayyid Nosair.  Have you met Sayyid Nosair in person?

  22   "A.  Yes.

  23   "Q.  Where did you meet Sayyid Nosair in person?

  24   "A.  At the Services Office here in New York.

  25   "Q.  The branch office of Mektab al Khidemat, the Service



                                                                737



   1   Office in New York?

   2   "A.  Yes.

   3   "Q.  What year did you meet Sayyid Nosair there?

   4   "A.  I can't recall.  I came here about three, four times.  I

   5   can't recall exactly which year was it.  I can find out.

   6   "Q.  How would you be able to find out?  What would help your

   7   memory?

   8   "A.  From my previous passport entrance and exit of the

   9   States, because I just came here.

  10            "A JUROR:  Are we supposed to hear him?

  11            "ASSISTANT U.S. ATTORNEY:  Yes.

  12   "A.  I came to this office when we were traveling to the

  13   States from Pakistan back to this office, so it was the only

  14   time I met him.  It was one of those visits.

  15   "Q.  Do you know who else was present in the room when you met

  16   Sayyid Nosair?

  17   "A.  I believe Mustafa Shalabi.  Yes.

  18   "Q.  Anyone else you recall?

  19   "A.  Maybe Zindani, maybe Abouohalima.  Those are the people I

  20   met here in New York.  I can't recall if they were all at the

  21   same time or different times.

  22   "Q.  But the people you met in New York included Sayyid

  23   Nosair, Zindani, Abouhalima and Shalabi?

  24   "A.  Yes.

  25   "Q.  Do you know where Mr. Sayyid Nosair is today?



                                                                738



   1   "A.  He is in jail.

   2   "Q.  Do you know what he is in jail for?

   3   "A.  For a crime, killing.

   4   "Q.  Killing whom?

   5   "A.  Kahane.

   6   "Q.  Is that the Rabbi Meyer Kahane?

   7   "A.  Yes.

   8   "Q.  Did you ever discuss with either Zindani and Shalabi or

   9   Abouhalima whether Sayyid Nosair killed Kahane?

  10   "A.  No, never.

  11   "Q.  How do you know Nosair killed Kahane?

  12   "A.  I heard it in the news.

  13   "Q.  Did you ever travel to firearms training with any of the

  14   people in New York?

  15   "A.  No.

  16   "Q.  Did you ever shoot a gun at a range or anywhere else in

  17   New York, New Jersey, or Connecticut?

  18   "A.  No.

  19   "Q.  Why don't you continue with picture No. 26.

  20   "A.  I don't recognize.

  21   "Q.  Sorry?

  22   "A.  26, I don't.

  23   "Q.  Have you ever seen that person before in the newspaper or

  24   magazines?

  25   "A.  I don't recall.



                                                                739



   1   "Q.  Does he look like anyone you know?

   2   "A.  Maybe Sheik, the blind Sheik, Omar Abdel Rahman?

   3   "Q.  So he looks like the blind Sheik, Sheik Omar Abdel

   4   Rahman?

   5   "A.  Close.

   6   "Q.  Have you personally ever met with Sheik Omar Abdel

   7   Rahman?

   8   "A.  Yes, at the mosque here in New York.

   9   "Q.  How many times?

  10   "A.  Probably twice at the prayers.

  11   "Q.  Have you ever met with the Sheik Omar Abdel Rahman

  12   outside of New York?

  13   "A.  No.

  14   "Q.  At the mosque you met Sheik Omar Abdel Rahman, what was

  15   the name of the mosque?

  16   "A.  Al Farouq.

  17   "Q.  F-A-R-O-U-Q?

  18   "A.  Yes.

  19   "Q.  Is that located in Brooklyn?

  20   "A.  Yes.

  21   "Q.  Have you ever had any personal conversations between you

  22   and Sheik Omar Abdel Rahman?

  23   "A.  No.

  24   "Q.  You have never seen him outside of New York?

  25   "A.  No, never.



                                                                740



   1   "Q.  You never saw him in Afghanistan?

   2   "A.  No.

   3   "Q.  Why don't you continue with No. 27.

   4   "A.  I don't.

   5            "28, I don't recognize.

   6            "29, I have seen the face, but I can't remember where

   7   or when or how.

   8   "Q.  Okay.  Do you know if you ever saw that face in the New

   9   York area?

  10   "A.  It could be.  I can't remember exactly where, but I

  11   remember seeing this face once before.

  12   "Q.  Do you know who might have been with that face when you

  13   saw it?

  14   "A.  Can't remember.

  15   "Q.  One more question.  Do you ever recall seeing that person

  16   on a trip to Saudi Arabia?

  17   "A.  No.

  18   "Q.  Continue on with No. 30.

  19   "A.  No. 30, I recognize.

  20   "Q.  And who do you recognize No. 30 to be?

  21   "A.  I don't know the name, but I have seen him also at

  22   Services Office here in New York.

  23   "Q.  Okay.  Have you ever spoken to him, as far as you know?

  24   "A.  Once said hi, that's all.

  25   "Q.  Have you ever seen the person pictured in No. 30 outside



                                                                741



   1   of the New York State area?

   2   "A.  No.

   3   "Q.  Have you ever conducted any business with the person

   4   depicted in No. 30?

   5   "A.  No.

   6   "Q.  No. 31?

   7   "A.  I don't recognize.

   8   "Q.  No. 32?

   9   "A.  I don't recognize.

  10   "Q.  No. 33?

  11   "A.  I do.

  12   "Q.  Where did you see the person pictured in photo No. 33?

  13   "A.  In Sudan.

  14   "Q.  And when in Sudan?

  15   "A.  In 19 -- either '93 or '94.

  16   "Q.  And do you know if you ever saw the person prior to that

  17   time anywhere else in the world?

  18   "A.  No, I don't remember.

  19   "Q.  Do you remember the name of that person pictured in No.

  20   33?

  21   "A.  Could be Abu Malik.

  22   "Q.  Could be Abu Malik, A-B-U, M-A-L-I-K?

  23   "A.  Yes.

  24   "Q.  But you are not sure?

  25   "A.  Not sure.



                                                                742



   1   "Q.  The person depicted in No. 33, do you know what country

   2   he is a citizen of?

   3   "A.  He is American.

   4   "Q.  So you saw an American citizen in the Sudan, the person

   5   in No. 33, in 1993 or 1994?

   6   "A.  Yes.

   7   "Q.  Where in the Sudan did you see him?

   8   "A.  In Khartoum.

   9   "Q.  Where in Khartoum?

  10   "A.  At the company I used to work at.

  11   "Q.  And the name of that company was?

  12   "A.  Taba.

  13   "Q.  T-A-B-A?

  14   "A.  Yes.

  15   "Q.  Taba Investments?

  16   "A.  Yes.

  17   "Q.  Who owned Taba Investments?

  18   "A.  Usama Bin Laden.

  19   "Q.  Where was the Taba Investments office in Khartoum?

  20   "A.  In town.

  21   "Q.  Was it in the Riyadh section of town?

  22   "A.  No, not Riyadh section.  I lived in the Riyadh section.

  23   It is a famous street, I can't remember the name of it.

  24   "Q.  Do you remember the name of the building?

  25   "A.  It was a house.  It was a house turned into an office.



                                                                743



   1   "Q.  Tell the Grand Jury what you recall about the time you

   2   saw the person pictured in No. 33 being in the Sudan at the

   3   office at Taba Investments.

   4   "A.  Excuse me?

   5   "Q.  What happened at the time you saw him in the Sudan?  What

   6   was he doing there?

   7   "A.  I don't know what was he doing, but when he talked to me,

   8   he said I am American, I am from New York, so I invited him to

   9   my house, and we had lunch together.

  10   "Q.  Did he tell you whether or not he was ever in the

  11   American military?

  12   "A.  I don't recall.

  13   "Q.  Did he look like he was fit and trim?

  14   "A.  Yes.  I think he was martial art.  He had training.

  15   "Q.  Training in martial arts?

  16   "A.  Yes.

  17   "Q.  Do you know if he had ever been to Afghanistan?

  18   "A.  I don't recall.

  19   "Q.  And do you know if he had ever been to Pakistan?

  20   "A.  I don't know, I don't recall.

  21   "Q.  Do you know whether or not the person depicted in No. 33

  22   knew Abouhalima from New York?

  23   "A.  I don't know.

  24   "Q.  Do you know whether or not the person depicted in No. 33

  25   knew Nosair from New York?



                                                                744



   1   "A.  I don't know.

   2   "Q.  Do you know if he knew Shalabi from New York?

   3   "A.  No, I don't know.

   4   "Q.  Now, you were in the Sudan in 1993 and 1994 living there?

   5   "A.  Yes.

   6   "Q.  And you knew three or four people from New York --

   7   correct? -- from the Services Office?

   8   "A.  In Sudan?

   9   "Q.  When you were in New York you had met three or four

  10   people?

  11   "A.  Yes.

  12   "Q.  And this fellow shows up from New York as an American

  13   citizen, which is unusual in the Sudan, correct?

  14   "A.  For me.

  15   "Q.  Did you ask him about the people you knew in New York

  16   from the mosque?

  17   "A.  No, I don't remember asking him, no.

  18   "Q.  You mentioned an Abu Malik.  You are not sure whether

  19   that his name or not?

  20   "A.  Right.

  21   "Q.  The person you remember as Abu Malik, had Abu Malik been

  22   to Afghanistan?

  23   "A.  Abu Malik, I remember someone called Abu Malik, but I

  24   can't remember his picture how he looked like.

  25   "Q.  What did Abu Malik do in Afghanistan?



                                                                745



   1   "A.  He was with the mujahadeen.

   2   "Q.  And the mujahadeen were the people fighting the Russians?

   3   "A.  Yes.

   4   "Q.  They carried guns and RPG's and shot at the Russian

   5   soldiers?

   6   "A.  Yes.

   7   "Q.  What did the person named Abu Malik do for the

   8   mujahadeen?

   9   "A.  I met him in Peshawar, and he told me he was with the

  10   mujahadeen.

  11   "Q.  In what year?

  12   "A.  In '89.

  13   "Q.  Did you ever see Abu Malik again after that?

  14   "A.  No.

  15   "Q.  The person in No. 33, you are not sure whether he is Abu

  16   Malik, you are just sure you saw him in the Sudan?

  17   "A.  Yes.

  18   "Q.  Who else did you see at Taba Investments' offices in the

  19   Sudan besides Abu Malik?

  20   "A.  I really don't know.

  21   "Q.  Did Madani al Tayyib, did he work at the same office as

  22   you?

  23   "A.  Yes.

  24   "Q.  Do you know if the person in No. 33 spoke to Madani al

  25   Tayyib when he was there?



                                                                746



   1   "A.  I don't remember if he spoke to him or not.

   2   "Q.  Do you know if the person depicted in No. 33 knows Usama

   3   Bin Laden?

   4   "A.  No.

   5   "Q.  Did you ever discuss mujahadeen with the person depicted

   6   in photograph No. 33?

   7   "A.  I don't remember, no, I don't think so.

   8   "Q.  How many times did you see the person depicted in No. 33

   9   in the Sudan?

  10   "A.  Just that one day.

  11   "Q.  Just once?

  12   "A.  Yes.

  13   "Q.  Did anyone indicate to you that he was on the run from

  14   anyone who was looking for him?

  15   "A.  No.

  16   "Q.  Did anyone indicate he was wanted by any authorities?

  17   "A.  No.

  18   "Q.  What did you think of the person in No. 33 when you saw

  19   him in the Sudan?

  20   "A.  What did I think of him?

  21   "Q.  Yes.

  22   "A.  I thought he was sent by the American Embassy to check on

  23   me probably.

  24   "Q.  Why do you think the American Embassy would send him to

  25   check on you?



                                                                747



   1   "A.  Because I was in Sudan and the Sudanese government was

   2   one of the governments that is not favored for other

   3   countries, and mainly the United States.

   4   "Q.  So that we are clear, so you didn't think he was coming

   5   to do you a favor from the embassy, you thought he was there

   6   to spy on you?

   7   "A.  Yes.  This thought came to me.

   8   "Q.  And you invited him home to your house for lunch?

   9   "A.  Yes.

  10   "Q.  Was that before or after you thought he was there to spy

  11   on you?

  12   "A.  Probably before.

  13   "Q.  Did you talk to anyone about the person depicted in No.

  14   33, any of your friends, and ask them what they thought of

  15   this person?

  16   "A.  No.

  17   "Q.  Now, you saw him once and you invited him to lunch at

  18   your house?

  19   "A.  Yes.

  20   "Q.  Did he come to lunch?

  21   "A.  Yes.

  22   "Q.  Who was there for lunch?

  23   "A.  Just me and him and my family was.

  24   "Q.  And how long did he stay for lunch?

  25   "A.  Probably hour and a half.



                                                                748



   1   "Q.  Do you know what he was doing, if he had gone to any

   2   other countries on the way to the Sudan on that occasion?

   3   "A.  He told me he left his wife and children in Egypt and he

   4   came to Sudan.

   5   "Q.  Do you know where in Egypt he left his wife and children?

   6   "A.  Cairo.

   7   "Q.  Cairo.  Do you know why he left his wife and children in

   8   Cairo?

   9   "A.  No.

  10   "Q.  Do you know if any family events were going on at the

  11   time in his life when you saw him?

  12   "A.  Family events?

  13   "Q.  Any weddings, funerals, things like that?

  14   "A.  No, I don't know.

  15   "Q.  Do you know where he went after he left Khartoum?

  16   "A.  I don't know.

  17   "Q.  Do you know if he ever traveled to Yemen?

  18   "A.  No, I don't.

  19   "Q.  Do you know if he ever traveled to Somalia?


  20   "A.  I don't.

  21   "Q.  What is your best recollection of the year that you saw

  22   this person depicted in photograph 33?

  23   "A.  The year I saw him?  Either '93 or '94.

  24   "Q.  Do you recall what time of year it was?

  25   "A.  No, I can't.



                                                                749



   1   "Q.  Anything else you can recall about the person depicted in

   2   photograph No. 33?

   3   "A.  That is it.

   4   "Q.  Why don't you move on to photograph 34.

   5   "A.  I don't recognize.

   6   "Q.  You have never seen the person pictured in No. 34?

   7   "A.  No.

   8   "Q.  35?

   9   "A.  Don't recognize.

  10   "Q.  36?

  11   "A.  Don't recognize.

  12   "Q.  37?

  13   "A.  I don't recognize.

  14   "Q.  38?

  15   "A.  I don't recognize.

  16   "Q.  Have you ever been to Denmark?

  17   "A.  No.

  18   "Q.  Ever been to Copenhagen?

  19   "A.  No.

  20   "Q.  39?

  21   "A.  I don't recognize.

  22   "Q.  40?

  23   "A.  Don't recognize.

  24   "Q.  41?

  25   "A.  I don't recognize.



                                                                750



   1   "Q.  42?

   2   "A.  Don't recognize.

   3   "Q.  43?

   4   "A.  I don't recognize.

   5   "Q.  44?

   6   "A.  I don't recognize.

   7   "Q.  45?

   8   "A.  I don't recognize.

   9   "Q.  46?

  10   "A.  I don't recognize.

  11   "Q.  47?

  12   "A.  I do.

  13   "Q.  Who is No. 47?

  14   "A.  It is Abouhalima.

  15   "Q.  And where did you first meet Abouhalima?

  16   "A.  At the Services Office.

  17   "Q.  In?

  18   "A.  In New York.

  19   "Q.  New York.  Did you ever meet Abouhalima outside of the

  20   United States?

  21   "A.  No.

  22   "Q.  Do you know if he ever went to Afghanistan or Pakistan,

  23   Abouhalima?

  24   "A.  No, I don't think he had ever been there.

  25   "Q.  How many times did you see Abouhalima in New York?



                                                                751



   1   "A.  Probably three times.  At three different visits.

   2   "Q.  Why don't you tell us about the first time you met

   3   Abouhalima.

   4   "A.  First time?

   5   "Q.  Yes.

   6   "A.  Could have been '87.

   7   "Q.  Do you recall how it is that you met him?

   8   "A.  Excuse me?

   9   "Q.  Do you recall how it is that you met Abouhalima?

  10   "A.  At the office, at the Services Office.

  11   "Q.  Do you know who introduced you?

  12   "A.  He was there in the office and I just talked to him.

  13   "Q.  By the way, do you know where Abouhalima is today?

  14   "A.  He is in jail.

  15   "Q.  Do you know what he is in jail for?

  16   "A.  He was accused of the World Trade Center bombing.

  17   "Q.  So he is in jail for the World Trade Center bombing?

  18   "A.  Yes.

  19   "Q.  When you met him in 1987, when was the next time you met

  20   him after that?

  21   "A.  Probably on my way back, because when I met him the first

  22   time I was going to Pakistan.  I went there for a month and

  23   then I came back.  He also came to Mektab al Khidemat and I

  24   met him.

  25   Q.  That was the second time that you met him?



                                                                752



   1   "A.  Yes.

   2   "Q.  Do you recall who was there the second time you met

   3   Abouhalima?

   4   "A.  Probably Mustafa Shalabi."

   5            MR. FITZGERALD:  Your Honor, I believe at this point

   6   your Honor was going to give an instruction regarding the

   7   World Trade Center bombing to the jury.

   8            THE COURT:  Yes.  The instruction is that there is no

   9   count in this indictment alleging that any defendant in this

  10   case was involved in the bombing of the World Trade Center.

  11   The bombing of the World Trade Center is not charged against

  12   any defendant in this case.

  13            MR. FITZGERALD:  Thank you.

  14   "Q.  By the way, do Abouhalima and Shalabi look alike?

  15   "A.  Yes, very much.

  16   "Q.  And do you recall what you discussed with Abouhalima on

  17   the second occasion, the second time you met him?

  18   "A.  We never had any special discussion together.

  19   "Q.  We will come back to that.

  20            "Did there come a third time you met Abouhalima?

  21   "A.  Yes, in '89.

  22   "Q.  And where was that?

  23   "A.  The same place.

  24   "Q.  And who was present in 1989?

  25   "A.  Same people, probably.



                                                                753



   1   "Q.  And do you recall what you discussed with Abouhalima on

   2   the third time you met him in 1989?

   3   "A.  That was when Shalabi died.

   4   "Q.  Shalabi was murdered, correct?

   5   "A.  Yes."

   6            MR. FITZGERALD:  If I could interrupt.  There's also

   7   a stipulation that the government did not contend that Wadih

   8   El Hage participated in the murder of Mustafa Shalabi or had

   9   any prior knowledge of the murder.

  10            THE COURT:  Very well.

  11   "Q.  And was that the last time that you saw Abouhalima or did

  12   you see him again after that?

  13   "A.  No, that was the last time I saw him.

  14   "Q.  We will come back to Shalabi's murder in a minute.

  15            "Now, you understand it is important to give full and

  16   complete answers to the Grand Jury.

  17   "A.  Yes.

  18   "Q.  You said you never had any special discussions with

  19   Abouhalima; is that correct?

  20   "A.  Yes, at those visits.

  21   "Q.  Did you have special discussions with Abouhalima on any

  22   other occasion?

  23   "A.  We probably talked over the phone.

  24   "Q.  Approximately how many times did you speak by phone to

  25   Abouhalima?



                                                                754



   1   "A.  Three, four times.

   2   "Q.  And what did you discuss by telephone?

   3   "A.  One time he asked me if I can buy weapons for him to come

   4   and pick it up because he wanted to take it for the training,

   5   training the people he was sending to Afghanistan.

   6   "Q.  So he called you to buy weapons so that he could pick

   7   them up and use them to train people for Afghanistan?

   8   "A.  Yes.

   9   "Q.  When he called you, where did you live?

  10   "A.  In Texas, Dallas, Texas.

  11   "Q.  He called you, as you understood it, from New York?

  12   "A.  Yes.

  13   "Q.  What kind of weapons did he want you to buy?

  14   "A.  AK-47 and a Seminov.

  15   "Q.  S-E-M-I-N-O-V?

  16   "A.  I think so.  I am not sure.

  17   "Q.  How many AK-47s did he want you to buy?

  18   "A.  One.

  19   "Q.  How many Seminovs did he want you to buy?

  20   "A.  Two.

  21   "Q.  And did he want you to buy any handguns?

  22   "A.  No.

  23   "Q.  What year was this?

  24   "A.  In '89.

  25   "Q.  And how do you place the date in your mind?  Why do you



                                                                755



   1   remember it as 1989?

   2   "A.  It was before I left, I think it is the same period when

   3   I left Dallas to Pakistan.  Probably '89, '90, in that period.

   4   Probably six-month period.

   5   "Q.  And at the time that Mr. Abouhalima asked you to buy

   6   weapons for him, did you have any weapons yourself already?

   7   "A.  Yes, I had a handgun.

   8   "Q.  What kind of handgun?

   9   "A.  A revolver.

  10   "Q.  A revolver?

  11   "A.  I think it was a .45 revolver.

  12   "Q.  Was that a licensed weapon?

  13   "A.  Yes.

  14   "Q.  And when you were living in Texas, did you go hunting?

  15   "A.  No, not in Texas.

  16   "Q.  Did you go hunting in Arizona?

  17   "A.  Yes.

  18   "Q.  What type of weapons would you use to go hunting in

  19   Arizona?

  20   "A.  Shotguns and AK-47.

  21   "Q.  You would go hunting with an AK 47?

  22   "A.  Yes.  It wasn't mine.  The AK-47 wasn't mine.

  23   "Q.  After Abouhalima asked you to get weapons, what did you

  24   do?  Did you buy them?

  25   "A.  Yes, I did.



                                                                756



   1   "Q.  Where did you buy them?

   2   "A.  In the Dallas area.

   3   "Q.  From a store or from a person?

   4   "A.  From a person.

   5   "Q.  Who was the person that you bought the weapons from?

   6   "A.  My brother-in-law.

   7   "Q.  What is your brother-in-law's name?

   8   "A.  John Ray.

   9   "Q.  R-A-Y?

  10   "A.  Yes.

  11   "Q.  Do you know where John Ray got the weapons?

  12   "A.  From dealers.  He was dealing himself, but he didn't have

  13   a shop.

  14   "Q.  Did he have a federal firearms license, your

  15   brother-in-law?

  16   "A.  I don't know.  Yes.  You mean license to buy and sell

  17   weapons?  Yes, he did.

  18   Q.  When you bought the weapons from your brother-in-law, John

  19   Ray, did you do paperwork to show that you did the

  20   transaction?

  21   "A.  Yes, uh-huh.

  22   "Q.  Did you file the paperwork with the government?

  23   "A.  Me?  No, I didn't.

  24   "Q.  Do you know if he did?

  25   "A.  I am sure he did.  It is his job.



                                                                757



   1   "Q.  How much did you pay for the AK-47?

   2   "A.  I don't recall.  Probably $300.

   3   "Q.  How much did you pay for the two Seminovs?

   4   "A.  150, 150.

   5   "Q.  And did Abouhalima send you the money?

   6   "A.  Yes.

   7   "Q.  Before or after?

   8   "A.  Before.

   9   "Q.  How did he send it?

  10   "A.  He sent a check.

  11   "Q.  In his name?

  12   "A.  In my name.

  13   "Q.  Drawn on his account?

  14   "A.  I don't recall if it was on his account or cashier's

  15   check.

  16   "Q.  So you cashed the check, you bought the guns?

  17   "A.  Yes.

  18   "Q.  What did you do with them?

  19   "A.  Kept them in my place.

  20   "Q.  For how long?

  21   "A.  Almost period of six months.

  22   "Q.  Did you call Abouhalima to tell him you had the weapons

  23   ready?

  24   "A.  Yes.

  25   "Q.  And what happened?



                                                                758



   1   "A.  Nothing.  He never came to pick them up.

   2   "Q.  Did you ever make any efforts to try and ship the weapons

   3   to New York?

   4   "A.  No.

   5   "Q.  Why not?

   6   "A.  I didn't want to.

   7   "Q.  You went out and bought the guns, right?

   8   "A.  Yes.

   9   "Q.  He wanted them, correct?

  10   "A.  Right.

  11   "Q.  You had them?

  12   "A.  Uh-huh.

  13   "Q.  He is in New York?

  14   "A.  Yes.

  15   "Q.  Why didn't you send them there?

  16   "A.  He supposed to come and pick them up.  He said he would

  17   come and pick them up himself.

  18   "Q.  Did you ever talk to him about it?

  19   "A.  Yes.

  20   "Q.  Did he ever come?

  21   "A.  No.

  22   "Q.  Did he ever give you a reason why he didn't come to pick

  23   up the weapons?

  24   "A.  No.  Whenever we talked, he said he would come soon after

  25   a week or after a few days, but he never did.



                                                                759



   1   "Q.  What happened to the weapons?

   2   "A.  I eventually sold them.

   3   "Q.  To whom?

   4   "A.  I advertised in the paper and people came and bought

   5   them.

   6   "Q.  Do you know the names of the people who came to buy them?

   7   "A.  No, I don't recall.

   8   "Q.  What paper did you advertise in?

   9   "A.  The paper in Arlington.  I can't recall the name.

  10   "Q.  English language newspaper?

  11   "A.  Yes.

  12   "Q.  Just an ordinary newspaper in Arlington?

  13   "A.  Yes.

  14   "Q.  Did you fill out any paperwork when you sold the guns

  15   that were in your name to the people who came to answer the ad

  16   in the paper?

  17   "A.  No.

  18   "Q.  Did you have a firearms license at the time?

  19   "A.  No.

  20   "Q.  Were you concerned you shouldn't be selling guns to

  21   people and not filling out paperwork?

  22   "A.  I asked about this, I was told I can sell it and

  23   everybody puts ads in the paper for firearms and people just

  24   buy and sell.

  25   "Q.  How much did you sell the guns for?



                                                                760



   1   "A.  I can't remember exactly, but probably the same as I

   2   bought them, or maybe less.

   3   "Q.  Did you talk to Abouhalima about the fact that you sold

   4   the guns?

   5   "A.  I don't recall telling him that."

   6            MR. FRANCISCO:  Lines 1 through 9 are redacted.

   7   "Q.  Were you ever asked to buy a larger quantity of guns than

   8   just the AK-47 and the two Seminovs?

   9   "A.  No.

  10   "Q.  Were you ever asked to provide a handgun to Abouhalima?

  11   "A.  No.

  12   "Q.  Do you recall ever giving Abouhalima a Brazilian made .9

  13   millimeter handgun?

  14   "A.  No.  I had the Brazilian made handgun, I sold that.

  15   "Q.  When did you get the Brazilian .9 millimeter handgun?

  16   "A.  In that same period.

  17   "Q.  From whom?

  18   "A.  I don't remember.  It is either my brother-in-law or

  19   where I bought it at a shop.

  20   "Q.  If you bought it at the shop, did you fill out the

  21   paperwork in your own name?

  22   "A.  I must have, yes.

  23   "Q.  What did you do with the .9 millimeter?

  24   "A.  I sold it.

  25   "Q.  To whom?



                                                                761



   1   "A.  I don't recall.  I remember putting it in the paper, but

   2   I can't recall whom I sold it to.

   3   "Q.  Could you have sold it to Abouhalima?

   4   "A.  I don't think so.  Abouhalima never took anything from

   5   me, any weapon.

   6   "Q.  Could you have sold it to anyone in New York?

   7   "A.  No.

   8   "Q.  Did you sell it to anyone to be used to bodyguard Sheik

   9   Omar Abdel Rahman?

  10   "A.  No, I don't know any of those people.

  11   "Q.  As you sit here today, do you have any idea where that .9

  12   millimeter Brazilian made handgun is?

  13   "A.  I just remember -- I can't recall where did I dispose it.

  14   I am sure I sold it to someone.

  15   "Q.  You were at picture No. --

  16   "A.  47.

  17   "Q.  -- 47.  Continue with 48.

  18   A.  I don't recognize it.

  19            "49, I don't recognize.

  20            "50, I don't recognize.

  21            "51, I don't recognize.

  22            "52, I don't recognize.

  23            "53, I don't recognize.

  24            "54, I do.

  25   "Q.  Who is 54?



                                                                762



   1   "A.  It is Abu Rida.

   2   "Q.  R-I-D-A?

   3   "A.  Yes.

   4   "Q.  Who is Abu Rida?

   5   "A.  He was working in Khartoum.

   6   "Q.  In what year?

   7   "A.  '92, '93.

   8   "Q.  Did you ever meet Abu Rida prior to meeting him in

   9   Khartoum?

  10   "A.  No.

  11   "Q.  Did you ever see him in Afghanistan or Pakistan?

  12   "A.  I don't recall, but he was there.

  13   "Q.  How do you know Abu Rida was in Afghanistan or Pakistan?

  14   "A.  He told me.

  15   "Q.  What company did Abu Rida work for?

  16   "A.  Taba, same.

  17   "Q.  The same.  That is the company owned by Bin Laden?

  18   "A.  Yes.

  19   "Q.  Did Abu Rida know Usama Bin Laden?

  20   "A.  Yes.

  21   "Q.  Were they close?

  22   "A.  Just working for him.  I don't know how close they are.

  23   "Q.  What was Abu Rida's job with Taba Investments?

  24   "A.  Marketing and buying the products, marketing the products

  25   and buying equipment.



                                                                763



   1   "Q.  What was your job with Taba Investments?

   2   "A.  The same.

   3   "Q.  What was different about what Abu Rida did from what you

   4   did?

   5   "A.  I took over his job.  When I came over, I took over his

   6   job.

   7   "Q.  When you took over Abu Rida's job, what did Abu Rida do?

   8   "A.  He opened his own investing office.

   9   "Q.  Where?

  10   "A.  In Khartoum.

  11   "Q.  What was the name of Abu Rida's separate investment

  12   office?

  13   "A.  I don't recall.

  14   "Q.  Did you -- when you did purchases for Taba Investments,

  15   or for that matter, for any company at any time, did you ever

  16   buy explosives?

  17   "A.  No.

  18   "Q.  Did you ever buy explosives even for construction?

  19   "A.  No.

  20   "Q.  Did you ever buy weapons for any of Bin Laden's

  21   companies?

  22   "A.  No.

  23   "Q.  Did you know if Abu Rida ever bought explosives for any

  24   of Bin Laden's companies?

  25   "A.  No.



                                                                764



   1   "Q.  Did you know if Abu Rida ever bought weapons for Bin

   2   Laden's companies?

   3   "A.  No.

   4   "Q.  Do you know of anyone in the world who bought explosives

   5   for Bin Laden?

   6   "A.  No.

   7   "Q.  Are you sure?

   8   "A.  Yes.

   9   "Q.  Do you know of anyone in the world who bought weapons for

  10   Bin Laden?

  11   "A.  I don't.

  12   "Q.  Was Bin Laden a multimillionaire?

  13   "A.  Yes.

  14   "Q.  Many, many businesses?

  15   "A.  Yes.

  16   "Q.  Supports Jihad throughout the world?

  17   "A.  Yes.

  18   "Q.  You worked for his companies?

  19   "A.  Yes.

  20   "Q.  You did international work for them, correct?

  21   "A.  Right.

  22   "Q.  And in the different Jihads in the different countries,

  23   they need weapons, correct?

  24   "A.  I think so.

  25   "Q.  So under oath you are telling this jury you don't know



                                                                765



   1   anyone, anywhere who ever bought weapons from Bin Laden?

   2   "A.  I don't.

   3   "Q.  How sure are you that the person depicted in No. 64 is

   4   Abu Rida?

   5   "A.  54?

   6   "Q.  54, sorry.

   7   "A.  How sure?

   8   "Q.  Yes.

   9   "A.  I have seen him.  I have seen him several times.

  10   "Q.  Do you know where Abu Rida is today?

  11   "A.  I think he is in Sudan.

  12   "Q.  When was the last time you spoke to Abu Rida?

  13   "A.  In '94.

  14   "Q.  And is that by telephone or in person?

  15   "A.  In person before I left Sudan.

  16   "Q.  Have you ever seen Abu Rida since 1994 in person?

  17   "A.  No.

  18   "Q.  Have you spoken to Abu Rida by telephone since 1994?

  19   "A.  No.

  20   "Q.  Have you communicated with Abu Rida by fax, e-mail or

  21   Internet since 1994?

  22   "A.  No.

  23   "Q.  Continue with No. 55.

  24   A.  I don't recognize.

  25   "Q.  56?



                                                                766



   1   "A.  I don't recognize.

   2   "Q.  57?

   3   "A.  I don't recognize.

   4   "Q.  58?

   5   "A.  I don't recognize.

   6   "Q.  59?

   7   "A.  This is Mustafa Shalabi.

   8   "Q.  When did you first meet Mustafa Shalabi?

   9   "A.  In '87.

  10   "Q.  Where did you first meet Mustafa Shalabi?

  11   "A.  At the office, the Services Office.

  12   "Q.  Who introduced you?

  13   "A.  No one.  I just went to the office and met him there.

  14   "Q.  What brought you there?

  15   "A.  I was traveling to Pakistan and I was to pick up some

  16   money and aid that's going to the refugees over there.

  17   "Q.  Did you get any money from Shalabi?

  18   "A.  No, he didn't give me any money.

  19   "Q.  Did you ask him for money?

  20   "A.  No.

  21   "Q.  Why did you laugh?

  22   "A.  Why would I ask him for money?

  23   "Q.  Wasn't Shalabi in charge of raising money in New York for

  24   the Afghani refugees?

  25   "A.  Yes.



                                                                767



   1   "Q.  You were going to bring money to Afghani refugees in

   2   Afghanistan?

   3   "A.  Yes.

   4   "Q.  Wouldn't you normally ask the person in charge of the aid

   5   in New York, ask him for money?

   6   "A.  I thought you said if I ask him for myself.

   7   "Q.  Okay.  I meant money for you to bring to the refugees.

   8   "A.  Yes.

   9   "Q.  Did he give you any?

  10   "A.  No, he didn't.

  11   "Q.  Why not?

  12   "A.  For some reason he didn't want to send it at that time.

  13   Maybe it wasn't ready.  I did not discuss this with him.  I

  14   just, I think I waited a day or two for my flight, for my next

  15   flight to Pakistan.

  16   "Q.  When did you next see Mustafa Shalabi?

  17   "A.  On my way back.

  18   "Q.  And did you conduct any business with Mustafa Shalabi at

  19   that time?

  20   "A.  No.

  21   "Q.  How many times total did you meet with Mustafa Shalabi?

  22   "A.  Two times.

  23   "Q.  Just twice?

  24   "A.  Yes.

  25   "Q.  And the first time was when you were on your way over to



                                                                768



   1   Pakistan, the second time was on your way back, correct?

   2   "A.  No.  No.  Then there must be more than two times because

   3   I met him after that.

   4            "Only two times, right.  Once I was going, the second

   5   I was coming back.

   6            "I was supposed to meet him again in '89 just before

   7   he died.  I am not sure he died in '89 or in '90, but it was

   8   my last visit, I was supposed to go and meet him, but he was

   9   killed before I met him.

  10   "Q.  Forgetting the last time when you didn't meet him because

  11   he had been killed, were the first two meetings with Shalabi,

  12   did you ever give him anything or did he ever give anything to

  13   you?

  14   "A.  No.

  15   "Q.  You never gave him money or weapons?

  16   "A.  No.

  17   "Q.  You never received money or weapons from him?

  18   "A.  No.

  19   "Q.  Did you ever bring messages to Shalabi from Pakistan?

  20   "A.  No.

  21   "Q.  Did you ever bring messages from Shalabi to Pakistan?

  22   "A.  He sent letters with me to people in Pakistan.

  23   "Q.  Who were the people that you delivered the letters to?

  24   "A.  People in the Services Office in Peshawar.

  25   "Q.  Sheik Abdullah Azzam?



                                                                769



   1   "A.  Not necessarily.  Other people working there.

   2   "Q.  Do you recall their names?

   3   "A.  No.

   4   "Q.  Do you know what the letters were about?

   5   "A.  No, they were closed letters."

   6            THE COURT:  Suppose we stop at that point.  So it's

   7   on page 56, line 25.  And we'll break for lunch and we'll

   8   resume at 2:15.

   9            DEPUTY CLERK:  Court stands in recess until 2:15.

  10            THE COURT:  Enjoy your lunch.

  11            (Luncheon recess)

  12

  13

  14

  15

  16

  17

  18

  19

  20

  21

  22

  23

  24

  25



                                                                770



   1                 A F T E R N O O N    S E S S I O N

   2                             2:15 p.m.

   3            (In open court; jury not present )

   4            THE COURT:  Mr. Fitzgerald, what do we do on Tuesday

   5   if Mr. Schmidt should not be recovered?

   6            MR. DRATEL:  Your Honor, he'll ready.

   7            THE COURT:  What's the next order of business?

   8            MR. FITZGERALD:  After Al Fadl, your Honor, the next

   9   order of business involves El Hage, but we need to work out

  10   submissions on which witness we go with next, the search of El

  11   Hage's premise in 1997.  Mr. Karas has been talking to

  12   Mr. Dratel about submissions.

  13            THE COURT:  If something should happen on Tuesday, I

  14   want there to be another witness and go forward.  I don't want

  15   to have a break.

  16            MR. FITZGERALD:  Yes, Judge.  Here is the issue,

  17   Judge.  The witness we wish to call, I understand there may be

  18   submissions from El Hage.  We're waiting to hear back.  We

  19   took this witness out of order and posed several other El Hage

  20   witnesses so the problem is, we don't know where we go yet

  21   until we hear back.

  22            MR. DRATEL:  We have to have the 3500.  Before we do

  23   that, we don't know what the nature of our position is.

  24            MR. FITZGERALD:  We have a search agent and a

  25   computer agent, agents who seized computers and translations



                                                                771



   1   and we have potential Somalia proof that I know Mr. Karas has

   2   been talking to Mr. Dratel about the issues concerning the

   3   search agents, the agents seizing the computer, the computer

   4   experts downloading the material and then the translations.

   5            THE COURT:  If there is anything that is going to

   6   require a ruling by the Court, is there any reason why that

   7   can't be presented to me by 10 o'clock tomorrow?

   8            MR. DRATEL:  Yes, I think so, because two reasons

   9   why.  One is that I'm not sure what issues we want to be

  10   handling in what order.  Somalia we'll be able to get to the

  11   government our position on Somalia probably by sometime

  12   tomorrow morning is my guess.  There is more than just us.

  13   There is another team that is involved as well, so that

  14   involves communication in that regard.  But the first issue is

  15   combing and until we receive the 3500.

  16            MR. FITZGERALD:  The 3500 will be ready today.  Mr.

  17   Karas is looking at it now.  My understanding is Mr. Karas and

  18   Mr. Dratel already talked about certain issues independent of

  19   the 3500 material that might come up.

  20            MR. DRATEL:  It's a question of whether we're going

  21   to cross on certain topics but until we see the 3500 I don't

  22   know what is in there.  But the other question about computer

  23   experts that is something.  It has to do with mirroring of the

  24   hard drive from the computer that was seized in Nairobi and

  25   there was a problem with replicating that in New York, so we



                                                                772



   1   need to know what we're going to do about it.

   2            MR. FITZGERALD:  Your Honor, my only point being this

   3   grand jury testimony was supposed to be about three weeks from

   4   now.  There are a number of outstanding issues that we waited

   5   for and we jumped ahead.

   6            THE COURT:  Now we know about Tuesday, and we know

   7   that Mr. Schmidt may very well decide that two hours of

   8   cross-examination is more than enough.  Then what happens?

   9            MR. FITZGERALD:  My only point is, your Honor, we've

  10   been trying to put the 3500 material, but the witnesses keep

  11   changing because we've had issues with regard to search

  12   engine, computer engine or with Somalia.

  13            THE COURT:  It's one or the other or a third and you

  14   can give them all three and you can have all three of them

  15   lined up.  You know when it gets to be August an September and

  16   the jury weary and you are weary, and I'm weary, we're going

  17   to look back at times when things could have moved in a more

  18   rapid pace.

  19            MR. FITZGERALD:  Judge, I don't think we're going to

  20   see August and September, first.  And part of the problem what

  21   we told you is if we don't know if there is a stipulation or

  22   something and we don't have an answer whether the Somalia

  23   witness is in or out, we try to work, but we have to hear

  24   back.  We're stuck.

  25            THE COURT:  I understand.  I understand Mr. Schmidt



                                                                773



   1   getting the flu which is contrary to a court order which threw

   2   things off, but I do really want to have continuity.

   3            (Continued on next page)

   4

   5

   6

   7

   8

   9

  10

  11

  12

  13

  14

  15

  16

  17

  18

  19

  20

  21

  22

  23

  24

  25



                                                                774



   1            (Jury present)

   2            THE COURT:  Good afternoon.  We continue with the

   3   reading of Government Exhibit 400 which are the grand jury

   4   minutes of examination of defendant El Hage and I believe we

   5   ended up, we're on page 56, line 25.

   6   "Q.  Now, there came a time when you said that you were going

   7   to see Shalabi in some year, just before he was killed?

   8   "A.  Uh-huh.

   9   "Q.  Can you tell the grand jury the circumstances under which

  10   you decided to go to New York on that occasion?

  11   "A.  He called me in Dallas and asked me to come over to take

  12   care of the office while he goes to Pakistan for about two

  13   weeks so I agreed on that.  So the day I went there he called

  14   me.  I told him I will arrive at a certain time for him to

  15   meet me.  When I arrived at the airport he wasn't there so I

  16   called the office and Zindani was there.  He came and picked

  17   me up and then we went to the office.  We waited for Shalabi

  18   to show up.  He didn't show up.  Then either the next day or

  19   the day after, we found out that he was killed.

  20   "Q.  Did you learn how he was killed?

  21   "A.  Not exactly but he was, I think he was tortured or was

  22   cut with knives.

  23   "Q.  When you learned he was tortured and cut with knives,

  24   were you curious as to who did it?

  25   "A.  Yes.



                                                                775



   1   "Q.  What did you do about who it was that killed Shalabi?

   2   "A.  There were different opinions.  Some said probably the

   3   Mossad, the Israeli intelligence.  Some say it is the CIA.

   4   Some others say it is the people of Omar Abdel Rahman.  It was

   5   different opinions.

   6   "Q.  Now, when he called you before you showed up in New York

   7   and you discovered shortly after that he was dead, he called

   8   you in Texas, although you had only met him, met twice in your

   9   life?

  10   "A.  Uh-huh.

  11   "Q.  And he asked you to run the Services Office while he was

  12   in New York while he was in Pakistan?

  13   "A.  Yes.

  14   Q.  Had you heard rumors in the community that Mustafa Shalabi

  15   was not trusted at that point in time?  Before you came to New

  16   York did you hear people saying that Shalabi could not be

  17   trusted?

  18   "A.  No.

  19   "Q.  Have you heard any rumors he was taking money from the

  20   Services Office for himself?

  21   "A.  There was, after.

  22   "Q.  You heard that afterwards but not before?

  23   "A.  Yes.  Yes.

  24   "Q.  Did you hear any dispute between Shalabi in New York and

  25   the Mektab al Khidemat office in Pakistan as to how Shalabi



                                                                776



   1   was handling link money?

   2   "A.  No.  The dispute was in the office, here in the New York

   3   office.

   4   "Q.  And you heard about the dispute after Shalabi was killed?

   5   "A.  Yes, in those two days that I stayed in the office.

   6   "Q.  Now, when you were invited to go to New York, how long

   7   did you think you were going to stay running the Services

   8   Office while Shalabi was in Pakistan?

   9   "A.  15 days as we agreed.

  10   "Q.  And what did you think would happen at the end of the 15

  11   days?

  12   "A.  He would come back and I'd go back to Texas.

  13   "Q.  Did you call anyone before you came to New York to tell

  14   them that you were coming to New York to help run the Services

  15   Office for Shalabi while I was in Pakistan?

  16   "A.  I don't recall calling anyone.

  17   "Q.  By the way, was the Services Office in New York also

  18   known as the Al Kifah in New York?

  19   "A.  Yes.

  20   "Q.  When you saw Zindani at the airport how did he treat you?

  21   "A.  Normally.

  22   "Q.  Did you have any discussions with Zindani as to why it

  23   was you were coming to New York to run the Services Office

  24   while Shalabi was away?

  25   "A.  No.  I did not.



                                                                777



   1   "Q.  Did Zindani ever indicate to you that Shalabi had been

   2   thrown out of the Services Office and had no right to ask you

   3   from Texas to run the Services Office?

   4   "A.  No.  He didn't know I was coming to take over the office.

   5   "Q.  Did you ever tell him you were coming to take over the

   6   office?

   7   "A.  No.

   8   "Q.  As far as you know did he ever learn that you were coming

   9   to take over the office?

  10   "A.  I don't know.

  11   "Q.  Did he ever yell at you about that Zindani?

  12   "A.  No.

  13   "Q.  Did he ever throw you out of the office and say, don't

  14   come back, you weren't supposed to be here?

  15   "A.  No.

  16   "Q.  When Shalabi was killed where was his wife and family at

  17   the time?

  18   "A.  He already sent them to Egypt.

  19   "Q.  So he sent the family on ahead?

  20   "A.  Yes.

  21   "Q.  Do you know who took the family to the airport?

  22   "A.  No.

  23   "Q.  Did you ever discuss it with anyone?

  24   "A.  No.

  25   "Q.  As you sit here today do you know who killed Mustafa



                                                                778



   1   Shalabi?

   2   "A.  No.

   3   "Q.  Now, why don't you continue with picture number --

   4   "A.  60.

   5   "Q.  -- 60.

   6   "A.  I don't know.  I don't recognize it.

   7   "Q.  Okay.

   8   "A.  61, I don't recognize.  62 I don't recognize.  63 I don't

   9   recognize.  64 I don't recognize.  65 I don't recognize.  66,

  10   I don't recognize.  67, I don't recognize.  68, I don't

  11   recognize.

  12   "Q.  There are different pictures on 68 of three different

  13   people, and you recognize none of them?

  14   "A.  None of them.

  15   "Q.  69?

  16   "A.  I don't recognize.

  17   "Q.  70?

  18   "A.  I don't recognize.

  19   "Q.  71?

  20   "A.  I don't recognize.

  21   "Q.  72?

  22   "A.  I don't recognize.

  23   "Q.  73?

  24   "A.  I don't recognize.

  25   "Q.  74?



                                                                779



   1   "A.  I don't recognize.

   2   "Q.  75?

   3   "A.  I don't recognize.

   4   "Q.  76?

   5   "A.  I don't recognize.

   6   "Q.  The upper right-hand corner of 77 it is a bad picture I

   7   know.  Do you recognize that person?

   8   "A.  No.

   9   "Q.  If you could turn over the back of 77, take your time and

  10   look at the group photograph and see if you recognize anyone

  11   in there?

  12   "A.  No.  I don't.

  13            Assistant United States Attorney:  Why don't we take

  14   a short break.

  15            (Witness temporarily excused, time noted 12:05 p.m.)

  16            (No colloquy follows.)

  17            (No colloquy precedes:  Time noted 12:19 p.m.)

  18            (Witness resumed).

  19            THE FOREPERSON:  I must remind you you are still

  20   under oath.

  21            (The record was read)

  22   "Q.  I will show you a few more photographs.  One is marked

  23   Grand Jury Exhibit 4 on the back with a small 1 with the date

  24   9/24/97.  Take a look at that and tell me if you recognize the

  25   person in that picture?



                                                                780



   1            (Witness perusing photograph)

   2   "A.  No.

   3   "Q.  The next one is marked Grand Jury Exhibit 9 with the date

   4   9/24/97, a man standing.  Take a good look at the picture and

   5   tell me if you recognize who that is?

   6            (Witness perusing photograph)

   7   "A.  I don't.

   8   "Q.  Let me show you what's been marked Grand Jury Exhibit 6

   9   with the date on the sticker of 9/24/97 and ask if you

  10   recognize the person in this photograph from a newspaper

  11   clipping in Arabic?

  12   "A.  Yes, this is Usama Bin Laden.

  13   "Q.  And the picture of Usama Bin Laden appears to be in front

  14   of a library with a weapon hanging in front of it.  Do you

  15   recognize the weapon, what kind of weapon is it?  It is AK-47?

  16   "A.  Yes.

  17   "Q.  Do you recognize the setting in which Usama Bin Laden is

  18   sitting with the weapon?

  19   "A.  I don't understand what you mean.

  20   "Q.  Have you been in that room in which Usama Bin Laden is

  21   sitting?

  22   "A.  No.  Never.

  23   "Q.  Have you ever seen Usama Bin Laden in that library?

  24   "A.  No.

  25   "Q.  When was the last time you saw Usama Bin Laden in person?



                                                                781



   1   "A.  In '94.

   2   "Q.  You are positive?

   3   "A.  Yes.

   4   "Q.  Under oath your testimony is that you have not seen Usama

   5   Bin Laden in 1995, 1996, or 1997.  Is that correct?

   6   "A.  Yes.

   7   "Q.  Have you spoken to Usama Bin Laden by telephone in 1995,

   8   1996 or 1997?

   9   "A.  I talked to him once after I left Sudan.

  10   "Q.  What occasion was that?

  11   "A.  He was asking me about the spare parts for tractors that

  12   I had purchased earlier in Khartoum and that they needed it

  13   urgently.  I should travel to go and pick it up.

  14   "Q.  When you spoke to him by telephone, where were you and

  15   where was he?

  16   "A.  I was in Nairobi.

  17   "Q.  In Kenya?

  18   "A.  Yes.

  19   "Q.  And Usama Bin Laden was where?

  20   "A.  In Khartoum.

  21   "Q.  And who called who?

  22   "A.  He called me.

  23   "Q.  And did you go to Slovakia?

  24   "A.  Yes, I did.

  25   "Q.  And who did you go with?



                                                                782



   1   "A.  Alone.

   2   "Q.  Alone?

   3   "A.  Yes.

   4   "Q.  What did you do in Slovakia?

   5   "A.  I went to the tractor company.  It is called Zetor

   6   Company.

   7   "Q.  Can you spell the name of the tractor company?

   8   "A.  Z-E-T-O-R.

   9   "Q.  Where in Slovakia are they located?

  10   "A.  In the city of Martin.

  11   "Q.  Can you spell that?

  12   "A.  M-A-R-T-I-N.

  13   "Q.  And did you do a business deal with that company in

  14   Martin in Slovakia?

  15   "A.  Yes.  I did.

  16   "Q.  And did you do it in your name or in the name of Taba

  17   Investments?

  18   "A.  It is in the name of Laden International.  It is my,

  19   under my name, but are for Laden International.

  20   "Q.  What year was this?

  21   "A.  Starting '92.

  22   "Q.  When did you finish the deal?

  23   "A.  I finished one deal in '92, another one in '93 and this

  24   spare parts deal in '95.  I am not sure if it was '95 or early

  25   '96.  Most probably '95.



                                                                783



   1   "Q.  Do you have your passport with you?

   2   "A.  Yes, I do.

   3   "Q.  Can you look at it and tell us the date you went to

   4   Slovakia?

   5   "A.  This passport is in '95, it is for '95.

   6   "Q.  Which date?

   7   A.  It is written in their language of the 7th of, I can't

   8   read the name of the month.  It says '95.

   9   "Q.  Did you use a bank account for that transaction?

  10   "A.  Yes, I did.

  11   "Q.  And where was the bank account located?

  12   "A.  In Vienna.

  13   "Q.  At what bank?

  14   "A.  Girocredit.

  15   "Q.  G-I-R-O Credit?

  16   "A.  Yes.

  17   "Q.  In whose name was the bank account?

  18   "A.  My name.

  19   "Q.  In your name, Usama Bin Laden's money?

  20   "A.  Yes.

  21   "Q.  What was the amount of money used for the transaction --

  22   strike that.

  23            What was the amount of money for which you paid the

  24   company in Slovakia for the equipment that you purchased?

  25   "A.  Well, $25,000 was transferred to the account to my



                                                                784



   1   account in Vienna to pay for spare parts and other things.

   2   The first time I don't recall the exact numbers, but we paid

   3   all the 25 for the company, but on two different consignments.

   4   "Q.  How much was paid in total for the company?

   5   "A.  $25,000.

   6   "Q.  Total?

   7   "A.  In that year.

   8   "Q.  In that year?

   9   "A.  Yes.

  10   "Q.  What did you get for the $25,000?

  11   "A.  Spare parts, spare parts.

  12   "Q.  You say spare parts and some other things.  What were the

  13   other things?

  14   "A.  There were no other things.  Just spare parts for

  15   tractors.

  16   "Q.  Where were the spare parts sent to?

  17   "A.  To Khartoum.

  18   "Q.  Was Usama Bin Laden still living in Khartoum at that

  19   time?

  20   "A.  Yes.

  21   "Q.  Did there come a time when you learned that Usama Bin

  22   Laden moved from Khartoum back to Afghanistan?

  23   "A.  Yes.

  24   "Q.  When did that happen?

  25   "A.  '96.



                                                                785



   1   "Q.  How did you learn about it?

   2   "A.  Newspapers.

   3   "Q.  Did anyone call you personally and tell you Usama Bin

   4   Laden has moved?

   5   "A.  No.

   6   "Q.  You are sure?

   7   "A.  Yes.

   8   "Q.  Did anyone visit you to tell you that Usama Bin Laden had

   9   moved?

  10   "A.  No.

  11   "Q.  The last time you spoke to him regarding the Slovakia

  12   transaction when did you speak to him, what year?

  13   "A.  After that?

  14   "Q.  Yes.

  15   "A.  That was the last time.

  16   "Q.  So since 1994, other than the one phone call involving

  17   the tractor transaction in Slovakia, you have not spoken to

  18   Usama Bin Laden at all?

  19   "A.  Yes.

  20   "Q.  Have you communicated with him by fax during the time

  21   after 1994 by sending a telecopier fax?

  22   "A.  No.

  23   "Q.  Have you communicated with him by Internet or E Mail?

  24   "A.  No.

  25   "Q.  Since 1994?



                                                                786



   1   "A.  No.

   2   "Q.  Have you communicated with anyone who represented Bin

   3   Laden as his representative?

   4   "A.  Yes.

   5   "Q.  Who did you communicate with?

   6   "A.  Madani.

   7   "Q.  When was the last time you spoke to Madani al Tayyib?

   8   "A.  I think in '95.

   9   "Q.  Did you communicate with Madani al Tayyib in 1996 or

  10   1997?

  11   "A.  Maybe by phone.

  12   "Q.  Try your best to recall.  Did you speak to Madani al

  13   Tayyib in 1996 or 1997?

  14   "A.  I am sure I didn't speak with him in '97 but in '96

  15   possibly.  I am not sure.

  16   "Q.  Abu -- do you know Abu Hafs al Masry al Khabir?

  17   "A.  Yes.

  18   "Q.  He is a very close associate of Madani al Tayyib?

  19   "A.  Yes.

  20   "Q.  Did you speak to him in 1994, 1995, 1996 or 1997?

  21   "A.  Yes.

  22   "Q.  Did you communicate with Abu Hafs al Masry in 1994 or

  23   1995, 1996, 1997 in any way, by phone, in person, by fax, by E

  24   Mail or by Internet?

  25   "A.  In 1994 just in Khartoum before I left.



                                                                787



   1   "Q.  You spoke to him in person?

   2   "A.  Yes.

   3   "Q.  After you left Khartoum in 1994 did you ever communicate

   4   with Abu Hafs al Masry by phone, by Internet, by mail or by

   5   fax?

   6   "A.  No.

   7   "Q.  We will come back to that.  Let me show you a picture by

   8   the way of a newspaper article in front of you Grand Jury

   9   Exhibit 2.  Do you recognize what newspaper that is?

  10   "A.  The name?

  11   "Q.  Yes?

  12   "A.  It is Al Quds.

  13   "Q.  And the Al Quds al Arabi, did you see that article when

  14   it appeared in Al Quds al Arabi, the one you are looking at

  15   now?

  16   "A.  This article?

  17   "Q.  Yes.

  18   "A.  No.

  19   "Q.  Let me show you Grand Jury Exhibit 1 with a date written

  20   on the exhibit sticker 9-24-97.  It's a picture of a man by

  21   the name of Rashad Khalifa.  Now, do you know who Rashad

  22   Khalifa is?

  23   "A.  Yes.

  24   "Q.  When did you first hear of Rashad Khalifa?

  25   "A.  In Tucson, Arizona.



                                                                788



   1   "Q.  What year?

   2   "A.  '97.

   3   "Q.  '97 or '87?

   4   "A.  '87, sorry.

   5   "Q.  Rashad Khalifa claimed to be a Muslim, correct?

   6   "A.  Yes.

   7   "Q.  And he had a different way of practicing Islam; is that

   8   correct?

   9   "A.  Yes.

  10   "Q.  And he believed a lot in numbers -- correct -- and how

  11   numbers determine things, correct?

  12   "A.  Yes.

  13   "Q.  And many of the people who followed Islam thought that he

  14   was off the true path of Islam; is that correct?

  15   "A.  That's right.

  16   "Q.  And he had men and women mixed at prayer time, correct?

  17   "A.  Yes.

  18   "Q.  And they didn't wear traditional Muslim garb; is that

  19   correct?

  20   "A.  Yes.

  21   "Q.  It was during that time that people thought that Rashad

  22   Khalifa was a heretic, an infidel?

  23   "A.  Some people said.

  24   "Q.  The mosque that Rashad Khalifa prayed at how for away

  25   from your mosque was it?



                                                                789



   1   "A.  About ten minutes.

   2   "Q.  And what was the name of the mosque that you prayed at?

   3   "A.  The Islamic Center of Tucson.

   4   "Q.  And where was your home in relation to the mosque that

   5   Rashad Khalifa prayed at?

   6   "A.  Also about ten minutes far.

   7   "Q.  Did you, can you explain to the jury what a fatwa is,

   8   F-A-T-W-A?

   9   "A.  Fatwa is a religious opinion given by a scholar.

  10   "Q.  And did you ever hear of any fatwas issued by Rashad

  11   Khalifa was a heretic and should be killed?

  12   "A.  No, never.

  13   "Q.  You never heard of it?

  14   "A.  No.

  15   "Q.  Even to this day?

  16   "A.  No.  Never heard of a fatwa, but heard people saying that

  17   someone who does something that he did he should be killed.

  18   Just normal people, not fatwa from a scholar who is

  19   responsible for what he says.

  20   "Q.  Do you recall the name of the normal people you heard say

  21   that people who do what Rashad Khalifa did should be killed?

  22   "A.  No.  I don't.  There were students at the mosque over

  23   there, mostly students that they talked.  I can't recall

  24   anyone specific who said that.

  25   "Q.  Do you recall learning that there came a time when Rashad



                                                                790



   1   Khalifa was killed in Arizona?

   2   "A.  Yes.

   3   "Q.  And prior to the murder of Rashad Khalifa, did someone

   4   come to visit you in Tucson?

   5   "A.  Concerning Rashad Khalifa?

   6   "Q.  Yes?

   7   "A.  Yes.

   8   "Q.  Could you tell the grand jury what happened, who came to

   9   see you, why, and what you did?

  10   "A.  Someone called me and said he is a visitor from New York

  11   and he is waiting at the mosque and he would like to see me.

  12   "Q.  Did this person give his name?

  13   "A.  He said Abu something.  I can't remember.

  14   "Q.  You can't remember his name?

  15   "A.  No.

  16   "Q.  And he said he was visiting from New York?

  17   "A.  Yes.

  18   "Q.  Did he say how he got your phone number?

  19   "A.  No.  Never bothered to ask.

  20   "Q.  You never asked him how he got your phone number?

  21   "A.  No.

  22   "Q.  What did you say when he asked you if he could speak to

  23   you?

  24   "A.  I said, okay.  I went to the mosque.

  25   "Q.  What happened when you got to the mosque?



                                                                791



   1   "A.  I saw him and he told me he came to see Rashad Khalifa

   2   and investigate the things he heard about Rashad Khalifa and

   3   his teaching.

   4   "Q.  What did he tell you he heard about Rashad Khalifa and

   5   his teaching?

   6   "A.  He said he heard teachings that contradict teachings of

   7   what all the Muslims agree on.

   8   "Q.  Did he specify what those teachings were?

   9   "A.  I don't recall if he specified things, but I understood

  10   what he meant because we all knew the things that Rashad

  11   Khalifa did.

  12   "Q.  Such as?

  13   "A.  Things that you mentioned, like the prayer mixing of men

  14   and women, and the numbers, theory of numbers, that he said

  15   the Koran is depending on numbers.  These things were

  16   contradicting what most Muslims believe in.

  17   "Q.  When you met with him at the mosque who else was present?

  18   "A.  I don't recall any specific person but there were other

  19   people.

  20   "Q.  How long did you meet with him at the mosque?

  21   "A.  About ten, 15 minutes.

  22   "Q.  Did he tell you sent him to Arizona to check out Rashad

  23   Khalifa?

  24   "A.  No.

  25   "Q.  Did you ask him?



                                                                792



   1   "A.  No.

   2   "Q.  Did he tell you who in New York had given him your name?

   3   "A.  No.

   4   "Q.  Did you ask him who in New York knew him?

   5   "A.  No.  I didn't.

   6   "Q.  Did you ask him if he knew Zindani?

   7   "A.  No, I didn't ask him about any names, but I suppose that

   8   someone, either Shalabi or Zindani or those people, they knew

   9   him.

  10   "Q.  What happened after you spoke for ten minutes at the

  11   mosque?

  12   "A.  We went to my house and had lunch.

  13   "Q.  So you invited him to your house for lunch?

  14   "A.  Yes.

  15   "Q.  Who was present?

  16   "A.  Just my family.

  17   "Q.  Your wife was there?

  18   "A.  Yes.

  19   "Q.  Did she join you in the meal?

  20   "A.  No.

  21   "Q.  But she met this fellow?

  22   "A.  No, she didn't.

  23   "Q.  And for how long did you have lunch?

  24   "A.  About hour, hour and a half.

  25   "Q.  What did you talk about?



                                                                793



   1   "A.  Just general things.

   2   "Q.  Like?

   3   "A.  I can't recall.

   4   "Q.  Did you talk about --

   5   "A.  Probably about Rashad Khalifa.

   6   "Q.  Did this person seem like he was upset with Rashad

   7   Khalifa?

   8   "A.  Yes, yes, I remember now.  He said he went to pray to the

   9   Friday prayer, it was Friday, and they wouldn't allow him in

  10   because he had the long beard and they would not allow him in

  11   to pray and he just looked from outside and he saw men and

  12   women sitting together.

  13   "Q.  What did you think about that?

  14   "A.  At the Friday prayer they are supposed to be separated.

  15   "Q.  Did the person who went to check out Rashad Khalifa, was

  16   he happy about the fact that men and women were getting

  17   together during the prayer?

  18   "A.  No, he wasn't.

  19   "Q.  Was he angry?

  20   "A.  He wasn't angry.  Just like all the Muslims are saying

  21   that this is something that is contradicting the teaching of

  22   Islam.

  23   "Q.  But he flew all the way out to New York to Arizona to go

  24   into the mosque to see what was going on, and they didn't let

  25   him in?



                                                                794



   1   "A.  Yes.

   2   "Q.  You are telling us he wasn't angry when he was back at

   3   your house having lunch?

   4   "A.  I didn't say he wasn't angry, but he told me that what he

   5   saw he wasn't happy with it or was not, what is supposed to

   6   be.

   7   "Q.  Did he have a gun?

   8   "A.  I don't know.

   9   "Q.  Did you talk to him about guns?

  10   "A.  No.

  11   "Q.  Was this during the time period when you were supposed to

  12   be getting guns from Abouhalima back in New York?

  13   "A.  No.

  14            Lines 14 and 15 are redacted.

  15   "Q.  What did this person look like?

  16   "A.  He was tall with glasses, white, long beard.

  17   "Q.  What color hair?

  18   "A.  Black.

  19   "Q.  And could you tell what ethnic background he was from?

  20   "A.  Egyptian.

  21   "Q.  So a tall, white Egyptian with black hair long beard and

  22   glasses?

  23   "A.  Yes.

  24   "Q.  Did he give you a name?

  25   "A.  No.



                                                                795



   1   "Q.  Did he give you a phone number?

   2   "A.  No.

   3   "Q.  Did you ever call him after that?

   4   "A.  No.

   5   "Q.  Did you ever see him after that?

   6   "A.  No.

   7   "Q.  Did he ever call you after that?

   8   "A.  No.

   9   "Q.  What is your best recollection of when this meeting took

  10   place when this person had lunch at your house?

  11   "A.  I think it is 1987.

  12   "Q.  Let me ask you this.  In relates to how long after this

  13   visit to your house did you learn that Rashad Khalifa was

  14   killed?

  15   "A.  A couple months.

  16   "Q.  So this person comes all the way from New York, doesn't

  17   tell you his full name, doesn't tell you who sent him, comes

  18   to a mosque, asks you to go visit him there, and you do,

  19   correct?

  20   "A.  Yes.

  21   "Q.  Then he tells you is here to check out Rashad Khalifa, a

  22   person who he thinks is against Islam, correct?

  23   "A.  I don't know whether he thought that or not.  He got this

  24   information and he wanted to be sure whether it is true or

  25   not.



                                                                796



   1   "Q.  So he flew 2,000 miles from New York to Arizona to be

   2   sure it was correct, am I right?

   3   "A.  Yes.

   4   "Q.  Then you invite him over to your house, correct?

   5   "A.  Yes.

   6   "Q.  You learn that he tried to get into the mosque but they

   7   wouldn't let him in, correct?

   8   "A.  Right.

   9   "Q.  And that is very un-Islamic to keep a Muslim out of the

  10   mosque on Friday, the prayer day, right?

  11   "A.  Right.

  12   "Q.  And he saw men and women mixing when he looked in the

  13   window at the mosque, correct?

  14   "A.  Yes.

  15   "Q.  And then he goes back to New York, correct?

  16   "A.  Yes.

  17   "Q.  And you know people are talking about Rashad Khalifa

  18   doing things against Islam and he should be killed, right, at

  19   that time?

  20   "A.  I don't recall anybody saying about he should be killed.

  21   "Q.  Now, you hear a couple of months later Rashad Khalifa is

  22   dead, right?

  23   "A.  Right.

  24   "Q.  Did it cross your mind that maybe the guy that came to

  25   visit you for lunch who came to check out Rashad Khalifa could



                                                                797



   1   have been there to kill him?

   2   "A.  Yes.

   3   "Q.  Did you tell anyone?

   4   "A.  No.

   5   "Q.  Did you tell your wife?

   6   "A.  I don't recall talking about this with her.

   7   "Q.  Did you tell the police?

   8   "A.  No.

   9   "Q.  Did you tell the FBI?

  10   "A.  No.

  11   "Q.  Did you go to the local mosque and tell the imam of the

  12   mosque you may know who could have killed Rashad Khalifa?

  13   "A.  I was overseas when this happened.

  14   "Q.  Where were you?

  15   "A.  In Pakistan.

  16   "Q.  How do you know you were in Pakistan when this happened?

  17   "A.  I heard about it.

  18   "Q.  How did you hear about it?

  19   "A.  News.

  20   "Q.  Did anyone tell you in person?

  21   "A.  I called Tucson, yes, not the news, I called Tucson and

  22   someone told me that this happened.

  23   "Q.  Who told you?

  24   "A.  I can't recall who was it.

  25   "Q.  Was it Mubarak al Dousri?



                                                                798



   1   "A.  It is possible.  One of my friends who were in Tucson.

   2   "Q.  Were you happy or sad when you heard that Rashad Khalifa

   3   was killed?

   4   "A.  I was normal.

   5   "Q.  Normal?

   6   "A.  Yes.

   7   "Q.  Were you upset?  Did you think it was a good thing or bad

   8   thing that he was dead?

   9   "A.  I think it was a good thing.

  10   "Q.  You got back from Pakistan, did you tell the imam of your

  11   mosque what you knew?

  12   "A.  I got back after a year.

  13   "Q.  And he was still dead?

  14   "A.  Excuse me?

  15   "Q.  And he was still dead, right, Rashad Khalifa?

  16            Did you tell anyone when you got back that you may

  17   know someone who could have been involved in his murder?

  18   "A.  No.

  19   "Q.  Were you at all curious to call back to New York to your

  20   friends up there to find out who it was who came to your

  21   house?

  22   "A.  No, I never thought that.

  23   "Q.  Did it strike you as odd that someone who went there to

  24   kill someone went to your house for lunch?

  25   "A.  I forgot about that visit.



                                                                799



   1   "Q.  How many times des someone come to your house to check

   2   someone out and then the person ends up dead?

   3   "A.  That is the only time I would think so.

   4   "Q.  And it didn't bother you?

   5   "A.  I have other thing to think of other than someone

   6   visiting me to check up someone else.

   7   "Q.  Did you ask anyone who sent this guy to my house, to my

   8   home, where I live with my wife and kids who seemed like they

   9   wanted to kill someone?  Did you make any effort to find out

  10   at all?

  11   "A.  I didn't think it was my business.

  12   "Q.  Not your business who comes into your home?

  13   "A.  No, who sent who.  This guy didn't come to my home.  I

  14   invited him for lunch.

  15   "Q.  When you invited him he came and walked into your home?

  16   "A.  Yes.

  17   "Q.  He sat down in your kitchen and ate?

  18   "A.  Yes.

  19   "Q.  Have you ever seen that person again?

  20   "A.  No.  Never.

  21   "Q.  Let me show you Jury Exhibit 9.  Look at it very

  22   carefully and tell us under oath whether or not this is the

  23   person who came to your house?

  24            (Witness perusing photograph)

  25   "A.  No.  That is not him.  I remember the face of that guy



                                                                800



   1   very well.

   2   "Q.  How does that guy's face differ from the guy in Grand

   3   Jury Exhibit 9?

   4   "A.  I don't know but it is, but it is very close.  This guy

   5   is the same thing, white, with long beard, and I think he is

   6   Egyptian.  He looks like Egyptian.  But I am not sure if this

   7   is him or not.  If I see the picture of that person I am sure

   8   I can recognize him.

   9   "Q.  Do you know if Grand Jury Exhibit 9 is or is not the

  10   person that came to your home?

  11   "A.  No.  It is not.

  12   "Q.  Can you tell us any differences between the person who

  13   came to your house and Grand Jury Exhibit 9?

  14   "A.  I think that one was bigger, wider.

  15   "Q.  The guy who came to your house was bigger and wider?

  16   "A.  Yes.

  17   "Q.  The guy who came to your house, did you ever hear whether

  18   or not he later ever worked for Usama Bin Laden?

  19   "A.  No.  I never seen him after that or heard anything about

  20   him.

  21   "Q.  Did you ever discuss him with anyone in Pakistan?

  22   "A.  No.

  23   "Q.  Did you ever discuss the fact that Rashad Khalifa was

  24   killed with the people in Pakistan working at Mektab al

  25   Khidemar?



                                                                801



   1   "A.  Might have, or we were discussing it with different

   2   people.

   3   "Q.  Were they happy that he was dead?

   4   "A.  Some are.

   5   "Q.  Do you know anything else about the murder of Rashad

   6   Khalifa that you have not told this grand jury today?

   7   "A.  No.

   8   "Q.  Did you ever go by the mosque where Rashad Khalifa

   9   preached, yourself?

  10   "A.  I've passed by it several times.

  11   "Q.  Did you ever take the man who came to visit you to go by

  12   that mosque?

  13   "A.  No.

  14   "Q.  How did you get to your house?

  15   "A.  By car.  I took him by my car.

  16   "Q.  You went to the mosque, you pick him up, brought him to

  17   your house?

  18   "A.  Yes.

  19   "Q.  How did he leave your house?

  20   "A.  I don't remember.  Either I took him back to the mosque

  21   or he left walking.

  22   "Q.  How long a walk is it from your house to the mosque that

  23   you picked him up at?

  24   "A.  About half an hour walking.

  25   "Q.  And would ordinarily invite someone over for lunch drive



                                                                802



   1   them to your house and make them walk back?

   2   "A.  No.  I took him back.

   3   "Q.  He is from New York?

   4   "A.  Yes.

   5   "Q.  Did he know where Rashad Khalifa's lives mosque was?

   6   "A.  Apparently he did because he told me he already went

   7   there for the Friday prayer.

   8   "Q.  Do you know how he got there?

   9   "A.  No.  I didn't bother to ask.

  10   "Q.  Now, when you were in Pakistan you worked for and

  11   organization called Al Bunyan al Marsous?

  12   "A.  Yes.

  13   "Q.  Can you spell that for the court reporter?

  14    "A.  AL-BUNYAN, then AL-MARSOUS.

  15   "Q.  This was a magazine?

  16   "A.  Yes.

  17   "Q.  Published out of where?

  18   "A.  Peshawar.

  19   "Q.  What years did you work for Al Bunyan al Marsous?

  20   "A.  '89.

  21   "Q.  From 1989 until when?

  22   "A.  '90.

  23   "Q.  What happened in 1990?

  24   "A.  I came back to the States.

  25   "Q.  Did you ever work for Al Bunyan after 1990?



                                                                803



   1   "A.  Yes, distributing the magazine from Arlington.

   2   "Q.  From Arlington, Texas?

   3   "A.  Yes.

   4   "Q.  For how long did you continue being associated with Al

   5   Bunyan Magazine?

   6   "A.  Almost one year.

   7   "Q.  When did that stop?

   8   "A.  I think by the end of 1990.

   9   "Q.  Did you ever go back to working for Al Bunyan after that

  10   point?

  11   "A.  No.

  12   "Q.  When you worked for Al Bunyan did you get an Al Bunyan

  13   identification card?

  14   "A.  Yes.

  15   "Q.  Who gave it to you?

  16   "A.  The manager.

  17   "Q.  Who was the manager?

  18   "A.  His name is Mohammed.

  19   "Q.  What was Mohammed's last name?

  20   "A.  Shabana, S-H-A-B-A-N-A.

  21   "Q.  Do you still have your Al Bunyan identification card?

  22   "A.  No.

  23   "Q.  Did you ever arrange for other people to get Al Bunyan

  24   identification cards?

  25   "A.  In Pakistan, yes.



                                                                804



   1   "Q.  Did those people work for Al Bunyan or were there other

   2   people who just needed identification cards?

   3   "A.  No, they were working there.

   4   "Q.  Did Asmari ever work for Al Bunyan?

   5   "A.  I don't know.

   6   "Q.  Let's talk about Azmarai.  When did you first meet

   7   Azmarai?

   8   "A.  In '83 or '84.

   9   "Q.  Where was that?

  10   "A.  In Peshawar.

  11   "Q.  What was Azmarai doing in Peshawar?

  12   "A.  He was joining the mujahideen.

  13   "Q.  Do you know who he came to Peshawar with?

  14   "A.  No.

  15   "Q.  Do you know if he knew Usama Bin Laden in Peshawar at

  16   that time?

  17   "A.  At that time, no.  I didn't know Usama Bin Laden at that

  18   time.

  19   "Q.  And where did you first meet Azmarai?

  20   "A.  Peshawar.

  21   "Q.  Did you have much contact with him in 1983?

  22   "A.  No.

  23   "Q.  What did you hear about Azmarai?

  24   "A.  He was a brave fighter.

  25   "Q.  What did you hear about what Azmarai had done that made



                                                                805



   1   him known as a brave fighter?

   2   "A.  He joined in one battle and did well, and then he was hit

   3   by a land mine and he lost, I think he lost his leg and a few

   4   fingers.

   5   "Q.  Did you come to see Azmarai again after 1983?

   6   "A.  In '89, '89 or '90.

   7   "Q.  Where did you see Azmarai the next time?

   8   "A.  In Peshawar.

   9   "Q.  What was he there?

  10   "A.  Same thing, but he was associated with Bin Laden.

  11   "Q.  And how did you find out that he was associated with Bin

  12   Laden then?

  13   "A.  From other people.

  14   "Q.  Who told you that?

  15   "A.  A friend of mine.

  16   "Q.  And his name is?

  17   "A.  Mohammed Kassem.

  18   "Q.  Could you spell the last name?

  19   "A.  K-A-S-S-E-M.

  20   "Q.  So Mohammed Kassem, could you tell us how you knew

  21   Mohamed Kassem?

  22   "A.  I Mets him in Peshawar.

  23   "Q.  How close were you as friends?

  24   "A.  Very close.

  25   "Q.  What was Mohammed Kassem doing in Peshawar?



                                                                806



   1   "A.  He was emigrated from Iraq to Peshawar with his whole

   2   family.

   3   "Q.  Did he have an Abu name?

   4   "A.  No.

   5   "Q.  And what did Mohammed Kassem tell you about Azmarai?

   6   "A.  Same thing, that he is a good fighter and that now he is

   7   associated with Bin Laden.

   8   "Q.  What was Bin Laden's organization called at this time?

   9   "A.  Al Qaeda.

  10   "Q.  Al Qaeda, Q-A-I-D-A?

  11   "A.  Yes.

  12   "Q.  Arabic meaning is "the base"?

  13   "A.  Yes.

  14   "Q.  And you understood Azmarai to be associated with al Qaeda

  15   at this time?

  16   "A.  No.  I don't know if he is associated with al Qaeda or

  17   Bin Laden.

  18   "Q.  Who do you understand formed al Qaeda?

  19   "A.  Abu Hafs, Abu Obaida.

  20   "Q.  And so you understood that Bin Laden, Abu Hafs and Abu

  21   Obaida formed al Qaeda?

  22   "A.  Yes.

  23   "Q.  What was the purpose of al Qaeda?

  24   "A.  To gather this different mujahideen freedom fighters in

  25   Afghanistan and to unite them and guide them together.



                                                                807



   1   "Q.  And these are the mujahideen in different countries?

   2   "A.  Yes.

   3   "Q.  Mujahideen in Algeria, Indonesia and Egypt, each fighting

   4   in their own country, they were to unite --

   5   "A.  No, the ones who were in Afghanistan.

   6   "Q.  The Afghanistan veterans going back to Algeria, Egypt and

   7   other places to fight were to be united in one organization

   8   called al Qaeda; is that what you are saying?

   9   "A.  No.  The ones who came to the -- fighting in Afghanistan,

  10   they were to be united in al Qaeda.

  11   "Q.  To do what?

  12   "A.  To fight the Russians.

  13   "Q.  The Russians had left by 1990; is that correct?

  14   "A.  Yes.

  15   "Q.  So what were they doing in 1990?

  16   "A.  It was formed in '87.

  17   "Q.  Okay.  So in '87 al Qaeda was formed to fight the

  18   Russians as a unified force?

  19   "A.  Yes.

  20   "Q.  What happened with al Qaeda after the Russians left?

  21   "A.  I don't know.

  22   "Q.  You saw Azmarai in 1989, correct?

  23   "A.  Yes.

  24   "Q.  In 198 Abu Hafs, Abu Obaida, and Usama Bin Laden still

  25   had al Qaeda going, correct?



                                                                808



   1   "A.  Yes.

   2   "Q.  The Russians were gone, correct?

   3   "A.  Right.

   4   "Q.  Who were they fighting?

   5   "A.  I don't know.

   6   "Q.  Was anyone left?

   7   "A.  Uh-huh.

   8   "Q.  The Russians were gone, correct?

   9   "A.  Yes.

  10   "Q.  The United States was still around, correct?

  11   "A.  The United States?

  12   "Q.  This country.

  13   "A.  Yes.

  14   "Q.  We were still here?

  15   "A.  Right.

  16   "Q.  Did you ever hear that al Qaeda began to target the

  17   United States?

  18   "A.  No.

  19   "Q.  Never?

  20   "A.  Not at that time.

  21   "Q.  When did you hear al Qaeda began to target the United

  22   States?

  23   "A.  In the latest interview with Usama Bin Laden CNN.

  24   "Q.  Approximately how long ago did you see Bin Laden state on

  25   CNN that the United States was now the target?



                                                                809



   1   "A.  When I came back to Nairobi about three weeks ago.

   2   "Q.  And you saw Bin Laden on CNN TV?

   3   "A.  Yes.

   4   "Q.  And you recognized his picture?

   5   "A.  Yes.

   6   "Q.  You recognized his voice?

   7   "A.  Yes.

   8   "Q.  What did you understand Bin Laden to say?  What did he

   9   say?

  10   "A.  Any particular questions?  He mentioned so many things.

  11   "Q.  I just want you your understanding of what he was saying

  12   on TV about America?

  13   "A.  About America?  He said that the regime in Saudi was

  14   corrupt and they have to change it, but it is being protected

  15   by United States troops, so in order to correct that regime we

  16   have to ask the American troops to leave, and if they don't

  17   leave by peace, then they will have to do some military action

  18   to make them leave.

  19   "Q.  Had you ever heard Usama Bin Laden state that the

  20   American forces should be attacked, prior to seeing it on CNN

  21   television?

  22   "A.  No, never.

  23   "Q.  You are positive?

  24   "A.  Yes.

  25   "Q.  You are swearing that under oath, under the penalties of



                                                                810



   1   perjury -- strike the word "swear."

   2            You are stating that under oath under the penalty of

   3   perjury, that prior to hearing it on CNN you had not heard

   4   Usama Bin Laden declare that Americans should be attacked?

   5   "A.  Yes.  Never heard that before.

   6            The Assistant US Attorney:  I think it is time for a

   7   lunch break.  Can we pick it up, it is 1 o'clock.  We will

   8   pick it up at 2.  Thank you.

   9            THE FOREPERSON:  You are temporarily excused.  Please

  10   return at 2:30.

  11            (Witness temporarily excused.  Time noted 1 p.m.

  12            (Colloquy follows)

  13            (No colloquy precedes:  Time noted 2:15 p.m.)

  14            (Witness resumed.)

  15            THE FOREPERSON:  I must remind the witness he is

  16   still under oath.

  17   "Q.  Mr. Hajj, we were talking about Mr. Azmarai before lunch

  18   and you mentioned you had seen him in 1989?

  19   "A.  Yes.

  20   "Q.  And Mohammed Kassem had told you that he was, he was

  21   working with Bin Laden?

  22   "A.  Yes.

  23   "Q.  What is your best recollection of what Mohammed Kassem

  24   told you about how Asmarai and Bin Laden were working

  25   together?



                                                                811



   1   "A.  He told me that he is very close friends to him and he

   2   has most of his secrets, most of Mr. Bin Laden's secrets.

   3   "Q.  Azmarai had most of Bin Laden's secrets?

   4   "A.  Yes.

   5   "Q.  Did Mr. Kassem tell you what any of those secrets were?

   6   "A.  I don't think he knew any.

   7   "Q.  Did you know what the secrets concern?

   8   "A.  Not really.

   9   "Q.  Azmarai was a military guy, correct?

  10   "A.  Correct.

  11   "Q.  He was a gay that lost part of his hand and part of his

  12   leg against the Russians?

  13   "A.  Yes.

  14   "Q.  He was known as a great fighter?

  15   "A.  Yes.

  16   "Q.  Do you know if his secrets with Bin Laden concerned

  17   military work?

  18   "A.  I don't know, could be.

  19   "Q.  Did you ever hear of Azmarai fighting against the Tajiks

  20   in Tajikistan?

  21   "A.  No, never heard of that.

  22   "Q.  Did you ever hear about Azmarai fighting the Russians

  23   just over the Tajikistan border?

  24   "A.  No.

  25   "Q.  Did you ever see a videotape made of Azmarai fighting in



                                                                812



   1   Tajikistan against the Russians?

   2   "A.  No, never.

   3   "Q.  Did you ever hear about such a videotape?

   4   "A.  I heard about operations, but I didn't know there were

   5   any videotapes.

   6   "Q.  Did you ever hear about any operations that Azmarai

   7   participated in?

   8   "A.  No.

   9   "Q.  When did you see Azmarai next after 1989?

  10   "A.  I think it was last year.  Either '89 or '90.  Just

  11   before I left Pakistan back to the States.

  12   "Q.  How many times in total did you see Azmarai?

  13   "A.  Probably four or five times that year.

  14   "Q.  Okay.  Did you attend his wedding?

  15   "A.  Yes.

  16   "Q.  Where did he get married?

  17   "A.  In Peshawar.

  18   "Q.  And how many people attended his wedding?

  19   "A.  I don't know; 15 or 20 people.

  20   "Q.  15 or 20 people?

  21   "A.  Yes.

  22   "Q.  So you were fairly close to Azmarai if you attended his

  23   wedding as one of the 15 or 20 guests?

  24   "A.  I wasn't close to him, no.  Probably because Mohammed

  25   Kassem invited me in.  Not Azmarai himself.



                                                                813



   1   "Q.  Who did Azmarai marry?

   2   "A.  I don't know.

   3   "Q.  Was the woman he married related to anyone else involved

   4   in the jihad?

   5   "A.  I don't know, but most probably yes.  But I don't know.

   6   I am not sure.

   7   "Q.  Was Bin Laden at the wedding?

   8   "A.  I don't recall his being there, no.

   9   "Q.  Well, Bin Laden was pretty famous, correct?

  10   "A.  Yes.

  11   "Q.  They called him the mujahid sheik?

  12   "A.  I don't recall this name, but he was given so many hero

  13   names.

  14   "Q.  If Bin Laden were at their wedding would you remember it?

  15   "A.  I believe so, if he was at the wedding, because I haven't

  16   seen him that many times in Peshawar, so if he was at the

  17   marriage I would have remembered.

  18   "Q.  Who do you remember being at the wedding besides

  19   yourself, Azmarai, Mohammed Kassem, who else was there?

  20   "A.  Mohamed Shabana.

  21   "Q.  That's the fellow who ran Al Bunyan Magazine?

  22   "A.  Yes.

  23   "Q.  Anyone else that you recall?

  24   "A.  I remember there were about three, four other Saudi guys.

  25   "Q.  Do you remember their names?



                                                                814



   1   "A.  I think Abdel Mejid is one of them.

   2   "Q.  Did he go by any other names, Abdel Mejid?

   3   "A.  I only know him by that name.

   4   "Q.  Do you know where Abdel Mejid was from?

   5   "A.  Saudi.

   6   "Q.  From Saudi.  Do you know where he lived in Pakistan?

   7   "A.  In Peshawar.

   8   "Q.  Do you know who he worked for?

   9   "A.  For Usama Bin Laden.

  10   "Q.  What did he do for Usama Bin Laden?

  11   A.  I don't know what he worked for Usama Bin Laden.

  12   "Q.  Had you ever seen Abdel Mejid before Azmarai's wedding?

  13   "A.  Yes.  I seen him a few times in Peshawar.

  14   "Q.  Did you see him after Azmarai's wedding?

  15   "A.  I don't recall that, but I probably did.

  16   "Q.  Do you know where Abdel Mejid is today?

  17   "A.  No.

  18   "Q.  Do you know if he is alive?

  19   "A.  I don't know.  I never heard that he died.  He is

  20   probably alive.

  21   "Q.  Do you know if he has ever been arrested?

  22   "A.  No.

  23   "Q.  Do you know where Azmarai is today?

  24   "A.  Yes.

  25   "Q.  Where?



                                                                815



   1   "A.  He is in jail.

   2   "Q.  What country?

   3   "A.  I don't know.  I think he is in the United States here.

   4   I heard that the FBI, they arrested him.

   5   "Q.  For what?

   6   "A.  For the -- I am not certain.  Probably the World Trade

   7   Center bombing.

   8   "Q.  How did you hear about his arrest?

   9   "A.  News.

  10   "Q.  Was he arrested under the name of Azmarai?

  11   "A.  No, it was a different name.

  12   "Q.  Do you recall what name it was?

  13   "A.  I recall the name, the last name, it is related to a

  14   country, one of those countries north of Afghanistan.  Either

  15   Khazakhstan or Turkestan.  I recall the name, one of those

  16   country's names.

  17   "Q.  So his name is like Khazakhstan or Turkestan?

  18   "A.  Yes, according to the news.

  19   "Q.  Do you know what his first name was?

  20   "A.  No.

  21   "Q.  When was the last time you saw Azmarai?

  22   "A.  In '89, '89 or '90.

  23   "Q.  At that time you understood he was close to Bin Laden?

  24   "A.  Yes.

  25   "Q.  Do you know a -- was anyone at the wedding name Abu



                                                                816



   1   Baraa?  The wedding of Azmarai?

   2   "A.  No.

   3   "Q.  Was Madani al Tayyib at the wedding?

   4   "A.  No.

   5   "Q.  Have you ever had any financial dealings with Azmarai?

   6   "A.  No.

   7   "Q.  Did you ever send him any money?

   8   "A.  No.

   9   "Q.  Did you ever receive any money from him?

  10   "A.  No.

  11   "Q.  Did you ever hear of anyone else sending money to

  12   Azmarai?

  13   "A.  No.

  14   "Q.  Did you ever hear of Bin Laden's company giving any money

  15   to Azmarai?

  16   "A.  No.

  17   "Q.  Do you know where Azmarai received his funding from?

  18   "A.  I would think from Usama Bin Laden.

  19   "Q.  Why do you say that?

  20   "A.  Because he was working with him.

  21   "Q.  Doing what?

  22   "A.  I don't know.

  23   "Q.  Did you ever see Azmarai anywhere outside of AFghanistan?

  24   "A.  Pakistan, you mean, Peshawar?

  25   "Q.  Peshawar?



                                                                817



   1   "A.  I only saw him in Peshawar.

   2   "Q.  Let me show you what is 5, 6, 7, and 8.  All four have

   3   the date on the exhibit sticker 9/24/97.  Tell me if you

   4   recognize the four people?

   5            (Witness perusing photographs)

   6   "A.  This is Abu Hajer.

   7   "Q.  H-A-J-E-R?

   8   "A.  Yes.

   9   "Q.  What nationality is he?

  10   "A.  Iraq.

  11   "Q.  Do they call him Abu Hajer al Iraqui?

  12   "A.  No.  Just Abu.

  13   "Q.  Just Abu Hajer?

  14   "A.  Yes.

  15   "Q.  Look at 6, 7 and 8.

  16            (Witness perusing photographs)

  17   "A.  Don't recognize 6 or 7 or 8.

  18   "Q.  How do you know Abu Hajer?

  19   "A.  I knew him in Peshawar first.  He was the imam of the

  20   mosque.

  21   "Q.  And the mosque was in Peshawar?

  22   "A.  Yes.

  23   "Q.  What year did you first meet him?

  24   "A.  '89, '89 or 90, last time I went to Pakistan.

  25   "Q.  Who was he working with at that time?



                                                                818



   1   "A.  With Mektab al Khidemat.

   2   "Q.  Where you working with Mektab al Khidemat at that time?

   3   "A.  '89?

   4   "Q.  Yes.

   5   "A.  No, I was working with Akl Bunyan al Marsous.

   6   "Q.  When did you see Abu Hajer next after 1989?

   7   "A.  In Sudan in 92.

   8   "Q.  Who was Abu Hajer working for in the Sudan in 1992?

   9   "A.  For Bin Laden.

  10   "Q.  For what company?

  11   "A.  Taba.

  12   "Q.  Taba?

  13   "A.  Yes.

  14   "Q.  The same company you worked for?

  15   "A.  Yes.

  16   "Q.  And Abu Rida worked for?

  17   "A.  Yes.

  18   "Q.  And Madani al Tayyib worked for?

  19   "A.  Yes.

  20   "Q.  What was Abu Hajer doing for Taba?

  21   "A.  He was the general manager.

  22   "Q.  What he do as the general manager?

  23   "A.  Supervising the different projects that Bin Laden had in

  24   Sudan.

  25   "Q.  Did he focus on any geographic area?



                                                                819



   1   "A.  Geographic area?

   2   "Q.  Like Europe, Asia, Africa, South America.  Did he focus

   3   on a particular area?

   4   "A.  Yes, he used to travel to the East, Indonesia, Malaysia,

   5   Korea.

   6   "Q.  Did he go to the Philippines?

   7   "A.  I don't know.

   8   "Q.  Did Abu Hajer know Azmarai?

   9   "A.  I don't know, but he might have.  Most probably he did

  10   because they were at the same time in Peshawar.

  11   "Q.  Abu Hajer was close to Bin Laden?

  12   "A.  Yes.

  13   "Q.  And Azmarai was close to Bin Laden?

  14   "A.  Yes.

  15   "Q.  And Madani al Tayyib, when you were working in the Sudan,

  16   he worked for him you said, correct?  You worked for Madani al

  17   Tayyib, he was your boss?

  18   "A.  He was my boss.

  19   "Q.  And you worked for Taba, as well?

  20   "A.  Yes.

  21   "Q.  And he invited you to go leave the United States to go

  22   work in the Sudan for Bin Laden's companies?

  23   "A.  Madani al Tayyib.

  24   "Q.  Did he do that in person or by telephone?

  25   "A.  By telephone.



                                                                820



   1   "Q.  What year was that Madani al Tayyib spoke to you by

   2   telephone to invite you to the Sudan?

   3   "A.  '92.

   4   "Q.  Prior to that telephone call, how many times had you met

   5   Madani al Tayyib?

   6   "A.  Probably once or twice in Peshawar, that's all.

   7   "Q.  Why is it you think that he knew enough about you, picked

   8   up the phone and called you after meeting you only once or

   9   twice to invite you to travel from the United States to the

  10   design to work for Bin Laden?

  11   "A.  It is not him who -- it wasn't his idea.  It was Bin

  12   Laden's idea.

  13   "Q.  And why is it that Bin Laden knew so much about you that

  14   he would ask Madani al Tayyib to call you in the United States

  15   to invite you to the Sudan?

  16   "A.  He got this information from Abu Hafs.  I knew Abu Hafs

  17   since '83.

  18   "Q.  You knew Abu Hafs since '83?

  19   "A.  Yes.

  20   "Q.  How did you meet Abu Hafs?

  21   "A.  I met him in Peshawar.  At that time there were very few

  22   foreigners in Peshawar, so that's how we knew each other.

  23   "Q.  Did Abu Hafs do military work for Bin Laden?

  24   "A.  Yes.

  25   "Q.  When did he start doing military work for Bin Laden?



                                                                821



   1   "A.  I am not sure, but probably after the formation of al

   2   Qaeda.

   3   "Q.  What did -- when did you leave the United States to go

   4   back to the Sudan, to the Sudan?

   5   "A.  '92.

   6   "Q.  Who did you leave with?

   7   "A.  First I went there alone to check out the place and what

   8   kind of work would it be.  I stayed there for about two weeks

   9   and then came back, took my family and went to Sudan.

  10   "Q.  Did you fly with anyone from Texas to the Sudan when you

  11   went without your family?

  12   A.  No.

  13   "Q.  Where did you get the money for the ticket?

  14   "A.  I had the money.  I was reimbursed by Madani al Tayyib

  15   when I went to the Sudan.

  16   "Q.  Did you -- where was the travel agency that you used to

  17   get the ticket?

  18   "A.  I think it was in Dallas, in Arlington.

  19   "Q.  When you got to the Sudan, at this point you had been

  20   working in Pakistan with a number of people for a number of

  21   years -- correct? -- by the time you went to the Sudan in

  22   1992, correct?  You had been to Pakistan three different

  23   times?

  24   "A.  Right.

  25   "Q.  And you had already seen someone from the Services Office



                                                                822



   1   in New York, Sayed Nosair, who had gone to jail for murdering

   2   a rabbi, correct?

   3   "A.  Yes.

   4   "Q.  And you had said that someone left New York to come out

   5   to Arizona to stay with you to check out Rashad Khalifa, and

   6   shortly after Rashad Khalifa was murdered, correct?

   7   "A.  Yes.  Well, he didn't stay with me.

   8            (Continued on next page)

   9

  10

  11

  12

  13

  14

  15

  16

  17

  18

  19

  20

  21

  22

  23

  24

  25



                                                                823



   1   "Q.  He had lunch with you?

   2   "A.  Yes.

   3   "Q.  And Rashad khalifa was murdered, correct?

   4   "A.  Yes.

   5   "Q.  And you met Sheik Abdallah Azzam in Peshawar on your

   6   various trips and he was murdered in or about 1989, correct?

   7   "A.  Yes.

   8   "Q.  And you were invited to go to the Services Office in New

   9   York in 19 -- in the early 1990s to see Mustafa Shalabi, and

  10   the day you showed up he was murdered, correct?

  11   "A.  Yes.

  12   "Q.  And you were invited to get weapons for Mr. Abouhalima,

  13   who never picked them up in New York, correct?

  14   "A.  Yes.

  15   "Q.  And then you would find out later Abouhalima would be

  16   arrested for the World Trade Center bombing, correct?

  17   "A.  Yes.

  18   "Q.  And you would see Sheik Omar in New York, correct?

  19   "A.  Yes.

  20   "Q.  And Sheik Omar would later be arrested, correct?

  21   "A.  Yes.

  22   "Q.  And you met Azmarai in Peshawar and went to his wedding,

  23   correct?

  24   "A.  Yes.

  25   "Q.  And he would later be arrested for terrorist acts,



                                                                824



   1   correct?

   2   "A.  Yes.

   3   "Q.  Now, you go to, you get invited to go over to the Sudan

   4   to work for Bin Laden, correct?

   5   "A.  Yes.

   6   "Q.  Did you at any time think that maybe you were going to

   7   work for a terrorist organization?

   8   "A.  No.

   9   "Q.  Did you believe in Jihad?

  10   "A.  Yes.

  11   "Q.  And you believed in fighting the people that were

  12   perceived as the enemy of Islam, correct?

  13   "A.  The enemies, yes.

  14   "Q.  And in Afghanistan, the Soviet Union was the enemy of

  15   Islam, correct?

  16   "A.  Yes.

  17   "Q.  And you would fight against the enemies of Islam against

  18   anything else, correct?

  19   "A.  Yes.

  20   "Q.  And if someone told you that the United States was the

  21   enemy of Islam, you would fight the United States, correct?

  22   "A.  Yes, if it is proven.

  23   "Q.  Was it proven?

  24   "A.  No.

  25   "Q.  You have heard Bin Laden say at least as late as the CNN



                                                                825



   1   interview that the United States was the enemy of Islam,

   2   correct?

   3   "A.  Yes.

   4   "Q.  And you have heard him say that before, have you not?

   5   "A.  No.  That's the first time I heard him.

   6   "Q.  You never heard anyone working in Bin Laden's

   7   organization talk bad about the United States before then?

   8   "A.  Probably heard many people saying things like that, but I

   9   don't know if they were from Bin Laden's or not, organization.

  10            "I don't know who is from his organization, who is

  11   not, but if you are talking about people working in the Sudan,

  12   there are many people.

  13   "Q.  You were chosen in part by Madani al Tayyib on behalf of

  14   Bin Laden to work in the Sudan because you had a United States

  15   passport, correct?

  16   "A.  Yes.

  17   "Q.  And they figured with a United States passport, you could

  18   travel around the world a lot more easily, correct?

  19   "A.  Correct.

  20   "Q.  That's one of the things they liked about you, correct?

  21   "A.  Probably.

  22   "Q.  And you traveled to a lot of different places, correct?

  23   "A.  Yes.

  24   "Q.  Did you travel to Ethiopia?

  25   "A.  Not on business.  It was transit.



                                                                826



   1   "Q.  There came a time in the summer of 1996 when you obtained

   2   a visa to try to go to Addis Abbaba in Ethiopia, do you recall

   3   that?

   4   "A.  It is not 1996.

   5            "June '95.

   6   "Q.  June '95?

   7   "A.  Yes.

   8   "Q.  You checked with your passport and that gave you the

   9   correct date.

  10            "Could you tell us the exact date in June 1995 when

  11   you got the visa that would allow you to go from Kenya to

  12   Addis Abbaba, Ethiopia, the date of the visa?

  13   "A.  Check the date --

  14   "Q.  Yes.

  15   "A.  -- of the visa?

  16            "June '95.

  17            "(Witness perusing passport.)

  18   "Q.  Is there a date?

  19   "A.  23rd.

  20   "Q.  June 23rd?

  21   "A.  Yes.

  22   "Q.  Now, did you go to Ethiopia on that occasion?

  23   "A.  No.

  24   "Q.  What was the reason that you got the visa to go to

  25   Ethiopia in June of 1995?



                                                                827



   1   "A.  I got the visa just in case if there is any problems in

   2   Kenya, I would have a place to go to without having to go and

   3   obtain a visa.

   4   "Q.  What type of problems did you think might come up in

   5   Kenya?

   6   "A.  Any government problems.

   7   "Q.  Why would the government give you a problem in Kenya?

   8   "A.  Not for me, this is in general.

   9   "Q.  Do you have a problem -- give a problem to you?  You are

  10   the one who was going to leave Kenya because there might be

  11   problems?

  12   "A.  Yes.

  13   "Q.  Problems for who?

  14   "A.  Any general problems.

  15   "Q.  From whom?

  16   "A.  Ethnic clashes, things like rioting, such things.

  17   "Q.  In June of 1995 there was an attempt to murder President

  18   Mubarak of Egypt in Addis Abbaba in Ethiopia.  Did you learn

  19   about that?

  20   "A.  Yes.

  21   "Q.  How did you learn about it?

  22   "A.  The news.

  23   "Q.  Did you ever hear about it before you heard it on the

  24   news?

  25   "A.  No."



                                                                828



   1            MR. FITZGERALD:  Your Honor, I think you were going

   2   to give an instruction at this point that the attempted

   3   assassination is not charged in this case at all.

   4            THE COURT:  Yes, ladies and gentlemen, there is no

   5   charge in this case that -- which relates to the attempted

   6   assassination of President Mubarak of Egypt.  That is not a

   7   charge in this case.

   8   "Q.  When you worked for Bin Laden's companies, did you ever

   9   meet a person by the name of Mustafa Hamza, H-A-M-Z-A?

  10   "A.  No.

  11   "Q.  Have you ever heard the name Mustafa Hamza?

  12   "A.  Yes, the news.

  13   "Q.  Who is Mustafa Hamza?

  14   "A.  An Egyptian.

  15   "Q.  Why is he on the news?

  16   "A.  For trying to assassinate President Mubarak.

  17   "Q.  Did you ever hear from anyone whether or not Mustafa

  18   Hamza worked for the Bin Laden companies in Khartoum during

  19   the same time that you did?

  20   "A.  No.

  21   "Q.  Never heard that?

  22   "A.  Never heard that.

  23   "Q.  Never read it in the paper?

  24   "A.  Never.

  25   "Q.  Never heard anyone say that Mustafa Hamza was a close



                                                                829



   1   friend of Usama Bin Laden?

   2   "A.  I don't recall.

   3   "Q.  Now, you mentioned that Abu Hafs did military work for

   4   Usama Bin Laden?

   5   "A.  Correct.

   6   "Q.  Did you know Abu Ubaidah al Banshiri?

   7   "A.  Yes.

   8   "Q.  And he fought in Afghanistan as well, correct?

   9   "A.  Yes.

  10   "Q.  He was a very famous fighter?

  11   "A.  Yes.

  12   "Q.  Was he also a military commander for Bin Laden?

  13   "A.  Yes.

  14   "Q.  And did you know Abu Ubaidah al Banshiri personally?

  15   "A.  I met him in Peshawar once or twice.

  16   "Q.  In what years?

  17   "A.  In '89.  '89 or '90.

  18   "Q.  How did it come about that you met Abu Ubaidah al

  19   Banshiri in Peshawar?

  20   "A.  Through Abu Hafs.

  21   "Q.  Abu Hafs introduced you?

  22   "A.  Yes.

  23   "Q.  And Abu Hafs and Usama Bin Laden, the three of them

  24   together formed al Qaeda?

  25   "A.  Yes.



                                                                830



   1   "Q.  Did you ever join al Qaeda?

   2   "A.  No.

   3   "Q.  Are you sure?

   4   "A.  Yes.

   5   "Q.  Did you ever make bayat, B-A-Y-A-T, the pledge of bayat

   6   to as Bin Laden?

   7   "A.  No.

   8   "Q.  Have you ever pledged bayat to anyone?

   9   "A.  No.

  10   "Q.  Do you know if Abu Hafs or Abu Ubaidah al Banshiri

  11   pledged bayat to as Bin Laden?

  12   "A.  No, I wouldn't know.

  13   "Q.  Did you ever sign any contract with Bin Laden.

  14            "The contract for working in Sudan for his company,

  15   did you sign that?

  16   "A.  Yes.

  17   "Q.  And you signed, and who signed on behalf of Usama Bin

  18   Laden's company?

  19   "A.  I don't remember, but it is either Madani al Tayyib or

  20   Abu Hajer.

  21   "Q.  Did you put your thumb print on the contract?

  22   "A.  No, just signature.

  23   "Q.  Now, when was the last time you saw Abu Ubaidah al

  24   Banshiri?

  25   "A.  In Sudan before I left.



                                                                831



   1   "Q.  1994 before you left?

   2   "A.  Yes.

   3   "Q.  Do you know where he is today?

   4   "A.  Either in Sudan or in Afghanistan."

   5            THE COURT:  All right, let's break at this point and

   6   take a mid afternoon recess.

   7            (Jury not present)

   8            MR. WILFORD:  Excuse me, your Honor.

   9            THE COURT:  Yes.

  10            MR. WILFORD:  The defendants would like an

  11   opportunity to pray at this point.  Is that okay?

  12            THE COURT:  All right.

  13            MR. WILFORD:  Thank you.

  14            (Recess)

  15            THE COURT:  If I could have everyone's attention.  We

  16   have a note from Juror 647.  He'll need to take a test on

  17   March 6 at 8 a.m.  He is not sure of the length of the exam.

  18   He gives the address.  I assume that it's some type of civil

  19   service exam, and the suggestion is that we start at 1:00 on

  20   the March 6.  Does anybody have any problem with that?

  21            Is everyone here?

  22            MR. COHN:  No, there's nobody here for Mr. El Hage.

  23            THE COURT:  There is Mr. Dratel.

  24            MR. RUHNKE:  I don't see how anybody could have a

  25   problem.



                                                                832



   1            THE COURT:  I don't see how anybody could have a

   2   problem either.

   3            All right, Mr. Dratel, on Tuesday, March 6, we're

   4   going to start at 1:00 to accommodate a juror.

   5            MR. COHN:  Your Honor, when we're finished today, may

   6   I address some scheduling issues?  I don't want to bother you

   7   now.

   8            THE COURT:  Yes.  All right, is everybody here?  Yes,

   9   do you want to bring the jury in?

  10            (Jury present)

  11            THE COURT:  Ladies and gentlemen, I'll remind you of

  12   this again, but you should know that our present plans are on

  13   Tuesday, March 6, we'll start at 1:00.  We will make

  14   arrangements with the marshals in terms of transportation, but

  15   we won't sit that morning.

  16            All right.

  17   "Q.  Now, in June of '96, you went to Tanzania, correct?

  18   "A.  Yes.

  19   "Q.  And Lake Victoria is on the border of Tanzania?

  20   "A.  Yes.

  21   "Q.  There is a ferry that sank in the summer of 1996,

  22   correct?

  23   "A.  Yes.

  24   "Q.  A lot of people died in that accident, yes?

  25   "A.  Right.



                                                                833



   1   "Q.  And you went there shortly after the boat sank, correct?

   2   "A.  Yes.

   3   "Q.  And you went there to look for someone, correct?

   4   "A.  Correct.

   5   "Q.  What was the name of the person you went to look for?

   6   "A.  Abdel Habib.

   7   "Q.  Abdel, A-D-E-L, H-A-B-I-B?

   8   "A.  Yes.

   9   "Q.  Who was Adel Habib?

  10   "A.  He was an Egyptian with Dutch citizenship.

  11   "Q.  And where did you meet Adel Habib?

  12   "A.  I met him in Nairobi.

  13   "Q.  And what did Adel Habib do for work?

  14   "A.  He was a merchant, businessman.

  15   "Q.  What did he buy and sell?

  16   "A.  I don't know.

  17   "Q.  Did you ever do business with Adel Habib?

  18   "A.  I invited him to be in the board of directors of our

  19   organization in Kenya.

  20   "Q.  And the name that you used for the organization in Kenya?

  21   "A.  Help Africa People.

  22   "Q.  Did he join the board of directors?

  23   "A.  Yes.

  24   "Q.  For how long was he on the board of directors?

  25   "A.  Since the beginning of '95.



                                                                834



   1   "Q.  And after this boat sank in Lake Victoria, you went to

   2   try to find Adel Habib?

   3   "A.  Right.

   4   "Q.  And you understood he was going to be on that boat?

   5   "A.  Yes.

   6   "Q.  Was he on the boat doing work for your organization?

   7   "A.  No, he was on the boat, but not working for our

   8   organization.

   9   "Q.  And were you looking for anyone else?

  10   "A.  No.

  11   "Q.  Did you look for Abu Ubaidah al Banshiri when you went to

  12   Lake Victoria in the summer of 1996?

  13   "A.  No.

  14   "Q.  Did anyone tell you Abu Ubaidah had drowned in that ferry

  15   accident?

  16   "A.  No.

  17   "Q.  No one ever told you at any time that Abu Ubaidah drowned

  18   in the summer of 1996?

  19   "A.  No.

  20   "Q.  To this day has anyone ever told you from any sources

  21   that Abu Ubaidah was killed in that boat in the summer of 1996

  22   when it sank at Lake Victoria?

  23   "A.  Nobody told me.

  24   "Q.  Did an FBI agent tell you last night that there was a

  25   report in the newspaper that Abu Ubaidah had drowned?



                                                                835



   1   "A.  We talked about this yesterday.  I don't recall whether

   2   they told me he died or not.

   3   "Q.  But just so we are clear, before whatever conversation

   4   the FBI had with you yesterday, you had never heard from

   5   anyone or seen on any T.V. show or read in any newspaper that

   6   Abu Ubaidah al Banshiri had drowned in the ferry accident in

   7   the summer of 1996?

   8   "A.  No.  Never.

   9   "Q.  And you were not sent to that lake to try to find Abu

  10   Ubaidah al Banshiri?

  11   "A.  No.  I went looking for Adel Habib.

  12   "Q.  Did you ever tell anyone you went to Lake Victoria to try

  13   to find Abu Ubaidah al Banshiri?

  14   "A.  Haroun was there.

  15   "Q.  Haroun was there?

  16   "A.  Yes.  He went there first to look for Adel Habib.

  17   "Q.  And my question is:  Did Haroun, did he go to look for

  18   Abu Ubaidah al Banshiri?

  19   "A.  No, I don't think so.

  20   "Q.  Did you ever discuss with Haroun whether Abu Ubaidah al

  21   Banshiri drowned in Lake Victoria?

  22   "A.  I don't think Haroun knows al Banshiri.

  23   "Q.  My question was, did you ever discuss with him, Haroun,

  24   whether or not al Banshiri drowned in Lake Victoria?

  25   "A.  No.



                                                                836



   1   "Q.  So up until yesterday at no time did you have any

   2   conversation with anyone ever indicating that Abu Ubaidah al

   3   Banshiri drowned in that accident in the summer of '96?

   4   "A.  Yes.

   5   "Q.  Now, Haroun works for you in Nairobi, correct?

   6   "A.  Yes.

   7   "Q.  He knows you as Abdus Sabbur, correct?

   8   "A.  Yes.

   9   "Q.  When was the last time you saw Haroun?

  10   "A.  Three weeks ago when I came back to Nairobi.

  11   "Q.  Where did you see Haroun?

  12   "A.  In Nairobi.

  13   "Q.  Why in Nairobi?

  14   "A.  We met in the house of -- what's his name -- Adam Mohamed

  15   Noor.

  16   "Q.  Adam?

  17   "A.  Mohamed Noor.

  18   "Q.  Spell the last name for us?

  19   "A.  N-O-O-R.

  20   "Q.  N-O-O-R.  Why did you meet at that location?

  21   "A.  He called me and he said he is there with some friends of

  22   Adam Mohamed Noor, he asked me to go over there.

  23   "Q.  And where were you when he called?

  24   "A.  In the house.

  25   "Q.  Did you go there?



                                                                837



   1   "A.  Yes.

   2   "Q.  Where is the house located?

   3   "A.  In South C.

   4   "Q.  South Sea, S-E-A?

   5   "A.  Yes.  C.  No.  Just C.

   6   "Q.  South C, the capital letter C?

   7   "A.  Yes.

   8   "Q.  What did you discuss with Haroun?

   9   "A.  He told me he wanted to go and see his mother because she

  10   was sick, and he received a call from his sister saying that

  11   his mother is sick and that he needed to go to Adam Noor's to

  12   visit her.

  13   "Q.  Now, you spoke to some people in the U.S. government in

  14   Kenya, correct?

  15   "A.  Yes.

  16   "Q.  Is this before or after you spoke to the people from the

  17   U.S. government?

  18   "A.  After.

  19   "Q.  After.  Did you discuss the fact that you spoke to people

  20   from the U.S. government with Haroun?

  21   "A.  Yes, I told him.

  22   "Q.  Was he scared?

  23   "A.  Yes.

  24   "Q.  Were you scared?

  25   "A.  No.



                                                                838



   1   "Q.  Now, prior to your coming back to Kenya -- by the way,

   2   where did you come from when you went to Kenya?

   3   "A.  From Pakistan.

   4   "Q.  Where in Pakistan?

   5   "A.  I was in Karachi.

   6   "Q.  Did you cross into Afghanistan?

   7   "A.  No.

   8   "Q.  When you went to Pakistan just before returning to Kenya

   9   for the last time, did you see Bin Laden?

  10   "A.  No.

  11   "Q.  You are positive under oath?

  12   "A.  Yes.

  13   "Q.  You took a trip to Pakistan earlier this year?

  14   "A.  Yes.

  15   "Q.  Did you see Usama Bin Laden at that time?

  16   "A.  No.

  17   "Q.  You have taken two trips in the last year to Pakistan and

  18   not seen Usama Bin Laden?

  19   "A.  Yes.

  20   "Q.  Is your testimony under oath that Usama Bin Laden did not

  21   send for you to come back to Kenya from Pakistan?

  22   "A.  Yes.

  23   "Q.  Yes, it is your testimony that he did not send for you?

  24   "A.  Yes.

  25   "Q.  Did you get any messages from Usama Bin Laden on either



                                                                839



   1   trip when you went back to Pakistan in 1997?

   2   "A.  No, no messages.

   3   "Q.  Did he send you any letters?

   4   "A.  No.

   5   "Q.  Faxes?

   6   "A.  No.

   7   "Q.  E-mails?

   8   "A.  No.

   9   "Q.  Internet messages?

  10   "A.  No.

  11   "Q.  Did he tell anyone else to tell you something?

  12   "A.  No.

  13   "Q.  Did you see Abu Hafs when you went back to Pakistan in

  14   1997?

  15   "A.  No.

  16   "Q.  Did you see Abu Ubaidah al Banshiri?

  17   "A.  No.

  18   "Q.  Did you see Madani al Tayyib?

  19   "A.  No.

  20   "Q.  Did you read in the newspaper in early August of 1997

  21   that Madani al Tayyib was now in Saudi Arabia?

  22   "A.  I didn't read it, I was told about it in Kenya.

  23   "Q.  What were you told?

  24   "A.  That he is back in Saudi Arabia.

  25   "Q.  And were you told anything else about what was being



                                                                840



   1   reported in the newspaper as to where Madani al Tayyib was and

   2   what he was doing?

   3   "A.  He was in Britain, in London.

   4   "Q.  Doing what?

   5   "A.  I don't know.

   6   "Q.  Were you told that there was newspaper reports that

   7   Madani al Tayyib was talking to the government authorities in

   8   Saudi Arabia and sharing the information with the British and

   9   American authorities?  Did you hear that?

  10   "A.  Yes, I heard that.

  11   "Q.  And Madani al Tayyib was someone very close to Bin Laden,

  12   correct?

  13   "A.  Yes.

  14   "Q.  And he used to be your boss, correct?

  15   "A.  Yes.

  16   "Q.  Were you worried when you heard that Madani al Tayyib was

  17   now talking?

  18   "A.  Worried for my position in Kenya because I didn't want

  19   the Kenyan authorities to know that I was in Sudan before.

  20   That's the only worry I had.

  21   "Q.  Why were you worried about the Kenyan authorities knowing

  22   that you came from the Sudan?

  23   "A.  I was trying to keep this secret in Kenya when I was

  24   registering the organization because the relations weren't

  25   very good between Kenya and Sudan, and the Sudanese



                                                                841



   1   government.

   2   "Q.  Who told you about the reports in the newspaper that

   3   Madani al Tayyib was cooperating with various governments?

   4   "A.  One of the Kenyans.  One of the Kenyan people.  I don't

   5   recall the name.

   6   "Q.  Did you talk to anyone else about it?

   7   "A.  No.

   8   "Q.  Did you talk to Haroun about it?

   9   "A.  Maybe I did.  Probably.  I am not sure.

  10   "Q.  Madani al Tayyib was your boss for two years in the

  11   Sudan, correct?

  12   "A.  Correct.

  13   "Q.  You read or heard that in the newspaper it is reported

  14   that he is now talking to Saudi, British and American

  15   authorities, correct?

  16   "A.  Yes.

  17   "Q.  Haroun works for you, you are very close, correct?

  18   "A.  Right.

  19   "Q.  You don't know if you turned to Haroun just last month

  20   and said, gee, my boss is talking to the Saudi, British and

  21   American authorities.  You can't remember if you discussed

  22   that?

  23   "A.  Haroun has nothing to do with Madani al Tayyib.  I am

  24   saying I don't remember whether I talked to him or not because

  25   I only saw him once when Madani came and talked to me.  Haroun



                                                                842



   1   saw him then in my office.

   2            "So they don't know each other.  Haroun doesn't have

   3   to know -- I don't recall ever telling Haroun that Tayyib was

   4   my boss.

   5   "Q.  Madani al Tayyib has a bad leg, right?

   6   "A.  Yes.

   7   "Q.  Which leg is bad?

   8   "A.  I can't remember now.  It has been more than two years

   9   since I saw him last.

  10   "Q.  He is amputated below the knee?

  11   "A.  Right.

  12   "Q.  And he goes by the name Abu Fadel al Makkee?

  13   "A.  Yes.

  14   "Q.  That means he is from Mecca, correct?

  15   "A.  Yes.

  16   "Q.  And people refer to him as the crippled one or the lame

  17   one?

  18   "A.  I don't recall anyone calling him like that.

  19   "Q.  Now, when Haroun learned that Madani al Tayyib was

  20   talking to the various authorities, he removed files from your

  21   house; isn't that correct?

  22   "A.  Files from the computer?

  23   "Q.  Files from the computer and physical files from your

  24   house while you were in Pakistan, correct?

  25   "A.  Yes, right.



                                                                843



   1   "Q.  When you met at your friend's house, the friend you told

   2   us about, he had those files there, correct?  He wanted to

   3   know what to do with those files, correct?

   4   "A.  No.

   5   "Q.  What did he do with the files he removed from your house?

   6   "A.  He put them in a different office.

   7   "Q.  Which office did he put them in?

   8   "A.  The Mercy International.

   9   "Q.  Where is the Mercy International office located at?

  10   "A.  In Nairobi, the South C.

  11   "Q.  In South C?

  12   "A.  Yes.

  13   "Q.  How far is it from your office or your building?

  14   "A.  It is about 20 minutes' drive.

  15   "Q.  And why did Haroun remove files from your office and

  16   bring them to Mercy International?  Because he learned that

  17   Madani al Tayyib was talking?  Did he tell you why he took the

  18   files out?

  19   "A.  When I asked, I didn't know why he did that.  When I

  20   asked him, he said it was afraid -- well, in fact, it had the

  21   different letters written between my office and Sudan because

  22   the people that I dealt with in Sudan after I moved to Kenya,

  23   they were dealing with me and different business issues.

  24   "Q.  You told this Grand Jury five minutes ago you didn't

  25   remember whether or not you talked to Haroun about the report



                                                                844



   1   in the newspaper about Madani al Tayyib cooperating with the

   2   various authorities.  Now you are telling this Grand Jury he

   3   has a very detailed conversation with you explaining why it is

   4   he removed files.

   5            "You understand you can go to jail for five years a

   6   hit every time you tell a lie to this Grand Jury.

   7            "Do you understand that?

   8   "A.  I understand.  I don't think I contradicted what I said

   9   before.

  10   "Q.  You had a conversation, did you not, with Haroun?

  11   "A.  Yes.

  12   "Q.  About Madani al Tayyib talking, correct?

  13   "A.  We did not discuss about Madani al Tayyib.

  14   "Q.  He just happened to pick that day to remove the files

  15   from your office when your boss starts talking?

  16   "A.  When he heard about Madani al Tayyib speaking and he knew

  17   that Madani al Tayyib was in Sudan, he thought that -- he just

  18   got scared and he decided to take any files that we had

  19   transactions with the Sudan.

  20   "Q.  Did he show you the files?

  21   "A.  No.

  22   "Q.  What did he ask you about what to do with the files?

  23   "A.  He didn't ask me what to do with it.  He just told me he

  24   left it with the Mercy International.

  25   "Q.  Did you then go to the offices of Mercy International to



                                                                845



   1   look at the files?

   2   "A.  Yes.

   3   "Q.  Where were they?

   4   "A.  I couldn't find them.  They said he left them with the

   5   guard and the guard went to his village.

   6   "Q.  And he took the files?

   7   "A.  No.  They don't know where he put the files.

   8   "Q.  Did you make any efforts to try and track down where the

   9   files were?

  10   "A.  Yes.  We tried to call him where he lived for three, four

  11   days, until we finally got him.  He said he gave it to someone

  12   else.

  13   "Q.  The guard gave the files to someone else?

  14   "A.  Yes.

  15   "Q.  Why did the guard give the files to someone else?

  16   "A.  Because he was leaving.  Someone who was working at the

  17   Mercy International.

  18   "Q.  So left them at the office with a different person?

  19   "A.  No.  We found out that this different person, he took

  20   them to his house.

  21   "Q.  What is the name of the different person who has your

  22   files in his house?

  23   "A.  Ahmed Sheik.

  24   "Q.  Ahmed?

  25   "A.  Yes.



                                                                846



   1   "Q.  Do you know Ahmed Sheik?

   2   "A.  I do.

   3   "Q.  How do you know Ahmed Sheik?

   4   "A.  I met him in Nairobi.

   5   "Q.  Where does he live?

   6   "A.  In South C.

   7   "Q.  In South C.  When you learned that Ahmed Sheik had your

   8   files in his house, did you go to see Ahmed Sheik?

   9   "A.  Yes.

  10   "Q.  Did you find the files?

  11   "A.  No.  He went to Dubai.

  12   "Q.  He left on a trip to Dubai?

  13   "A.  Yes.

  14   "Q.  Do you know where your files are?

  15   "A.  Probably still at his place now.

  16   "Q.  Do you know why Ahmed Sheik left on a trip to Dubai?

  17   "A.  Business.

  18   "Q.  What kind of business?

  19   "A.  Purchasing things, clothes, garments and these things.

  20   "Q.  Does Ahmed Sheik have a wife?

  21   "A.  Yes.

  22   "Q.  Did she look around the house for the files when you went

  23   over there?

  24   "A.  She wasn't there.  He took her to their family before he

  25   left because he was going there for about a month.



                                                                847



   1   "Q.  Was anyone home when you went by Ahmed Sheik's house?

   2   "A.  I didn't go to his house.  I was told at the Mercy

   3   International that he is not in his house and there is no use

   4   going there, so we didn't even try to go there.

   5   "Q.  As you understood it now, your files, you believe, are in

   6   Ahmed Sheik's house in Nairobi?

   7   "A.  Yes.

   8   "Q.  Waiting for him to come back from Dubai?

   9   "A.  Yes.

  10   "Q.  Where does Ahmed Sheik live?

  11   "A.  In South C.

  12   "Q.  It is a big place, South C.  What street?

  13   "A.  I don't know the street.  I can describe it.

  14   "Q.  Okay.  Go ahead.

  15   "A.  Mention the names, directions?

  16   "Q.  You want to draw a map?

  17   "A.  I can do that.

  18            "ASSISTANT UNITED STATES ATTORNEY:  We will mark this

  19   as Grand Jury Exhibit 10.

  20            "(Witness drawing.)

  21   "A.  I think this is as close, here, or I should have left

  22   this space here, so I continued here.

  23   "Q.  Okay.  So the map that we will mark as 10, if you go down

  24   Mombasso Road to the bridge.

  25            "Do you know the name of the bridge?



                                                                848



   1   "A.  It is the only bridge there.  It goes over to Mombasso

   2   Road.

   3   "Q.  The bridge over the Mombasso Road.  If you go down that

   4   road to Zanzibar Road?

   5   "A.  Yes, the name of the road is Zanzibar.

   6   "Q.  And do you know the name of the road that it intersects

   7   near with Ahmed Sheik's house?

   8   "A.  No.  The house is, it is very close to the end.  It is

   9   not the corner.  I think there is another four houses here.

  10   The fourth one.

  11   "Q.  And that is when Zanzibar Road stops?

  12   "A.  It stops here, yes.

  13   "Q.  It is a dead end there?

  14   "A.  Yes.

  15   "Q.  So if you went down Zanzibar Road to the very end, four

  16   houses back on the road would be Ahmed Sheik's house?

  17   "A.  Right.  I think if you ask anyone, they will tell you.

  18   "Q.  Okay.  Is Ahmed Sheik well-known?

  19   "A.  Yes.  In his area and at the Mercy International.

  20   "Q.  What is in those files?

  21   "A.  There is phone call bills, statements.

  22   "Q.  Phone bills?

  23   "A.  Phone bills, yeah, phone statements, and like I said, the

  24   other, what do you call them, the other correspondence between

  25   me and the people in Sudan.



                                                                849



   1   "Q.  Does it include correspondence with Usama Bin Laden?

   2   "A.  No, no correspondence with him.

   3   "Q.  How about with Madani al Tayyib?

   4   "A.  It could be a few there now.

   5   "Q.  Audiotapes in the files, audiotapes?

   6   "A.  No.

   7   "Q.  Have you ever had any audiotapes of Usama Bin Laden's

   8   voice?

   9   "A.  Yes, once.

  10   "Q.  When?

  11   "A.  I think in the 90's.

  12   "Q.  What was Usama Bin Laden saying on the audiotape that you

  13   had?

  14   "A.  He was speaking about the Jihad in Afghanistan.

  15   "Q.  And did he talk about America in the tape?

  16   "A.  No.

  17   "Q.  Did he talk about the Saudi regime in the tape?

  18   "A.  No.

  19   "Q.  Have you heard of any other recent tapes of Usama Bin

  20   Laden talking about Jihad?

  21   "A.  No.

  22   "Q.  Have you heard about a declaration that Usama Bin Laden

  23   issued last August from Hindu Kush in Afghanistan?

  24   "A.  A declaration?

  25   "Q.  A declaration of Jihad?



                                                                850



   1   "A.  I don't recall.

   2   "Q.  You worked for Usama Bin Laden for several years,

   3   correct?

   4   "A.  Two years.

   5   "Q.  Two years.  But he was the guy that paid your salary,

   6   correct?

   7   "A.  Yes.

   8   "Q.  He called you to go to Slovakia to get the extra machine

   9   parts, correct?

  10   "A.  Exactly.

  11   "Q.  And he is a pretty famous figure in that part of the

  12   world, correct?  Very famous person?

  13   "A.  In where?

  14   "Q.  In Africa, in the Middle East, in Pakistan, in

  15   Afghanistan?

  16   "A.  Yes.

  17   "Q.  And you don't know whether or not he issued a declaration

  18   of Jihad last summer, August, September of 1996?

  19   "A.  I don't know.  No.

  20   "Q.  You didn't talk to anyone about it?

  21   "A.  No.  No one told me about it.

  22   "Q.  You didn't talk to anyone at any meetings about what

  23   people thought of the declaration of Jihad?

  24   "A.  No.

  25   "Q.  Who is Taysir, T-A-Y-S-I-R?



                                                                851



   1   "A.  Tyson?

   2   "Q.  Taysir, T-A-Y-S-I-R.  Taysir, the Egyptian?

   3   "A.  I don't know Taysir.

   4   "Q.  Did you ever write a report with a guy named Taysir?

   5   "A.  No.

   6   "Q.  Who is Al Utaybi, U-T-A-Y-B-I, Al Utaybi, do you know

   7   him?

   8   "A.  No.

   9   "Q.  Do you know the engineer Al Qattab?  Do you know the

  10   engineer Al Q-A-T-T-A-B?

  11            "(No response.)

  12            "Who is Abu Ibrahim in the Sudan?

  13   "A.  He is an Iraqi.

  14   "Q.  How do you know Abu Ibrahim?

  15   "A.  He was the manager of the construction company.

  16   "Q.  What is the name of the construction company?

  17   "A.  Al Hijra.

  18   "Q.  And have you ever spoken to Abu Ibrahim about Usama Bin

  19   Laden's statements on CNN or any other statements about

  20   America in the last two years?

  21   "A.  Yes, I did.

  22   "Q.  What did you say and what did Abu Ibrahim say?

  23   A.  He told me, he told me he saw, he saw Bin Laden on CNN in

  24   the CNN interview.  He said that he mentioned things -- now I

  25   recall.  Ibrahim told me.



                                                                852



   1   "Q.  What did he tell you?

   2   "A.  He didn't say any declaration of war or Jihad, he said

   3   that he mentioned, he did not specify what was it.  But he

   4   said he mentioned things he should not speak about at this

   5   time.

   6            "Now I recall that phone call.

   7   "Q.  Abu Ibrahim said that Bin Laden mentioned things that he

   8   should not speak about at this time?

   9   "A.  Yes.

  10   "Q.  Just so we understand the meaning of what you are saying,

  11   was Abu Ibrahim saying Usama Bin Laden said certain things

  12   that should not be talked about, or was Abu Ibrahim saying

  13   that Bin Laden was speaking too openly?

  14   "A.  What I understood is that he said things that does not

  15   serve his purpose right now.

  16   "Q.  So Ibrahim was disagreeing with whether or not Usama Bin

  17   Laden should have said the things that he did say?

  18   "A.  Yes.

  19   "Q.  Was Abu Ibrahim disagreeing because Ibrahim didn't agree

  20   with Usama Bin Laden or because he didn't think Bin Laden

  21   should say it out loud?

  22   "A.  I don't know what he meant, but what came to my mind then

  23   is that Usama Bin Laden said things that should not be said at

  24   that time because it makes him look, it doesn't make him look

  25   good in front of people who are looking at him as an example.



                                                                853



   1   He did not specify what -- because it was a telephone

   2   conversation.

   3   "Q.  Where was Abu Ibrahim when you had the conversation?

   4   "A.  Sudan.

   5   "Q.  Where were you?

   6   "A.  Kenya.

   7   "Q.  Who called whom?

   8   "A.  I called him.

   9   "Q.  Why did you call him?

  10   "A.  There were merchants in Sudan that wanted some ostriches

  11   from Kenya, and he kept asking me to send pictures and

  12   information about ostriches and export ostriches, and all of a

  13   sudden he quit.  I tried to call him, but there were no

  14   connections, so I called Abu Ibrahim and told him to send, to

  15   ask him to call me.

  16            "So then Abu Ibrahim talked to me about this.  He

  17   said, did you hear this thing on CNN?

  18            "I said, no.  He said he was on CNN and he said

  19   things that are not supposed to be said.

  20   "Q.  Did you speak to anyone else about Bin Laden's statements

  21   on CNN or elsewhere in the media?

  22   "A.  No.  I don't remember.

  23   "Q.  Did you speak to Abu Khadija about Bin Laden in the last

  24   three months?

  25   "A.  I spoke to Abu Khadija, but he didn't speak to.



                                                                854



   1   "Q.  In what country is Abu Khadija in today?

   2   "A.  Germany.

   3   "Q.  He is also known as Abu Khadija al Iraqi?

   4   "A.  You could say that, but it is not famous.

   5   "Q.  Where in Germany does he live?

   6   "A.  He was in Heidelberg.  I don't know where is he now,

   7   which city exactly.

   8   "Q.  Does Abu Khadija also work for Bin Laden?

   9   "A.  He used to work in the Sudan.

  10   "Q.  Until when?

  11   "A.  I don't know, but when I left he was still there.  I

  12   think till about six months ago or a bit more.  I am not sure.

  13   "Q.  Did you talk to Abu Khadija about Madani al Tayyib

  14   cooperating with the government authorities?

  15   "A.  He told me that.

  16   "Q.  Was he worried?

  17   "A.  Yes, same thing, because he didn't want the people to

  18   know he was in Sudan before.

  19   "Q.  Who else told you about Madani al Tayyib speaking to

  20   government authorities?

  21   "A.  I don't recall anyone else.

  22   "Q.  Haroun told you, right?

  23   "A.  Yes.

  24   "Q.  Abu Khadija told you?

  25   "A.  Right.



                                                                855



   1   "Q.  Did you speak to anyone in London about Madani al Tayyib

   2   cooperating?

   3   "A.  No.

   4   "Q.  Do you know Khalid al Fawwaz?

   5   "A.  Yes.

   6   "Q.  Is he in London?

   7   "A.  Yes.

   8   "Q.  Does he work for Usama Bin Laden?

   9   "A.  Yes.

  10   "Q.  How long do you know Khalid al Fawwaz?

  11   "A.  Since '95 when I visited London.

  12   "Q.  When in 1995 did you visit London?

  13   "A.  December '95.

  14   "Q.  Who did you go with?

  15   "A.  Alone.

  16   "Q.  Who paid for your trip?

  17   "A.  I paid for my trip.

  18   "Q.  Out of your own personal funds?

  19   "A.  Excuses me?

  20   "Q.  Out of your personal funds?

  21   "A.  Yes.

  22   "Q.  Did you receive any reimbursement from Usama Bin Laden?

  23   "A.  No.  It was a business trip for my own.

  24   "Q.  Did you meet Khalid al Fawwaz at that time?

  25   "A.  Yes, I stayed one night at his place.



                                                                856



   1   "Q.  Is that the first time you met Khalid al Fawwaz?

   2   "A.  Yes.

   3   "Q.  Did you give him any money?

   4   "A.  No.

   5   "Q.  Did he give you any money?

   6   "A.  Yes.  I was coming to the States and I was short about 70

   7   pounds for the tickets, so he gave me that.

   8   "Q.  Other than on that occasion, have you ever had any

   9   financial transactions with Khalid al Fawwaz?

  10   "A.  No, never.

  11   "Q.  And what kind of work does Khalid al Fawwaz do for Usama

  12   Bin Laden?

  13   "A.  He is the spokesman for him in London.

  14   "Q.  How do you know that?

  15   "A.  He told me.

  16   "Q.  Khalid al Fawwaz told you he is a spokesperson for Usama

  17   Bin Laden?

  18   "A.  Yes.

  19   "Q.  Did you ever discuss Khalid al Fawwaz with Usama Bin

  20   Laden himself?

  21   "A.  No.

  22   "Q.  Who is brother Sharif?

  23   "A.  Brother Sharif?  I don't know anyone by that name.

  24   "Q.  You are sure?

  25   "A.  There is Mohamed Sharif.



                                                                857



   1   "Q.  Where does Mohamed Sharif live?

   2   "A.  I knew him in Louisiana in '83 and then I met him again

   3   in Arizona, and then finally last time I saw him was in

   4   California.

   5   "Q.  How about Brother Sharif in Pakistan?

   6   "A.  Brother Sharif, I don't know anyone by that name in

   7   Pakistan.

   8   "Q.  Or Brother Sharif in Afghanistan?

   9   "A.  Not even in Afghanistan.

  10   "Q.  Who is Al Fadhl Kahn, F-A-D-H-L, K-A-H-N?

  11   "A.  Fadhl Kahn?  I can't recall the name.

  12   "Q.  Does Haroun use the name Al Fadhl Kahn?

  13   "A.  No.  Haroun's last name is Fazl.

  14   "Q.  Does he ever go by the name Al Fadhl Kahn?

  15   "A.  Not that I know.

  16   "Q.  You said before you did not see Usama Bin Laden the last

  17   two trips you made to Pakistan?

  18   "A.  Yes.

  19   "Q.  Did you go there intending to see him?

  20   "A.  No.

  21   "Q.  Did you tell anyone that you planned to see him in

  22   Pakistan and Afghanistan?

  23   "A.  No.

  24   "Q.  Did you tell anyone that you did see him in Afghanistan

  25   and Pakistan?



                                                                858



   1   "A.  No.

   2   "Q.  Did anyone tell you that Usama Bin Laden wanted to see

   3   you in Afghanistan or Pakistan?

   4   "A.  No.

   5   "Q.  Did you hear anyone at any time indicate even a rumor

   6   that you had gone to see Usama Bin Laden in Afghanistan or

   7   Pakistan?

   8   "A.  A rumor.

   9   "Q.  Did anyone come up to you and say, gee, I heard you saw

  10   Usama Bin Laden in Afghanistan or Pakistan?

  11   "A.  No.  Nobody.

  12   "Q.  So, as far as you know, there is no reason for anyone to

  13   be saying you went to see Usama Bin Laden in Afghanistan or

  14   Pakistan?

  15   "A.  That is true.

  16   "Q.  When you were in the Sudan, did you ever go to a farm

  17   near Soba near the hospital?

  18   "A.  Yes.

  19   "Q.  Did you see military training taking place there?

  20   "A.  No.

  21   "Q.  Did you ever see any firearms being fired at a camp

  22   nearby Soba?

  23   "A.  No.

  24   "Q.  Did the farm belong to Usama Bin Laden?

  25   "A.  Yes.



                                                                859



   1   "Q.  Did you ever hear of Usama Bin Laden having any training

   2   camps in the Sudan?

   3   "A.  I heard rumors, but I was sure he didn't have any.

   4   "Q.  Where did you hear he did have training camps in the

   5   Sudan?

   6   "A.  In Sudan.

   7   "Q.  It is a big country.  Where in the Sudan?

   8   "A.  In Khartoum.

   9   "Q.  Where in Khartoum?

  10   "A.  Probably where I lived, at the company where I went.  It

  11   is just people talking about that.

  12   "Q.  Did you ever see any camps in the Sudan that belonged to

  13   Usama Bin Laden or where any weapons or explosives were

  14   stored, used or being practiced on?

  15   "A.  No, never.  I know for a fact that the Sudanese

  16   government, they wouldn't let him open any camps there.

  17   "Q.  Have you ever been to Iran?

  18   "A.  No.

  19   "Q.  Who is Amjed, Abu Amjed?

  20   "A.  He is a Saudi who was working for Bin Laden in Saudi

  21   Arabia.

  22   "Q.  How many times have you met with Abu Amjed?

  23   "A.  Probably once or twice in Sudan.

  24   "Q.  And where did you meet him?

  25   "A.  At the office of the company's office in Khartoum.



                                                                860



   1   "Q.  What was he doing there?

   2   "A.  Business for Bin Laden.

   3   "Q.  What kind of business?  Business is sort of vague.

   4   "A.  I don't know for sure, but what I thought is that

   5   probably bringing reports for Saudi Arabia of his businesses

   6   over there.

   7   "Q.  How many times in your life have you seen Usama Bin

   8   Laden?

   9   "A.  About ten times.

  10   "Q.  Have you ever met alone with Usama Bin Laden?

  11   "A.  Yes.  Whenever we discussed business, yes, we were alone.

  12   "Q.  Did you ever do military work for Usama Bin Laden?

  13   "A.  No.

  14   "Q.  Did you ever bring money from one country to another for

  15   Usama Bin Laden?

  16   "A.  No.

  17   "Q.  Did he ever have you transport money within the Sudan to

  18   give to other people?

  19   "A.  Within Sudan?

  20   "Q.  Yes.

  21   "A.  No.

  22   "Q.  Is Usama Bin Laden sometimes referred to as the Hajj,

  23   H-A-J-J?

  24   "A.  Sometimes.

  25   "Q.  And is that a sign of respect and affection?



                                                                861



   1   "A.  Yes.

   2   "Q.  What other names is he known by besides Usama Bin Laden

   3   and the Hajj?

   4   "A.  The big boss.

   5   "Q.  The big boss?

   6   "A.  Yes.

   7   "Q.  Do you know Abu Yasser al Masry?

   8   "A.  No.

   9   "Q.  Do you know an Abu Yasser, an Egyptian fellow who lost

  10   part of his hand?

  11   "A.  No.  I don't know any Yasser, an Egyptian.

  12   "Q.  Have you heard of Abu Yasser even in the newspapers?

  13   "A.  No.

  14   "Q.  Do you know what the Gamaat is, G-A-M-A-A-T, the Islamic

  15   group?

  16   "A.  Gamaat.

  17   "Q.  That is the organization headed by the Sheik Omar Abdel

  18   Rahman?

  19   "A.  Yes.

  20   "Q.  Have you ever heard of Abu Yasser being a person who

  21   leads the Islamic group for Dr. Omar Abdel Rahman?

  22   "A.  No.  I never knew who was leading them.

  23   "Q.  Who is Mr. Atef, A-T-E-F?

  24   "A.  Atef?  He is my in-law in Qatar.

  25   "Q.  Who does he work for?



                                                                862



   1   "A.  I think he has his own business in Qatar.

   2   "Q.  How long has he lived in Qatar?

   3   "A.  Long time.  His parents were there before.

   4   "Q.  Did he ever work for Bin Laden?

   5   "A.  No.

   6   "Q.  Is Abu Hafs also known as Mr. Atef?  Abu Hafs al Masry al

   7   Khabir?

   8   "A.  Abu Hafs?  Not that I know.

   9   "Q.  Who is Ahmed Madubi?

  10   "A.  I remember the name.  I can't recall the guy.  I can't

  11   recall.

  12   "Q.  Do you know any people working for Bin Laden in

  13   California?

  14   "A.  No.

  15   "Q.  Have you --

  16   "A.  I don't know who is working for Bin Laden except the ones

  17   I met in Sudan.

  18   "Q.  Who is Norman?

  19   "A.  I don't know.

  20   "Q.  Have you maintained contact with anyone in the Sudan --

  21   in California?

  22   "A.  Contact?

  23   "Q.  Do you keep in touch with anyone in California?

  24   "A.  I have my sister there.

  25   "Q.  Other than your sister?



                                                                863



   1   "A.  Through the years back, few years, Sayyid al Sharif, he

   2   was in California.  I can't recall anyone else.

   3   "Q.  So we are clear, who is Um Abdullah?

   4   "A.  My wife.

   5   "Q.  When you were in Texas, did you know a place known as Big

   6   Five Hamburgers?

   7   "A.  Big Five Hamburgers?  No, I don't remember the name.

   8   "Q.  The Sonic Drive-In?

   9   "A.  Yes.

  10   "Q.  Did you ever go to the Sonic Drive-In?

  11   "A.  Yes.

  12   "Q.  How often?

  13   "A.  Maybe five, ten times.

  14   "Q.  And so it is obvious, what is the Sonic Drive-In?

  15   "A.  A fast food place.

  16   "Q.  Did you know any of the people who worked at Sonic

  17   Drive-In?

  18   "A.  Yes, the owner.

  19   "Q.  What is the owner's name?

  20   "A.  I can't remember.

  21   "Q.  Man or woman?

  22   "A.  A man.

  23   "Q.  And what is his background?  Where is he from?

  24   "A.  Palestinian.

  25   "Q.  And is he married?



                                                                864



   1   "A.  Yes.

   2   "Q.  Where is his wife from?

   3   "A.  She is American.

   4   "Q.  Native born American?

   5   "A.  I have never seen her, but I know he is married to an

   6   American.

   7   "Q.  Do you know his first name, the owner of Sonic Drive-In?

   8   "A.  I can't remember.  I can find out.

   9   "Q.  Would you recognize it if you heard it?

  10   "A.  Most probably, yes.

  11   "Q.  When was the last time you saw the owner of the Sonic

  12   Drive-In?

  13   "A.  In Hajj in '95.

  14   "Q.  In Saudi Arabia?

  15   "A.  Yes.

  16   "Q.  And he came to make the pilgrimage in 1995?

  17   "A.  Yes.

  18   "Q.  Did you make the pilgrimage at the same time?

  19   "A.  Yes.

  20   "Q.  Did you see him -- when was the last time before the Hajj

  21   in 1995 that you saw the owner of the Sonic Drive-In?

  22   "A.  I think in 1992 before I left Arlington.

  23   "Q.  And what month did you leave Arlington in 1992?

  24   "A.  Either April or June.

  25   "Q.  Did anyone travel with you on the plane?



                                                                865



   1   "A.  Other than my family, I don't remember anyone.

   2   "Q.  Do you know an Eyad Zubidat, Z-U-B-I-D-A-T?

   3   "A.  Eyad?

   4   "Q.  Eyad Zubidat.

   5   "A.  I don't know anyone by that name.

   6   "Q.  Do you know an Omar Obaid, O-B-A-I-D?

   7   "A.  Omar Obaid?  I think it is a guy who was in Sudan.

   8   "Q.  Did you know any Omar Obaid in Texas?

   9   "A.  I don't remember anyone by that name.

  10   "Q.  Did you know -- sorry?

  11   "A.  Not in Texas.

  12   "Q.  Did you know an Ahmed Ajaj?

  13   "A.  Ahmed Ajaj, no.

  14   "Q.  Did you know Eyad Ismoil?

  15   "A.  No.

  16   "Q.  Did you know an Eyad Ismoil Najeem?

  17   "A.  No.

  18   "Q.  Did you know an Ibrahim Ahmed?

  19   "A.  No.

  20   "Q.  A-H-M-A-D Suliman, S-U-L-I-M-A-N?

  21   "A.  No.

  22   "Q.  Did you know Mike A-B-U-K-H-D-I-R?

  23   "A.  No.

  24   "Q.  Did you ever have any business dealings with the owner of

  25   the Sonic Drive-In?



                                                                866



   1   "A.  No, never had any business.

   2   "Q.  Did you ever travel anywhere with him?

   3   "A.  No.

   4   "Q.  Did you ever meet any of the people who worked at the

   5   Sonic Drive-In?

   6   "A.  I don't remember who was working.  I talked to them

   7   whenever I went there.  I can't remember any of them right

   8   now.

   9   "Q.  How far from the Sonic Drive-In did you live?

  10   "A.  About 15 minutes' drive.

  11   "Q.  When is the last time you saw -- have you seen the owner

  12   of the Sonic Drive-In since the time of Hajj in 1995?

  13   "A.  I visited Arlington in '96.  I don't remember seeing him.

  14   "Q.  Have you talked to anyone that you know who has already

  15   appeared before a Grand Jury in New York concerning these

  16   matters?

  17   "A.  No.

  18   "Q.  Have you heard reports of anyone else who has testified

  19   before a grand jury in New York concerning these matters?

  20   "A.  No.

  21   "Q.  When was the last time you had a financial transaction

  22   with Usama Bin Laden?

  23   "A.  Either June or July of this year.

  24   "Q.  June or July of this year?

  25   "A.  Yes.



                                                                867



   1   "Q.  Why was it that you had a financial transaction in June

   2   or July of this year with Usama Bin Laden?

   3   "A.  It is not, it is Abu Ibrahim.  Whenever he talked to me

   4   that day over the phone, I asked him if he can send some money

   5   because before I left Sudan I talked to Abu Ibrahim and I told

   6   him we are going to open our own organization and if he can

   7   donate anything.

   8            "He said, okay, whenever you need some money for any

   9   project, then just call me in the Sudan and I will see what I

  10   can send you.  So when I talked to Abu Ibrahim, told him that

  11   we needed $10,000 for a project.

  12   "Q.  What was the project?

  13   "A.  Malaria control project in --

  14   "Q.  What control?

  15   "A.  Malaria control.

  16   "Q.  Oh, malaria control project?

  17   "A.  Yes.

  18   "Q.  Did you get the money from him?

  19   "A.  Yes.

  20   "Q.  How much was it?

  21   "A.  $10,000.

  22   "Q.  Who was it sent to?

  23   "A.  To my account in Vienna.

  24   "Q.  That is the Girocredit Bank in Vienna?

  25   "A.  Yes.



                                                                868



   1   "Q.  That account is still open?

   2   "A.  Yes.

   3   "Q.  That was the account in your name which was used to

   4   purchase things for Bin Laden?

   5   "A.  Yes.

   6   "Q.  Why did you keep the account open if you stopped working

   7   for Bin Laden in 1994?

   8   "A.  Because he was still going to import more and more

   9   equipment and more spare parts for his equipment in Sudan.

  10   "Q.  Do you have any other bank accounts open on behalf of Bin

  11   Laden anywhere else in the world?

  12   "A.  No.

  13   "Q.  Where do you have your own bank accounts?

  14   "A.  In Kenya.

  15   "Q.  How many bank accounts do you have there?

  16   "A.  Just one.

  17   "Q.  And what bank is that at?

  18   "A.  Girobank."

  19            THE COURT:  Suppose we stop there and we'll pick it

  20   up on Tuesday morning.  Have a pleasant weekend, pleasant

  21   holiday, stay well, and we'll see you on Tuesday.

  22            (Jury not present)

  23            THE COURT:  I'm available in chambers tomorrow

  24   anytime between 9 and 12 if there is any matter anybody wants

  25   to take up with me.  I am available in chambers tomorrow any



                                                                869



   1   time between 9 and 12 noon if there is anything that anybody

   2   wants to take up with me.  I'm particularly anxious to

   3   resolve, if at all possible, any matters which will be over

   4   proceedings on Tuesday or with respect to the next witnesses.

   5   Otherwise, we're adjourned until Tuesday morning.

   6            MR. FITZGERALD:  Thank you.

   7            (Adjourned to 10:00 a.m. on February 20, 2001)

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                                                                870



   1

   2                        GOVERNMENT EXHIBITS

   3   Exhibit No.                                     Received

   4    401, 402, and 403D,

   5    H, L, M, N, O, P, Q, Z, AE and AG,

   6    and 405, 409 and 410..............................720

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