EXHIR~T 1 7, Grand Jury Testimony of DAVID PROTESS
Transcription
EXHIR~T 1 7, Grand Jury Testimony of DAVID PROTESS
G~~a/ IN THE CIRCUIT COURTOF COOKCOUNTY, CHIC4GO, ILL~MOIS ALSTORYSIMON, Petitioner, VS. PEOPLEOF TNE STATEOF ILL., PETITIONER'S SUPPORTINGAPPENDIX CONTAINING: EXHIR~T1 7, Grand Jury Testimony of DAVIDPROTESS d 1 IN RE: JOHN DOE INVESTIGATION GJ 7 NO. 363 BEFORETHE GRAND JURYOF COOKCOUNTY, FEBRUARY, 1999 10 11 12 TRANSCRIpT OF TES`TIMONyTAKENIN THEABOVE ENTITLED MATTER ONFEBRUARy 22~ 1999. 13 14 PRESENT: MR~THOMAS GAINER ASSISTANT 15 STATE'S ATTORNEy 16 17 REPORTEn gy JOSEPH A. SZYBIST, CERTIFIED 18 ILLINOIS 19 20 LIST 21 DAVID 22 23 24 OF WITNESSES: PROTESS SHORTHAND REPORTER LICENSE NO. 084-1752 1 2 THE FOREPERSON:Would you raise hand. (Witness 4 MR. GAINER: Ladies 5 Jury, 6 Gainer. I am Assistant 7 duly and gentlemen State's Attorney sworn.) of the Grand Thomas This is Grand Jury 363, February, 1999, 8 which is a John Doe investigation 9 shooting deaths of Jerry Hillard and Marilyn Green 10 which 11 12 your right occurred August 15, relating to the 1982. We are not seeking an`indictment at this time. 13 The Grand Jury does have the right to 14 subpoena and question any person against whomthe 15 State's Attorney is seeking a Bill of Indictment, 16 1) or any other person, and to obtain a~d examine 17 18 documents or transcripts being prosecuted by the State's 19 20 21 relevant DAVID having been first testified as and follows: 23 MR. GAINER: Sir, Attorney. duly sworn, was examined EXAMINATION gy Q. matter PROTESS, 22 24 to the any would you state your name and spell 1 your last name. A. David Q· By whom are you employed? 4 A. Northwestern 5 Q· In what capacity? 6 A. As a journalism 7 Q· Howlong have you been so employed? 8 A' Eighteen Q. Where did you take your undergraduate 11 A. Roosevelt 12 Q· And your post -- youl,work after 2 3 9 10 Protess, P-r-o-t-e-s-s. University. professor. years. work? University. your 13 ~ undergraduatewolkafter your bachelor,s degree, 14 where did you take that? 15 A. University 16 11 Q. What degree do you have frbm the 17 University of Chicago. of Chicago? 18 A. A Ph.D. 19 Q· In 20 A. In public 21 Q· You've been employed as a professor 22 what? policy. Northwestern University.since 23 A. 1981. 24 Q. Are you now a full at what year? professor? .I-~(-~· ;r-·· :tp, ~I~ 1 A. Yes, 2 Q· And in 3 A. The 4 Q· How long have you been teaching 6 A. Eighteen years. 7 Q. Have you held any jobs outside as a college professor since S I am. what school Medill School employment 9 gotten A. Yes. 11 Q. What? 12 A. I was a professor 1) at Loyola University for 14 Q. During 15 A. 1974 to 16 Q· Any other 17 A. I was research Government 19 '20 Q· in that what -- of your you've of Chicago? of golitical science 3 years. years? 1973 to 1976. jobs? Association director between Anything else outside Yes, 5 years at 1976 of the Better and 1.981. the field of academics? 21 A. 22 editor 23 Magazine. 24 Journalism. your Ph.D. from the University 10 18 of school? 8 13 do you teach? for and staff Q· Was that writer-at during I was contributing Chicago the time Lawyer you were : . :_·.a4- 1 professor at Northwestern? 2 A. Correct 3 Q· Any other 4 of your 5 6 Other different Q. as than news Northwestern 9 Journalism Northwestern? for as a professor '99, School school at of year, is that correct? That's 12 Q. Northwestern 11 system 4 that Correct 16 Q· That 17 class 18 in "20 fall University the academic is on -- year broken a student dould is on a down into quarters? A. 19 correct has 15 21 course articles Medill 1998, A. 14 the no. University 11 13 at free-lance employed during during professor organization, You were 8 10 employment employment A. 7 . in the the is to fall, spring a class and a class A. That's Q. Were you quarter in in the the takea winter, a class summer? correct. of I say teaching classes during 1998? 22 A. was. 23 Q- How many classes 24 A. One. were you teaching? the The name of that class? Q· 1 A. It was a special topics course called The NewsMediaand Capital punishment 3 4 6 8 class commence? Q· When did that A. Q~ On September 28~ 1998,f the What was the end A. It was the second weekof Q· you don't recall A. No. the term? exact December- date? Q· Okay·How manystuden~se"lolled 10 for that class during that quarter? 11 A. 12 13 14 15 16 17 18 19 20 21 22 23 24 Q· I believe 16. Amongthose students WaS Shawn enrolled? A. Yes. Q. Tom McCann? A. Yes. Q· Cara Rubinsky? A. Yes. Q. Erica LaBorgne? A. No. Q· SyandeneRhodes-Pitts? A. No. Q· Lori D'Angelo? Armbrust 1 A. Yes. 2 Q· would you tell 3 of this 4 YOU were 5 6 Grand Jury teaching A. It exactly covered for and gentlemen what this what class did it basically 2 subject the annual first areas. national conference 8 penalty 9 Law School from November 13th to the 15th, students 11 conference. on wrongful which is 13 14 15 convictions to be held had various at secondly and the death the Northwestern assignments And then that cover? 7 12 related students and the to that were to choose a case involving a possible miscarriage justice and engage in preliminary investigative reporting work about that 16 Q· Who wrote 17 A. I 18 Q- How many years of 1998 '20 21 had the curriculum you prior taught this was the first Q. And you mentioned 23 in the course 24 exactly cases were ior this class? did. This certain of case. A. 22 ~.·- ladies entailed, One was planning 10 19 the that students of this class. to the fall quarter class? time that could it was taught. there study were or review How many cases there? i: : 1 A. Four. 2 Q. And 3 A. Okay. 4 Q· -- 5 A. were are? One was the case involving involved a case of a Kankakee womannamed Nancy was a case another Rish, R-i-s-h. Maybe there death involving row prisoner. I am forgetting were only Q- Well, if A. Yeah. Q· You think Aaron the A third fourth one. three. you think of` it, just let us know. 1) 14 15 16 A second Anthony 8 13 fourth )1 17 this 19 one you Right. Q· When did may have been four. The remember? you prepare the curriculum for class? In the spring approved by faculty. since hadn't it Q· four there can't A. A. 22 24 cases Patterson, 12 23 those 7 11 21 of Porter. 10 '20 or names 6 9 18 the cases, A. to It's been When did be of 1998. a special offered youpick the The Anthony subj ect Porter It had to topics be course before. these cases, matter case of I didn't three the or class? pick 1 until after 2 were ongoing 3 engaged in investigative 4 classes but 5 News Media and Capital Punishment. 6 doing the of another 7 teach called 8 not in That's 11 Q· How did 12 A. I got 13 from a death titled They had been class that I Porter case came to your 1998? correct. it come to a call penalty 14 Futorian. 15 Daniel Sanders, 16 Porter's case, 17 interested 18 some very interesting 19 innocence and She said your lawyer that Labor Day in Chicago named Aviva she was consulting Anthony Porter's lawyer and was wondering in investigating his attention? shortly:after if'I with on had -- what she thought issues about his be was possible competency. Q. And you had that 22 A. Shortly 23 Q· Was it 24 class Journalism. of A. in previous particular Investigative cases had already reporting this September The other Students as part 10 21 21st. So the Anthony attention '20 the projects. work Q· 9 September conversation with her when? it occur in person? after Labor a telephonic Day. conversation or did 10 1 A. She called 2 3 As far she on the Yes. 5 Q· And did 7 A. weeks 14 I did after meet with to discuss not -- but you and her the to A. No, take was scheduled take it agreed Did you agree conversation 11 couldn't but I had already Q- 12 13 was just after case further? 10 11 you ever phone conversation 8 9 it phone? A. that phone. as you know, 4 6 me on the on the the was several to take the telephone case? I had to say that the case because for September I probably his the execution 23rd, way I'd be able to conduct an investigation 16 beto 17 scheduled my students, to come back until 18 Q· When did 19 A. When I learned 20 that 21 on Anthony September Q· 22 23 24 name of A. and they Porter you decide through had gotten would weren't September to death and the only 15 involve case. take the the 28th. case? the news media a stay of execution 21st. Do you know a Ph.D. in psychology Kurt by the Moehle? I don't know him personally. I think he ill; al- 11 1 was retained by the to give 2 Q. Okay. 3 A. -- 4 Q. But 5 A. No. 6 Q. Never 7 A. No. 8 Q. So at 9 10 the stay case, of you 12 Q· What with respect 14 A. 15 students 16 (1 interested opinion about -- him? him? some point after then you you learned agreed to of take this correct. is to The the the on the in first we were 18 fall quarter and documents Before with 21 A. No. 22 Q· Did possession A. I going did was did to then were they work on during you that, did the case? to ask as'one people did to this several respect you you day of class investigating cases Q. thing thing four 19 first case? first 17 24 expert correct? That's 23 -- know execution A. '20 an don't met 11 13 defense of the the volunteered. have'anything in you obtain any your -- Yes. I am sorry. I did. Because as a 12 1 result 2 had 3 since 4 innocence 5 these kinds of 6 named Offie Green, 7 victim in 8 Anthony Porter's 9 provided the 10 guess, 11 Board of my asked her I've the I 15 documents. 17 11 Q. document the case, So A. Yes. 19 Q. Before did 21 A. I 22 Q. At 23 transcript 24 the trial of had murder belief in recently that Prisoner was, I Review of that affidavit, interesting, than fairly that, no statement other was the first received? you you started get any believe some certain Anthony woman female affidavit copy Green's don't of a other you the Illinois me Offie 'that an affidavit But a hearing. fared the and the clemency follow that of was an a long-standing with to its September, mother had as usually said I issue case know, innocence 18 c 20 this you Futorian, innocence She defense found compelling. of I, Miss the things. submitted 14 16 and She 11 and what heard case in with about never 12 13 conversation point your other class that documents? so. did testimony you obtain that a was given at Porter? -:··::·i~ -~-·;:l~u 13 1 A. Yes, but 3 Q- How much after 4 A. About 5 Q· Where did 6 A. Daniel 7 Q· Mr. 8 A. Correct. 9 Q· What exactly A. No, because the students 2 11 first 12 Sander's 11 they could the 11 18 '20 21 that 22 on the 23 affidavit? 24 get At this point Q· What A. Shawn Armbrust, A. from? do you recall? got it. to My Mr. to read all of the pleadings A. first that to them were.togo their How many students and two. did you get, case? Q· or started? lawyer? Porter McCann, the class you get Porter's possibly Anthony 17 19 the class Sanders. office Q· 15 a week instructions 14 16 was after started. 10 13 that were Lori hands signed I believe their that on. up to work on i; was four. names? Cara Rubinsky, Tom D'Angelo. And the only documents you gave them day of class Anthony Porter Actually when they agreed case would be Offie I didn't give them the to work Green's 14 1 document. I read 2 my initial description 3 angle 4 possible to explore Q- the it case investigatively On that first to them in as a possible about meeting understand that the class 7 afternoons from 3:00 to 8 A. That's 9 Q· On that September 11 the his did meets 6:00 -- we now on Monday p.m.? correct first Monday were you the only No. I spent about afternoon person in that addressed class? 12 A. 13 class 14 four cases that 15 during quarter, going 1( hall the where the over the 45 minutes syllabus with and outlining we were gonna possibly there so-called 18 19 I described of 6 10 17 and innocence. 5 16 it and then was going Ford And who addressed A. It the investigate to a lecture to be a ~ublic Heights Q· we went Four the forum on case. your class that afternoon? '20 21 250 people. 22 university-wide 23 who moderated 24 Warden, the wasn't This just was event a panel coauthor my class. It was about a pre-planned hosted by my dean, discussion of a book with that Ken Bode, me, Rob we had just 15 1 published 2 Ford 3 the 4 Adams. called Heights Ford 5 meet Four Promise case, Heights Q· 6 The and Four, Thereafter did successive 7 A. Yes. 8 Q. For approximately 9 A. No, we 10 Mondayfor 11 Q· 13 three 11 14 15 required 16 Monday 17 the on Yes. Q. And to so be 19 do reporting, yourself 23 quarter 24 Kenny your class I more Mondays -- meetings? almost every ·of a lecture for all class of from your students 3:00 to ~September the released them because of from it 6:00 unt'il exception was were so p.m. on December? a couple they of could becoming very consuming. Q. 22 of meeting? with that 21 and did consist from sessions time -- two on that in Yes, their members Williams your class afternoons A. the the quarter. each 18 '20 met entire Did A. of about Mondays? the hours Justice two Dennis on 12 Of Were who of A. there any addressed 1998? I don't recall. ·the other class lecturers during besides the fall 16 1 Q. 2 students 3 was 4 review The first who to signed contact the pleadings A. That's 6 Q· Did transcripts 8 10 shared that I 12 A. No. Q· Do 11 14 connection 15 your 16 the 17 connection A. interview No, 23 the 24 thing have any your have I which do and was could of any file Northwestern me, but nothing possession. on `this records case? that of you this your students made class students in or or interv~iewed any of in investigation? of have but I my from be memorandum, office to with of copies you would his back teaching any memoranda A. students you their 21 22 a with Do to to yourself? in have your Q· Porter possession them kept that (20 your transcripts? them with I go pleadings of with people and you interview 18 19 any and Do Anthony take brought copied Q· 13 ever several 11 instructed for and you They and you correct or A. 9 up Sanders 5 7 thing the them led to turning I all fall with easily a get my students quarter, you believe over have of today? that their my own package to yes. of you. copies the entire of 17 1 Q. 2 Your student students we talked -- to today 3 A. Oh. 4 Q. -- 5 A. Okay. Q· Tell 7 A. The memorandum 8 interviews that 9 competency which 10 they to 11 meaning 12 meant, 6 13 )1 1( the posed of 15 interviews 16 that 17 Washington they of such that went and 20 everything 21 to thoroughness 22 package 23 have. the of they file and with Q. questions about and 'what trial that the IQ scores documents that were testimony experiences the as the cri;ne in of and such reenacted from Porter's field conducted My evaluation the Mr. be. field time in Park. 18 19 would about field so that. be everything as the they about would the the to do that, involved in first memorandum IQ tests witnesses, they did the not more those largely analysis least did talk me what experts pleadings, various we can various to 14 24 so at a do Can you their their them they turn memo to make work reporting, requires then cover of me, an estimate and to in is write the and on so a memo entire that's of based what how many I 18 1 pages this 2 file A. 3 I longer than say in the others, 4 Q· You 5 A. No. 6 students 7 8 I 9 contained 10 position 11 testimony 12 to 13 11 to in I 14 Q. -- 15 A. Okay. 16 Q. So 18 students 19 ·20 A. which first It was is we can have the was interested 22 have in 23 talked about 24 wanted to a lunch. hear I about own knew memos. likely than not and so continue ask you with how they in come a back records? you had your to September invited what your project the time are those had I about to meet'ing on on we with this that my more where at thought of first working And what I much been a Wednesday, 21 today? because you have pages. too assigned would little 50 their to meeting you to reviewing was a apologize. continue what after them documents, may to was 40 bring about those but the I to now where is about apologize talk Okay. when I it bring going A. 17 case Again, And wanted this didn't were Q· comprised? them? 30th, anyone Porter case who to we basically the felt case,and about I possibly ·-~~pi 19 1 working 2 prisoner 3 their on a project like this could conceivably where, die during Q· Were there videotapes 6 A. No. 7 Q. Audio 8 A. No. 9 Q· Did you take notes, 10 A. No. 11 Q· What's of that meeting with these 1/ A. tapes? you personally? the next meeting you then had students? The next meeting I had would have been 14 at a lecture 15 mean as a group, 16 the Northwestern Law School the following Friday, 17 I Q· early it would have been at the --at That is the meeting that occurred in October? '20 21 22 Monday. But if you believe. 18 19 the following A. Correct. Q· At the law school Avenue in the City at -- on East Chicago of Chicago? 23 A. Correct. 24 Q. Who was present at that a the time of made? 12 13 knew, reporting. 4 5 you meeting? 20 1 A. I 2 there. I 3 Shawn, Tom, 4 was 5 present 6 staff am and Cara Q. you A. No, 10 Q- Appolon 11 A. He attended 13 ongoing 14 one. 11 Marshall A. Again, 18 attend meetings. A. The lawyers' 22 to 23 ask 24 innocence try to questions division of were the present? don't. he present? been because meetings. It was an be the first happened to purpose to recall he save what of of what we might Porter's the to hear were going life and possibility do to he was? was they if regularly meeting meeting Anthony -- he would the the about the spe~ifically but purpose about and also Marshall was meeting, strategy do was members I this Sanders there staff those that litigation have I don't first And the the well know Hartmann? Q· 21 -- what Beaudoin, but I Lawrence sorry. of Q. that '20 am could series, was at 19 I were Dan capital recall several 17 Lori. division 9 16 the students also Professor Do my present. were litigation 12 were of Law of about There and 15 sure members capital all not present. 7 8 believe investigate of to his that 21 1 to check that 2 Q· 3 competency? 4 A. 5 questions 6 meeting. 7 At that man 9 10 by point Primarily, that Q· 8 out but were name of don't I know Q- Did you meet 11 Northwestern University 12 Northwestern University? A. No, 14 Q. Was this 15 16 there about meet at that a number time of at with that a Stone? who that with is. a psychologist from or a ps~chiatrist from sir. videotape meeting made of at Northwestern, was it? 17 Q. Audio 18 A. No. 19 Q. Did A. I Q· If you had notes, would contained in that you 23 A. No. 24 Q. Did 22 on his innocence No. 21 was still were A. ~20 (( a there Addison A. 13 focus raised Did you also the the tape? you don't you take any notes? recall. file ·that keep a separate they mentioned file be earlier? about this 22 1 case other than 2 A. No. 3 Q. Okay. your student So if 4 meeting contained 5 we have discussed, 6 meeting? in there the you A. That's 8 Q. Correct? 9 A. That's correct. io Q· Okay. What is 11 A. The kinds of 13 pursue and then later 14 student to make a telephone 15 have 16 the have written 19 '20 of notes this file of that this notes the next time I might you met have taken of aside Okay. on passed the on the call. It content A. That's Q· All and passed 21 down 22 possession? Again, from 23 A. That's 24 Q· What your or the name to you don't student have right. it So if on, it's substance a separate file? you wrote anything no in longer your correct. the next meeting you a wouldn't correct. is I down the name of somebody to meeting. Q. file no notes working no notes might 18 file? correct. 12 17 are student have 7 been working had with of 23 1 this group 2 Porter case? 3 of A. I don't 4 the 5 believe, 6 their research, 7- 11 their research 8 point to discuss progress report A. at this getting class, on to I their point exclusively 13 they'd 14 show them 15 return 16 you 17 comments 18 by any No. interviews in -- on terms focused they bring should to them turn in about Q. They of on the students students? would do would be interesting, and they would I would read them and usually and this is something that the quarter, made from time at say the end of come about how to proceedand them information? 21 A. Right, 22 a group. 23 group although We would Group of would give Q. all of a weekly it. questions strategy filing to my attention to me and them or when thought them the one Sometimes with 24 after updates which Anthony we were Mondays was the but Would you require 12 '20 recall, meeting just Q· 11 19 of regarding competency. 9 10 students have to you most these of time you would that group to was done as sessions, sessions. strategy sessions was limited to ; 24 1 the people 2 particular 3 4 and Well, there were Q- 6 weren't 7 same meeting NO, 9 Q· So 10 conversation 11 apparently 12 11 the the Porter three other with about case involved one group groups. the the other back to Q· They were four people? of A. Yeah, fourth was. 18 A. No Will Porter three group, groups you at four, the group. 24 Aaron -- well, earlier four projects, four? broken thank Leamon a Cook Okay. four, A. 23 and or our into four you. separate I just recall I four County Cook So was and it case? and Will. He was people in think there were group. an even breakdown, four? Three Patterson who Jordan. County. Q· ·22 were Yeah. Not '20 three A. Q. 21 right? getting '17 in on a never. there groups 15 19 group time? A. 14 a particular When you met with 8 13 in case, A. 5 16 working the five Leamon people Jordan in the tried 25 1 Q. At did your 2 1998 3 did 4 interview 5 Taylor? some a student A. Yes. 7 Q· Do 8 surrounding 9 A, you tell that he 11 of 12 particular 13 call 14 to meet 15 of the crime, 16 students had you a man by the you know it Mr. them and at in this 17 Q. Done 18 A. My students 19 '20 in early Mr. Taylor's 21 had serious 22 could have 23 bring Mr. 24 testimony see fact or an William Andrew meeting if on the possibility he and had done to persuade for an shortly the this volunteered could Park was that him reenactment after my same ~hing. what? November, had what Taylor to about he the to the came questions seen gone reenacted testimony, held of innocent, Washington and -- conducted a group Tom McCann,, Taylor they interview? being student, had of circumstances of strategy Porter December that name followed planning Anthony the first Yes, involved in tell that 10 in`time students with 6 point Washington crime back and whether testified park to see based said Mr. to on they Taylor and if Park wanted ~o his up. ,-l:"·i 26 1 Q· 2 did this? Did he make contact with Taylor? A. Yes, 4 Q. Did he have a conversation with Taylor on the by phone. phone? 6 A. Yes. 7 Q· Did he later 8 A. Yes, 9 Q· Who did he go with? A. A private Q· And how is it Ciolins 10 11 he go see Taylor? did. investigator named Paul Ciolino. 12 1) this 14 15 And do you know if McCannever 3 5 13 Okay. became involved case? A. Ciolino became involved in this 18 can do, credit Q· what checks and the When did you make this request That would have been in October. 22 Q· Shortly 24 do he of him, month? A. of we like. 21 23 that not have through data base searches and that 19 '20 case whenI called him and asked for help in locating 16 )1 certain people because he has exper~ise 17 in September? A. Correct. after the class began at the end 27 1 Q. 2 had 3 months been at least 6 one of 7 ongoing. 8 when 11 reenactment 11 speed 15 correct? with the 11 17 meetings at when Yes. Q· And by what A. Correct. Q· Have the transcript 19 the trial? '20 A. after the students 22 would have been 23 24 Q. reenactment? That -- students course of contact he the getting when with had school they him attended that into Taylor were late contacted to try -- to do a crime? point students you now of William the by then you feel about this sometime after point the of they mid to did up to this case, time testimony William reenactments, in are in Taylor's testimony did was in law this your 21 the we are this I read your the been So the over because contacts A. 18 have October is not November? in Okay. or him would of on whether and Tom McCann 12 14 touch once November 10 know They Q. 9 you October A. 5 16 in of 4 13 Do at Taylor so late their read this November. own 28 1 A. That's 2 Q· Did you at the 3 testimony 4 5 6 7 8 9 of Henry A. Henry correct. same time read the Williams? No, I did not read thetestimony Williams. Q· I of I am sorry. Go ahead. A. I have not read the testimony of Henry Williams. Mystudents showedme a summarymemoof what 10 he had Q· to say. Aside from your testimony of your 11 reading of the testimony of William Taylor, have 12 you read any other 13 transcripts 14 trial? 15 16 17 '2 O that was taken at the No, the only other pleadings appellate proceedings, So all of the opinions Q· from either the 21 the Illinois US District A. 22 decision 23 judicial 24 of: -- any other and that I read I read all them. 18 19 Of testimony A. were the testimony Q· Right. Court that came down Supreme Court, and I believe the Yes, and Judge Neville's to deny post conviction Yeah, I think there relief. was a written The of 29 1 (I opinion. 2 A. It 3 Q· Yeah. 4 and the was A. That's 6 Q. Nothing 7 A. Well, 8 Q· Yeah. You read all 10 opinions of William right else? in terms of documents I am not trying those affidavits (/ A. That's Q· -- other 14 you. over the course read any of other correct. than You didn't read Taylor? Williams? 15 A. Correct. 16 Q. You didn't 18 A. That's 19 Q. You didn't 21 A. That's correct. 22 Q· Okay. So at some point 20 to trick testimony 12 17 from court Taylor? time, but his background you didn't 11 13 opinion. So you read testimony 5 9 a written read any of Mr.`Porter's alibi? correct. read any of the police witnesses? 23 Taylor 24 does? to participate McCann asks in a reenactment and Taylor 30 1 A. No, 2 Q. What is 3 far as 4 you A. speak to 6 possibility 7 William 9 11 a lecture 12 our 13 that and and at as is I this 11 interviews' they them to over to instructed these technique? at point we role -- given they are about to do in feel 16 the best to get your foot in the doe;, best to get 17 people 18 and come up with up to you. some of the Q. In over the last and I can't see one or the good 19 read 20 students, 21 but 22 about I 23 A. Yes. 24 Q. Did how it different 15 open seeing and in order to up play them 14 comfortable end this inte rviewing, meetings that the him in person. point I have group that about interview on investigative for happens happens we'talk investigative I have. weekly that Tom McCann going house, Who has in A. thing Ciolino, Taylor's 10 next thing of Paul students to. the next Paul Q. refuses know? The 5 8 Taylor couple of other weeks bad teach of ~cop them that I see in particular your students technique? that and a strategy accounts remember the cop, you news sounds technique? for I have your who, talk 31 1 A. Yes. 2 Q· I also 3 discussed 4 Ciolino 5 when he spoke 6 tape 7 deaths of JerryRillard and MarilynGreen. ~~ 10 the used -- I mean, fact that you and I have we now know that a what he called with Alstory of a phony witness a~pretext Simon. to the Paul statement ~e created a 1982 shooting A 11 12 A. n. 13 Q· 14 with 15 Ciolino 16 All these right. Did anybody -- this was going group ever of students to use this discuss the fact that technique? A. 17 e 18 20 21 Q· Did you ever 22 during 23 and during 24 investigative the time the that time technique talk to your students you were conducting a class you were instructing about the use them on of ruse or 32 1 subterfuge 2 A. 4 Q· 5 A. 9 in obtaining statements from witnesses? So you didn't have those conversations? If you want to define ruse more broadly, 10 I mean, 11 questions to get a witness more .likely to open up 12 rather 13 14 11 get I talked you in the 15 this 16 that. 17 misrepresenting door more likely I tell is a class Q. project, but issues 20 investigation? tell and circumstances A. Absolutely 22 Q· So McCann talks 24 at A. I the truth, it's also mean, that more than come up a~out Taylor's them to misrepresent in the 21 Taylor not. yourself. Did you ever facts than them to tell And so those 19 23 how you order than close down. What kinds of approaches for example, 18 to them about course of their not. apartment, McCann talks to Taylor about seeing correct? to Taylor as he reports it 33 1 to 2 crime. me about -- 3 Q· Okay. 4 A. What 5 crime. 6 non-revealing 7 than to 8 wish that 9 wouldn't about About Taylor And Taylor say, Anthony Taylor saw at the deal Q· This 11 A. Telephone, 12 Q. At then is all the see later Taylor do where Correct. 15 Q· They have a conversation A. Yes, they do. 17 Q. And that 18 A. That's correct, in hallway. 19 - apartment the 20 Q· But 21 A. Yes. 22 Q· You 23 A. No. 24 Q. A couple brief McCann over other with. I already, so I yeah. point occurs Taylor, were not days Ciolino Taylor and lives? with in Taylor's or outside it's Ciolino him? apartment? Taylor's and McCann? present? later you the the telephone? A. 11 of it. 14 16 Mr. was dead with on some go was of saw a very with this night night actually Porter to the what has I wish have 1( McCann he saw conversation 10 13 what go back with 34 1 Taylor 2 A. With 3 Q- I am sorry 5 A. Correct. 6 Q· 4 7 8 9 Ciolino. -- with Ciolino see Taylor? Taylor were meeting to And between you are not with Taylor McCann, the And 11 Q· And when Ciolino time, 13 )( affidavit, meeting with present and the second you talk right? A. 12 first when you are present, 10 Ciolino to in is Ciolino. his that was ther~e own hand the drafted first an right? 14 A. That's 15 Q· That he then brought A. Yes, 16 to correct back to you, correct? 17 18 the affidavit, 19 to Q· he -- after almost signed, the 22 prepared a one that second 23 A. No. 24 Q. who did~ signed came up immediately. And from the 21 Mr. Taylor both Mr. McCann and Ciolino my house 20 after affidavit Ciolino affidavit, that wrote correct? out, Taylor you then 35 1 A. Mr. 2 Q· Where 3 A. I 4 Q. You reviewed 6 A. Right 7 Q· And 5 Ciolino image 9 that don't of the Taylor do second affidavit. that? know. both documents, though, That's 11 Q· -- 12 A. That's Q. And 1( 14 Taylor's 15 copy? 11 17 you are with on A. That's Q· All to your 19 some the 20 apparently 21 version 22 go 23 this out to second A. one is exception a mirror of a.change the typewritten as correct? copy it was So McCann then after reflects the handwritten correct. They tell you Ciolino goes and prepares another the statement and Taylor's apartment affidavit, That's 'copy, correct. later of the handwritten right. house. point that correct. affidavit 18 aware made A. 24 he other 10 16 did the right? 8 13 typed correct? correct. and Ciolino what happened. back to his come At office typewritten then and you have and Ciolino him execute 36 1 2 Q. Did William you Taylor engage on in that 3 A. Oh, 4 Q· You talked conversation with occasion? extensively for to several him about hours all of 5 and circumstances that 6 deaths Green and Jerry Hillard, 7 correct? to him about the of Marilyn 8 A. Correct. 9 Q. You talked 10 received 11 A. Correct. 12 Q· You talked 13 (1 statements he knew about in the police in 14 A. Yes. 15 Q. And 16 )( conversations, 17 affidavit 18 signed and in to out after you which your him the about of court, having all then facts the shooting treatment following his he day? prior right? of presented he executed, these him that with is to to Paul this say he presence? 19 A. Yes. ~O Q· Which 21 A. Yes. 22 Q. And 23 who was present with 24 signing so Ciolino that station the you which then signed? you'then you gave while who is you and a notary Ciolino Taylor public were 37 1 could attest 2 Andrew to your Taylor, A. That's 4 Q· All 4128 6 right? North of this No. It 8 Clarendon and ended 9 (phonetic) 11 basically 13 to 16 And in the apartment the at of Chicago, apartment on North Restaurant The execution of the restaurant. affidavit things, One, I was present ~aylor right? said And I'11 to you read them you. shooting 11 occurred, at the park when the correct? Q· Two, I did 19 A. Correct. ~O Q· Three, 22 A. Correct. 23 Q ·- And, 17 24 City his Ann Sathers four Correct. 21 at in his up at at A. 18 the began occurred 14 15 in on West Belmont. Q· 12 occurred Clarendon A. affidavit of William correct. 7 10 and that correct? 3 5 signature not see Anthony Porter shoot anybody? a I never seen Anthony Porter with gun? victims that four, I did not see who shot the day? ~·:;: 38 1 A. That's 2 Q· And these 3 told 4 correct? you after these Correct. 6 Q· The same four 7 Ciolino 8 correct? because 12 they 14 Well, I Q· But A. Yes, are parallel. Q· four points 16 in the you seen the So these handwritten 18 Q· You are aware in the pool four points that he also that area that night, 22 Q· And he told you that his 4128 North Ann Sathers the same told Ciolino he did see Anthony That's the are correc~? A. 24 them off on, if you will, 21 at interview, correct. and Tom McCann initially either he told comes to the documents, affidavit, That's 23 he handwritten he -~ he signed A. Porter that know what he told oh, when it 17 '20 that present. Okay. 15 things earlier I wouldn't wasn't four things and McCann in the A. 11 the two hours of conversation, A. 10 19 are 5 9 13 correct. right? correct. home at Restaurant, when you saw him right? Clarendon or at 39 1 A. No, that that he 2 to me was 3 for sure that is night, 5 him as he was fleeing. 6 Porter 7 Q· because he thought 9 that Thought, 11 Q. After occasion 13 (1 Taylor 14 saw when at him the again 15 A. Yes. 16 Q· That's on It it was he ran by like Anthony you it Porter looked -- that in the pool area the yes. this you evening had --'after two locations at this conversation with one William we mentioned, you also WBBM TV News? the night he read ~is affidavit television? A. Yes, 19 Q· Did you have brought that looked He told 18 '2 O thought night? A. 17 know who he saw of the way that he saw Anthony 10 12 he he said him. Correct. 8 What didn't that Anthony Porter correct. really 4 to not correct. Yes, I was present. a conversation with him night? 21 A. Yes, I 22 Q· You picked hiin 23 A. Correct. 24 Q· From that point him up to at the his forward studios. home? did you have any : :o·-: 40 1 more conversation 2 about what 3 4 he A. Anthony with Yes, I believe Porter And when 6 A. I am sorry. that -- And he 9 A. He called Q· Did he leave with you 12 13 14 called date? It was a blur of at your office? my home. a message or did he speak I called me a message him back, What was the asking and we had me to call a brief nature of that conversation? A. 19 witness testimony, '2 O thought as a catholic hell 22 fact He was in a lot the 24 you me at 18 23 the person? He left Q. 17 21 recall me. conversation. 15 16 in A. 1( him. do you after week. Q· 11 he called I don't. 8 10 affidavit it was shortly was released Q· events his saw? 5 7 him about for Qwith him A. that, of emotional as he put it, he provided and he repeatedly that pain over false said that he was going to go to it. Did you have other That than was that the any further conversation day? last he time I spoke to him. 41 1 Q· 2 your 3 Anthony would two Porter A. was I weekend of his Porter 7 A. Yes. 8 Q. If 9 THE FOREPERSON: 10 MR. GAINER: 11 Q. I 13 A. Yeah, 14 Q. So 15 it I'm am to after the best you -- of after was that weekend, the yes. got out on Friday? not mistaken the 29th of January? No. sorry. The 5th of January -- of February? been on right your either last the 16 A.- Correct 17 Q· You A. No. Q. Did, 18 days release, Q. been, released? believe 6 12 have recollection, 4 5 That conversation 6th or the would have 7th? . had no further conversation with since? him 19 21 eithdr 22 of 23 execution 24 obtained value to Tom McCann to the or William of from the him best Paul Taylor handwritten on December of your Ciolino in knowledge, promise return for affidavit 11, anything his that 1998? they 42 1 2 3 6 Q. And when I say anything of value, I mean of A. value? Correct. Q. Did they tell you -_ do you know, best of your knowledge, did they ever say the to the 7 words movie rights or book deals in connection 8 with the execution bf the handwritten affidavit? 9 10 A. 12 13 They said nothing like that, hope that they didn't. certainly 11 Q· Okay. and I When you met him on the 14th of December,1998, did you say anything to him about 11 movie rights or book deals? 14 A. No, 15 Q· Did you promise him anything of value in 16 executed 18 Sathers 19 '2 21 22 23 I did not. return for his signature 17 24 They told me they did not. anything 4 5 A. O on this aff~davit that on the 14th of December, 1998, at Ann Restaurant? A. No, I did not. Q· Had you discussed with Ciolino the investigative techniques employedby him when he and McCannwent to the apartment house where Taylor lived? A. I discussed them with both Tom and Paul he 43 1 before they 2 Q· 3 after 5 Q· Anddid you determine that they were that you had described class A. 10 That was the your cop students approach. COPand Paul Ciolino being the b~adcop? A. Correct. 13 11 Q· Did Ciolino 14 that 15 he said A. 16 what i?. II 19 t, bad earlier? 12 18 cop, Q. with of course TomMcCann being the good 11 23 Yes. in your 9 22 A. technique 8 21 returned? doing some role playing this good 7 20 Anddid you discuss those techniques they 4 6 went. he Q· tell you the kinds of things to Taylor? Yes, but I don't recall specifically said. Did Tom McCann tell you the kinds of things that he, TomMcCann,said to Taylor? A. Tomsaid that he spoke very little during the interview, that it was Paul who really took the lead, and basically it wasquestioning himabout the credibility of his testimonyin light of what Tomhad seen in reenacting it the 24 Previous month, and Tom, to hear them tell it was 44 1 occasionally 2 there, 3 that chiming and 4 I Q. 5 to you 6 by Paul the 8 Q· Did Yes. 11 Q· What 12 A. He forth. 14 least a 15 and ultimately 16 17 Taylor 18 the Do when two you A. I ~o Q. And was a believe couple A. Yeah, 23 Q. Did both at his an your of 22 24 first concerns employed either of them ever tell about his nervo-us, to pacing talk and demeanor? back about they it hung in to open up. how long they ~pent when it saw him hour or so. of your for at there with was just them? 19 21 him seen any Taylor? say so, know they of express to want got have talked extremely or down demeanor? they hour was techniques did didn't I could ever Taylor's was half Q· -- did He well, you they about A. and McCann they 10 13 how when anything with, investigative Ciolino No. you see Tom about A. 9 don't Did 7 in estimate with him with him hours? two Taylor home time and to three. during your at restaurant the meeting have 45 1 anything of an 2 A. Yes, 3 Q. Where? 4 A. At 5 Q· Did 6 beverages at alcoholic he Ann he his No. had A. 8 apartment 9 had no conversation have Well, consists of him to get 11 talked for a while in 12 to restaurant. 14 how much 15 16 time 19 ~O were 21 22 this spent A. Somewhere Q· And the at I am aware very small him inside dressed the and hallway that his of. room, this His so we room. come out. and you spent We We then we went with him, apartment? between 15 minutes and a half hour. 17 18 wine. alcoholic that Your two hours was of other with for Q· any not waited 11 a glass drink? Sathers. 10 13 to apartment? 7 the nature the was spent at A. Traveling also talking. Q. How many other the -- the balance of that restaurant? to and glasses from of the wine restaurant did he have we in restaurant? 23 A. One. 24 Q· Did he appear to be intoxicated when you I·1. 46 1 first encountered him 2 A. No. 3 Q· Did Paul 4 anything S beverages 6 to A. 7 interview 8 outside 9 time. io and 12 smelling 13 intoxicated? they Well, to of his recall of 15 Q. Bloodshot A. Nothing Q. Okay. 18 with 19 of Taylor you 21 Q· Who is the A. Waiter 24 Q. And drinking at the though, anything your the next last weekend talked witness case? 23 the in the hallway about appeared haven't right. this of to be that sometime That's in accounts specifically, he so A. with him? saying like and alcoholic eyes? '20 22 of conducted and And is February use their comment alcohol No. 17 hear them A. 11 Taylor's room and he was not 14 16 or Tom McCann say interviewed Did they do you home? Ciolino about when his it was entirely Q- 11 you at Jackson. when do you do that? conversation of to that 6th him or 7th since? you speak 47 1 A. Between 3 Q. And Jackson 4 A. Correct. 5 Q· And you had a conversation 2 Christmas your of called A. Correct. 8 Q· Before with Anthony that did A. Yes. 11 Q· Where 12 A. At 13 1( Q· Who was present spoke with did Cook Anthony 16 1) Q· Do you recall 17 A. It Q. and 21 Year's? before have a conversation and was during the time that you Shawn Armbrust, Tom McCann. the date of that meeting? sometime my contact So sometime the Jail. between with after week between sure, 22 A. I am pretty '23 Q· And who arranged Porter? him at Porter? Dan Sanders, '20 with occur? County A. affidavit you that 15 19 phone? Porter? 10 14 you on the home? 7 9 24 New Year's 1998. 6 18 and Taylor's Waiter the 14th Christmas Jackson. of December and New yes. for that meeting with 48 1 A. Dan 2 Q· Who called 3 A. I 4 Q· Where 5 A. Division 9 6 Q- Division 9. 7 you met 8 area Windows, 11 A. There 13 14 .11 Q. with 15 16 in you A. )1 Sanders, Division were windows and out. And how many the you met when that room was off The group with were where of the me, in that the room Porter? I mentioned. , It was Porter, McCann. correctional A. No. 19 Q. How 20 A. Prison 21 Q· And was 22 A. His hands were you informed was and~ a door people 18 Q· him again? 9. No 24 Porter? doors? Armbrust his with room Q. about with And describe 17 23 meeting you meet a small of Q· opened did was 10 12 the him? It hospital for did. with A. 9 Sanders. officers? Porter clothed? jump suit. he shackled? manacled. I don't recall feet. Were prior to your meeting 49 1 in that i would be taped through a tape recording system 3 that to 4 room? was room that played anything -- 5 A. No. 6 Q· There 8 A. That's 9 Q. How long 10 A. An 11 Q· Did 7 were no in that connected correctional room that officers with correct. did hour to you Anthony Yes, 14 Q· When you the English 1) 17 an meeting hour and take a have place? half. conversation Porter? A. 15 that personally 13 18 somehow said inside? 12 16 or you I did. spoke to him, did you speak in the English in language? A. Yes Q. And did A. Yes. Q. Now, he speak to you language? 19 '2 O 21 conversation 22 that did with you other hear Porter people engage present in in the day? 23 A. Yes. 24 Q· Those people were all speaking English? room 50 1 A. Yes. 2 Q· And Porter 3 response to what was speaking were have a conversation with Dan a conversation with Shawn A. Yes. 5 Q- Did 7 A. Yes. 8 Q· Did he have 10 A. Yes. 11 Q. Tom 12 A. Yes. 13 Q· And 14 A. Yes. 15 Q· Did 6 9 16 in they 4 he English saying? Sanders? Armbrust? 1( that he knew McCann? yourself? you talk Jerry with him about the facts Hillard? 17 A. Yes. 18 a· And what did he say about his knowledge 19 of z;o 21 22 Jerry Hillard? A. knew That Marilyn Q- 23 membership 24 A. they had been friends and that he too. Okay. in No. And did the Cobra he talk Stones? to you about his 51 1 2 Qin the 3 4 of he Cobra A. that before Q. were I Hillard's recall. membership A. That's 8 Q· Did A. To Although I was aware meeting. were aware members 7 9 about this You Hillard talk Stones? Not both 5 6 Did of of the both that Porter same gang? and correct. he tell you how it is the best of in this session as you know, he knew Jerry Hillard? 10 11 described 12 words 13 no him to the reason 14 for Q~ 15 students 16 sorrow 17 convicted 18 friend. 19 effect me As that the of 20 reasons I 21 respond to 22 innocent, 23 four killing 24 again. of fact, one that wanted him a question he about launched statement And I believe think one of expressed was the is into the his like to about his course said be your some and own that? room, whether professing in would that. anything meet and like he that in to there just he had bee~ charged a guy remember I point he a friend somebody When we walked and minute kill at fact Do you A. to a matter said over of, my knowledge, one hear of the him or not he was a three to innocence of making ..:--.·1. 52 1 those statements 2 about being did falsely Q. He did become 4 A. He was clearly 5 Q. Do you recall 6 during this 7 colloquy? 9 A. you to 10 16 years. 11 over again. 12 then from 13 questions 14 have 15 innocent. 16 17 three It say ac·cused 3 8 in I'm there four have that I been responsible Q· What have did about he things I saying just said to it believe went who for the say when he said assume been got friend. he innocent. conversation had a that. I am upset that? other He guys become about minute I did about I me. the murdering upset innocent. You of upset Yeah. believe he what or was. -- this for over and me. And into thought crime might if you need he asked was him those questions? 18 19 he A. and He Inez Jackson 20 Q. Did 21 A. I 22 things 23 prisoner 24 while said that he his Porter, he thought were responsible. tell you think named he, that he lawyers Picky how said he that told Young was Alstory he him who incarcerated knew Simon that? knew and through through while he in was a -- 53 1 Pontiac 2 information 3 from 4 Jackson. 5 tried 11 7 Ken 8 court's And years this all of 11 That's those Q. 12 talking 13 Young So an that named same Picky came Waiter Young affidavit that correct, you about to Flaxman and Waiter Yes. 15 Q. Okay. 16 release 17 Department 18 Office 19 of on 20 right? who attorney brought to the this point I read what he was You the Cook charged Yes. 22 Q· And know some know and A. he told you about Picky Jackson? of 21 you at understood when 5th Hillard you -- the have Jerry and certainly when A. ask name Pontiac gave with affidavits. 14 24 his the (phonetic) A. could is Porter, attention? 9 23 clear at before Flaxman him, could prisoner Q. seven approach that another 6 10 to that February the although that questions in murder didn't that. the murder Marilyn know of Police Attorney's with of December about Chicago State's Simon you Porter's the County Alstory and since 1998, Green, that, I how want to 54 1 A. Sure. 2 Q- He 3 and 4 these Inez told Jackson you were A. That's 6 Q. And he of what he heard 8 Young knew from among 10 Q· What were 11 A. He 14 statement, 15 park 17 11 responsible Simon for other it was because the was things. other aware things? of, and I mentioned independently about that Jackson? whether up you of seeing her Q- Did he tell you that A. No, he told us he did Q. Did you or Offie daughter Inez. can't this the with I leave he Green for the he knew Alstory Simon? 18 19 also recall it to Waiter Yes, 16 that from Ricky Young and what Ricky A. 11 brought somehow said 9 13 believed correct. 7 frankly he murders? 5 12 that not know Alstory Simon. 20 he 21 building at 5323 22 building in the 23 A. I don't 24 Q. That's tell South Robert think the he was Federal, Taylor we building familiar with a high-rise Homes? asked that. where Jerry Hillard the 55 1 lived? 2 A. Okay. 3 Q· Did 4 with the area tell where A. No. 6 Q· Did he tell 7 Simon 8 building? 10 A· the Simon Q· that 13 A· 14 asked 15 sensitive 16 night? 17 that In fact, he knew Alstory and ask four one of I thought was, were And he absolutely from around he didn't that know who he was in the park of them together? the last questions this would you in the denied I be the park Did you 19 A. No. Q. Did you 22 A. Yes. 23 Q. What did 24 A. Then where investigate ask his bei;lg in the park alibi? him questions about his his alibi? alibi? you was ask he. him most that night. Q. 21 lived? you that He -- 18 '2 O familiar was. him because to was Hillard he said and saw the NO. he you that Did he tell night that neighborhood No. Alstory 11 12 from you Jerry 5 9 1` he about 56 1 Q. What 2 A. He 3 home and 4 5 Did with he said part Qout did that of the he tell part of time he you think 7 Q· And hadn't read this meeting testimony you prior to A. As 10 Q. You 11 A. Well 12 Q. Go 13 A. Thanks. 14 proceedings in 15 the summary court's i) was, 17 but he 19 those had I with was was at friends. when he was said. I very still A. Yes. 21 Q. That the That 24 Q. Did have read matter, I of what his this were same A-. alibi with Having aware convicted 23 his said. witness him? not. ahead. '20 in specifically were You been sitting he I have not read Q. 18 he he friends? I don't 16 time out where A. 9 the was 6 8 22 say? the the was familiar alibi on a crime with testimony testimo~y that of appellate itself. aprior that occasion occurred in bleachers? was the robbery bleachers, I you don't have if of I'm a man not mistaken? know. any other who conversation was 57 1 about 2 recall Alstory as Simon, you sit Inez here A. On 4 Q· On this 5 A. Yes. We mentioned to Alstory Simon. spoken 7 students 8 concerned 9 our 10 first then that meeting, 12 remember 11 the to Alstory him that we had This was two of my me briefly. And he became Simon would do something Okay. A. your to County expressing 16 investigate 17 all his else as a result harm that conversation of Inez in you can December at Jail? He concluded 15 of Anything about Cook 14 the gratitude conversation for our by willingness to his claim of innocence a;ld then hugged us. 18 Q· 19 everything he 620 A. Yes. 21 Q. When was the next Is that the sum to you? A. I didn't talk to said and substance time you of talked to him? 23 24 yes. Jackson. Q· 22 you can date? conversation 11 13 and that today? 3 6 this Jackson until he was released, but him again in person I had a couple of very 58 1 brief conversations 2 3 Q· those Do you A. Kis 5 the 6 come 7 doing, 8 going on with 9 don't think the 11 be line. 15 investigation our of of your of Q. So there about A. No. ~20 Q. There Alstory his has other that the actual 24 he hopes he would how he was know what was And I said, me to going talk about well. That I it on would conversations have you you had with talked and about the the students? never been any more alibi? never been any more discussion Simon? Oh, glad to then said. has A. 23 he wanted we your 17 19 him for and he was on and investigation of discussion Linda are release No. 22 matter I asked of the A. about subject investigation. what In all his to things 16 21 phone. had called, proper But since substance Linda know, it's gist 14 18 the And you phone. the wife line. and, Q· (1 him recall And I spoke on the 12 13 him on the conversations? 4 10 with he doesn't than for killer get the him is to say in custody death penalty. that and he's that 59 1 Q- Has he ever 2 seen pictures 3 A. No. In fact, spoke 5 up, and he again said, 6 is. to my students Q· in person tell you that 9 building 5323 South A. I 11 Q· Are you aware 13 11 night said after 14 A. 15 but it's 16 building? that that left one of his Right. 18 A. Lot come and his of people live there. with the alibi It's A lot a large of go. Jerry Hillard lived there, 21 A. Jerry 22 Q. Alstory 23 A. That building? him specifically, Q· Federal guy home? '2O 24 came is where they were that Robert Taylor Homes, right? Q. people with he was familiar I was not aware of that 17 19 week that recall. that they last Federal? 10 witnesses that guy? as when he conversations did he ever can't he's I have no ideawhothis In any of your at I recognize as recently 8 12 to you now that in the paper, 4 7 said Hillard lived Simonlived I wasn't Ye;ah. right? there. there? aware of Correct. -- oh, at South 60 1 Q. 2 Jerry 3 building 4 S 7 7th 8 11 and Alstory the as Q· One 11 14 floor, Taylor with lived I on didn't knew lived hundreds today in Homes, 10th Q. Did A. Yes. Q. Her know that floor, that Simon you have 11 with full Simon, that the same right? of other one lived on Hillard was a on lived on 10th 7. conversation with Inez A. Correct. Q· And her in how Two. 19 Q. During with is of course Margaret Inez many conversations did you have person? A. alone name right? 18 her -- or and were people were there were those conversations other people 21 A. Other 22 Q. On the first conversation A. On the first conversation, 24 here right? I Jackson 15 23 sit Simon Robert Undoubtedly you Jackson? 12 '20 aware A. floor. 10 17 in A. 9 16 Killard are people. 6 13 You present? present who was present? Shawn 61 1 Armbrust, 2 Cara Rubinsky, Q· 3 started And that at her A. Correct. 5 Q· Moved 6 A. Correct. 7 Q. Then 8 A. Correct. 9 Q. And then Brookfield, took place -- that and myself. conversation home? 4 10 Paul Ciolino to to a restaurant? a grocery store? to the Armbrust family home in Wisconsin? 11 A. Yes. 12 Q· During that conversation did you at any 13 Ij time promise Margaret Inez Jackson Simon anything 14 of value to obtain a statement from her concerning 15 the and Green? shooting deaths of Hillard 16 A. No. 17 Q. Did you mention 18 movie 19 Margaret 20 statement 21 of deals in Inez connection Jackson the with and A. No. 23 Q- Did any one of the your presence interviews the to get shooting or of a deaths Green? 22 24 your Simon in order from her concerning Hillard words book rights that day at any people of who were those in four I ·;·· 62 1 locations 2 that that to we A. No. 4 Q. Your before your A. That's 7 Q· To 8 either of 9 about movie No. 11 Q· To 13 her 14 deaths 16 17 to make of 1( in the anything like some contact with knowledge, did best the Inez Q. You your mention a best of had a to her deal? your Simon and anything book knowledge, anything statement Hillard No. of or the A. her right? students Margaret 15 say correct. rights A. had meeting, your 10 offer students first 6 12 ever her? 3 S discussed about did of the value they to get shooting Green? second conversation with her person? 18 A. Yes. 19 Q. Where ~o A. Initially 21 at the Holiday 22 of Chicago. 23 Q. Who 24 A. Many did that it Inn was in present people. take was City at place? WBBM TV and Center, on these near ended north occasions? up side 63 1 Q· 2 her 3 then 4 promise S affidavit? All on this at right. day Well, when the Holiday her anything she Inn while appeared City for her No. 7 Q· Did you talk A. No. Q· Did you -- did she stay A. She stayed Q· Did you pay 14 A. Yes. 15 Q. Did you way pay for the 17 A. Yes. 18 Q· Did you pay the meal io 11 )( or rights for her or book at the Holiday overnight. for that? groceries in Wisconsin? the A. who for that she had restaurant? io 21 movie you Inn? 12 19 about with deals? 9 16 did testimony A. 13 were on WBBM TV and Center, 6 8 you She had paid 22 for Q· 23 paying 24 Simon for total? a cup of chili. I am not sure it. Do you recallhow things related much money you spent to Margaret Inez Jackson at 64 1 A. 2 relates Q. dollar her affidavit I A. how After probably Okay. 8 A. And 10 that I it included as it want to know a spent? the there question just affidavit, around That's also we $100 total? was her the Holiday relatives Inn who bill, were there. Q. Okay. 12 A. And 13 1( Ciolino, 14 late that 15 was probably 17 you signed then 11 16 much your zero. But somewhere Q. but to is she spent 7 9 answer understand. amount S 6 the to 3 4 Well, 11 it Q. were my students included night. What in That Correct. 19 Q. And 20 A. Correct, 21 Q. All 23 were 24 you and drinks area of bill there, Paul for all turned out of to $400. the room that was had? and rather or rooms Holiday about can meal right. Inn a recall? and hundred This the 'other bucks, a large that was it bills that's phone -- the we it, bill bill at discussed as far us be used? A. the the were that includes 18 22 food who as 65 1 A. I believe 2 so that 3 place of 4 where she 5 6 she Q. entire could trying But with Yes. 8 Q. -- 9 A. Correct. Q- Okay. personally on A. Yes. 13 Q. When? 14 A. It 15 16 in November 1) Rubinsky and 17 Q· 18 this group 19 that correct? I Shawn went to This is of yours the very had That's correct. 21 Q. On the first 23 till 24 and you were 7:00? A. That's that is the spent Simon? did you ever Simon? sometime, Milwaukee I believe, with Cara Armbrust. A. afternoon her to then was Alstory been to $5 a job. you-- have her trip trying Jackson Were 20 22 that gave round was find Margaret when bus exception money would Ciolino she to interview 12 the that of A. Paul that was 7 11 take employment amount 10 that correct. first any contact occasion told time you he wouldn't anyone in with him, went in be is the home 66 1 Q· You and your 2 you stayed 3 7:00? there group in Milwaukee A. That's correct. 5 Q· That's when you sent the two young ladies up to talk to Simon, 7 A. That's 8 Q· They went~in 10 A. That's 11 Q- You had already 9 correct? correct. the house for about 15 minutes? 12 right. developed that led you to believe 11 information that he.may be the.killer? A. That's 14 Q· And they came out of the house? 15 A. I was parked 16 of and went back at 4 6 13 -- or the three correct. directly across the street () watching. 17 Q. Okay. 18 A. They came out And then what happened? of the house, I came out 19 of the car to introduce myself and thank him for 20 talking to my students, and we engaged in a three 21 or minute 22 23 24 four Q. Did you durin~ that conversation him anything statement conversation. to -- of value about the shooting to cause deaths him promise to of Hillard make a and ...·· I:-· ~~· .. ~.. . ~~ :;. :--.~-.--~1? · 67 1 Green? 2 A. 3 No, he didn't make a statement about the Shooting deaths of Hillard and Green at that time. 4 Q. Did you promise him anything on this 5 first meetingand asked himto think about making 6 a statement with respect to the shooting of 7 Hillard 8 and A. 9 Green? No, he said he didn't want to see us again. 10 Q. Did you ever promise him anything that first night that you met him for.any reason? 11 12 A. No. 13 ii Q· Did you ever talk about movierights or 14 a book deal? 15 A. No. 16 1) Q. Did you ever meet him agaiI; in 17 A. No. 18 19 20 Q· Did anybody to your knowledge ever promise him anything to cause him to make a statement about the shooting 21 A. Yes, 22 Q· What did he promise 23 A. 24 person? sorry. Paul of Hillard and Green? Ciolino. him? Oh. What did he promise him? No, I misunderstood your question. I am -~··i: 68 1 Q· Let 2 A. Sorry. 3 Q· To the 4 anyone 5 cause 6 shooting best again. of your anything knowledge, Hillard and A. No one to Q· Has anybody did to Alstory make a statement of 10 might 11 promises 12 make statements ·1) with Simon to respect to the Green? my knowledge promised him be the case, made suggested that to there Alstory about to you that may have Simon the to been cause shooting such him to of Hillard and Green? 14 15 16 you anything. 9 13 ask promise him to 7 8 ever me time 11 - A. No, that anyone Q. Did any one of your studen~s 17 you with 18 that 19 Alstory to the contrary. has ever concerns Ciolino they employed This raised the first it. had about in was the taking approach technique a statement from Simon? 20 A. No. 21 p. Did Ciolino 22 something to 23 statement about 24 A. ·, Alstory He told · the say to you Simon shooting me afterward to that get of he promised him to Hillard -- make and Paul Green? Ciolino . . the · 69 1 told me afterward 2 lawyer if 3 Q· 4 didn't Well, 6 that he got 7 fact that 8 same office 9 him. io with 12 and 13 fact get he did get him a him a lawyer, I have no independent him the Jack area Jack Rimland Alstory Simon 14 Jack 15 reported 16 that 17 Simon, 18 that 19 1~ didn't to I am aware in the is representing he got in touch day and hooked Jack know if Paul got and hooked Paul did in touch them up. Rimland and ~ inferred when he came to WBBM, this had managed ask him about to it. with He Jack Rimland was going to r~pre$ent Paul of the who works Ciolino that knowledge up? directly me, say that I don't Rimland but (phonetic) as Paul Did Ciolino A. lawyer, Rimland Q· /1 ~o help one. And in A. 11 needed he would he? 5 21 he that they get Alstory had managed to -- them together, Seemed like but a logical assumption. )1 .Q. Did Ciolino 22 he made this 23 A. No. 24 Q. Did offer he to tell tell you when in help with you whether the a lawyer? or not it process 70 1 occurred before 2 videotape? or after 3 A. No, he 4 Q· Did Ciolino 5 obtained a about That you the found lawyer, A. Correct. 11 Q· Did he was signed? Oh, long 13 A. 14 signed. The 15 you we 16 afternoon 17 18 11 when Q. spoke is she Right. 20 Q. I by wasn't Paul had Jackson on also much later. had (phonetic), `or after for the affidavit heard Simon? Ciolino Abrams told a aware was about it was from late in the you -- when we lawyer had when lawyer? that the been Ciolino? A. Neither 23 Q. Are you as that was the case? that Inez conversation I 22 24 I made come down to WB~MTV. what that he that the phdne that before after she'd Well, A. obtained that time a that 19 21 do first had out was that. that Martin 10 affidavit you out Q· 12 tell found 7 Inez? me Margaret I 9 tell for A. obtained didn't statement lawyer 6 8 the was I. you sit here today now aware 71 1 A. Yes. 2 Q· Okay. 3 promised 4 that 5 representation? 6 A. No, 7 Q· Do you 8 to he Do you pay would promised to the legal incur I know pay Inez completely 10 Q· Did anyone for 13 at whether the )( A. Well, 14 miss-characterizing 15 Q· 16 to allow you say 19 this? to you, A. No. 21 Q. Did 23 24 something A. moment, of to clear that occur that should No, because and I still you to be that. you Inez all I think you should is paying Jackson? you are my investigator. up. I will be happy up. you is better you looked heard did anyone take that my assumption haven't fees? of to that. Ciolino inve`stigator that I am asking it not and as clear Simon of legal say Simon professor, 20 or unaware him What 18 unaware whether ever first We can 17 22 of Ciolino Rimland's or not your lawyers Paul of Alstory Jackson's No, 12 fees am completely A. look whether through 9 11 know a this ever look at was at? until anything this to the 72 1 contrary, 2 lawyers my were 3 4 Q. I 5 A. to 7 not were 9 am doing this Q. pro bone the two about that Okay. lawyers voluntary two basis. questions. the a that anything the that -- basis you refer and were paid. I don't know anything about that, asked you professor. 10 What I 11 was 12 suggested that 13 Rimland. I 14 information 15 A. Right. 16 Q. Do anything am you 18 Rimland's services 19 A. None. 20 Q. You 21 arrangements 22 gonna paid. by Ciolino, any and more don't know information you will, of Simon? anything anything what Okay? if Alstory there Jack develop that. if you lawyer procurement, for or to about have I the trying have Ciolino's A. that got just regarding 23 is Ciolino you be know promised 17 24 a know asking on that on don't just assume was this I I being 8 doing Well, either. 6 assumption about about how the fee fees were paid? I don't know that fees are gonna be 73 1 Q. Fair 2 am not 3 trying to 4 That's all enough. trying to get A. Yeah. 6 Q. Okay. When I 8 told you 9 you 10 promised 11 interview, 12 13 11 spoke with I to her make That's Q. And as 15 Paul Ciolino 16 Martin so you professor, phone a with that since to am Jury. Abrams. day, I I told lawyer. surprised available I Grand things had I mouth. this the Inez was here for I 18 Q. Okay. 19 arrangements io representation? do you me for an A. No, 22 Q. These bear and sitting do -- you the I have am asking knowledge services of the you that attorney Inez? now. Do in 21 Jury am procured Abrams they I sit A. Grand your same on -- correct. 17 24 the that because A. today but in to you -- not correct? 14 23 words And that that put am information 5 7 I you know connection I do two am with about fee that not. questions repeating I anything so clear. may that have the been record asked, and the 74 1 Did 2 Ciolino 3 Jack was paying 4 A. No. 5 Q· Did 6 Ciolino 7 legal was fees to 9 Q. Now, relationship 11 A. that Paul legal fees to about with a dozen you Inez that Paul Jackson Simon's Abrams? what was Paul Well, tell Margaret Marty No. 11 you Simon's ever paying A. 13 tell Alstory anyone 8 12 ever Rimland? 10 Paul -- or what Ciolino and years. I is on have this ~een We worked your case? friends for ~on several cases together. 14 On 15 volunteer 16 help us find 17 ones 18 later on 19 would like 20 students 21 else 22 to 23 agreed. 24 anyone his in at the this case services may to and be rely for security times when interview And asked to do him data if it agreed. an occasion on you to do I would th'e was of sources, the then I be than an informal said I with anything available and I -- interviews students, sort to which more not would searches And in purposes with so he he base some of the more elusiv~ Milwaukee, it I to go ad hoc he 75 1 thing where I 2 help as 3 were things 4 without Paul; 5 his without opposed own 7 A. The 9 confessed. 10 11 with 12 a 13 time for and things I There did that on Paul our own did on his own things? thing -- that Paul Alstory did Simon you he went up late late have a there' did on in which he conversation to try and obtain statement? A. Yeah, Q· The -- that night, previous night. 15 16 on the 17 conversation On the Q. He called you 19 A. He called me 20 Q. And what 11 · took place in person or telephone? A. 18 to investigation. those of before time students. were he from students were main Did him 11 14 my interview Q· him a joint my What the to there Q. was on that 6 8 call 21 going to Milwaukee 22 Wednesday? 23 A. Wednesday. 24 Q. The 3rd? telephone. did that or you and I he tell Friday called called him you -- him? with I back. respect am sorry to 76 1 2 A. Correct. You and previous I had step back for a Q- That's 6 A. And after 7 out 8 bring 9 day, if any with my students the and 10 so 11 willing 12 and that correct? of Inez none Paul the 15 certainly 16 he 17 there 18 against 19 editorial 20 Saturday's 21 far 22 could 23 handle 24 was see her truth. to And something knew him news -- in in the fact from be armed it him himself. following and he Saturday and as him the to the is of because since allegations in Paul said I heard he said an previous to stay We thought next tell mentioned we wanted when be he would, con~erned been dangerous. morning he would a part Tribune, the next And That about possible. And get be that the that luck. had to to swing by Alstory we were stories Tribune, away good and not He s'aid we cannot who we were, had been or he could said, find available Chicago whether if to unavailable. he wanted see I also down. in addition be down to I was to I wanted would Simon was. house 14 meeting my students be bring )( Simon's our Jackson I called the met day. S 13 to second. 3 4 Well, he he could from that as him he had 77 1 gotten the 2 Simon 3 preparing 4 Chicago. videotaped and 5 Q· 6 conversation 7 pretext along 10 but 11 what 12 as 13 not over at her and her Did you discuss the A. 9 was He said those lines. wasn't even he was saying. do these I you it in would family with that he had he he paid 15 A. No, he was Q. Was that a only A. Other than data base 21 A. No, he 22 CBS 23 made 24 was producer John several done, copies I arranged see occasion 18 then sort in it it, from of wing whether it or at all? where he not. one He was use services with Q. gonna his not 20 this difference. for the only of something what and alone, the use gonna something is to that prepared was 17 this the situations make in know He was Was 19 him down planned? didn't sure help come before I Alstory house to he Q. 11 from Jackson's that 14 16 Inez evening statement 8 confession thing he turned then turned of for, your by tape the tape. I believe, yeah, himself over tape (phonetic) the students? searches, did the Mondello of did And to you? over to who then when three a that of my 78 1 students 2 office to to bring give the to original Q. Two 4 A. I 5 Q. Miss 6 A. McCann. 7 Q. You came here this Grand A. Correct. 10 Q· That 11 A. Correct 12 Q. And with all the that 9 13 14 () return of possession Pitts A. Yes. 16 Q· Okay. bring 18 A. 19 oversight. 20 because 21 bringing 22 only 23 students 24 meeting and Jury Mr. today issued all documents but at of from served was would to Northwestern have you? for in an oversight the your not that today, it didn't believe notes that where as bring that an them my students with them I had we you correct? describe convers'ations agreements upon called you documents their subpoena case? It led to week? respect I intentionally flowed pursuant last due this I I was McCann? was personally those No, all to your believe about didn't tape students? 15 17 the you. 3 8 of had you at said were and that with my our first you were not 79 1 gonna issue 2 produce all 3 a separate of Q· their well, 4 testified in 5 of but 6 described 7 misunderstanding 8 professor 9 have photos subpoena one Grand there of Jury is contained nothing would due students that produced like 23 pages what you So perhaps between a~l your has therein. is with they notes indeed the and the respect, the student and because I the don't those. 10 A. Yeah, 11 Q. It's 12 to ask 13 11 return you I quite will to apologize. you this A. Absolutely. 15 Q. When will you are that while 17 be 18 the 19 turning 20 going some brief notes, but the A. to get you 23 of all of 24 not you it their so. would it -and return? depending simply a the be possible Grand overnight then caution you throughthere to by notes? I would that be way to be? wanted convenience those needed over memos me earliest thinking overnight I simply with that could your need your Jury exhibit Well, 22 right. testimony about 21 at Grand 14 16 all discuss may what's question of Jury for and me mail in to a copy whether or 80 1 Q- 2 professor. 3 time Okay. Friday. My next available Would that Q. Is 7 A. I have teaching and Q. a school you? day? obligations between I ask that you return on Friday me now then with your notes and perhaps if you can get 11 them to overnight. 12 13 for day would be Thursday. 9 10 it work 6 8 to set up a now. A. 5 may have questions, I think it would be better right 4 A. 1) I will do that. MR. GAINER: All 14 15 The Grand Jury right. A JUROR: Going back to that made to you after Porter's phone call release. Taylor I didn't 16 (lunderstand his expression of remorse: In ""Y way did you question which testimony he was referring 17 18 to, 19 fact the 20 21 one that acquitted A. accused one that in him? He was talking testimony, because 22 helped put an innocent 23 almost died 24 him or the because about the accusatory almost of his exact man on death words is, row and he me. A JUROR: And yet this is the same guy that I 81 before 1 that 2 do with 3 A. said this. I don't I wish That's Can I 5 The reason 6 Mr. Porter 7 issue 8 he was concerned 9 house and elaborate dead back that THE FOREPERSON: 12 A JUROR: A JUROR: 16 11 Thank A. he was afraid he police Any you Porter was Why is she observed Hillard leave 19 Alstory Simon. Though the 20 mention Simon. In interview 21 that 24 reason to the park our present with Offie innocent? that together, all boyfriend Inez Jerry Jackson with and does not her she too. than she that affidavit A JUROR: But other they come to his her d~ughter 18 fact he that? Green and her daughter's 23 would stated Marilyn 22 that other 17 was said of this correct. Because Simon wanted you. that That's Taylor harass. Professor, believed 15 Mr. the or 11 A. dead? that? because intimidate 14 on that up, A JUROR: (1 Green was already was because 10 13 Porter to right. 4 coming want to have anything left -- but just that's by the the said 82 1 A. No. 2 to say that 3 Milwaukee 4 very strange 5 leave town. she was told she the next her She also 7 had recently 8 robbery, 9 or her 10 jewelry 11 was 12 armed were robbery 14 one 15 ma'am. 16 way day he and said, And she 18 witnesses or 19 trial there 20 put 21 interviewed 22 explain Porter Alstory prison Simon for her check assumed the saw Al`sto~ry Simon finally~she to and told in kill that armed daughter's the your be her motive as us an that courtroom daughter, believable There seems so that at is to be testified at the scene by any of least but your at least the in the eight original four of them that none of them were students. Can you why? A. witnesses? would she I didn't was it. A JUROR: 23 it with her on for taken she then found that her encountered said and and left friend that had continues thought from So And Porter she daughter's missing. robber. 11 Anthony she she they and noted that armed 13 17 cash that released she -- was aware been and says day, that 6 24 Then Why we didn't interview the alibi did 83 1 A JUROR: 2 witnesses 3 shooting? 4 that A. 5 there 6 concerned 7 those 8 Taylor. Why saw Well, were 2 key from key that A. 12 MR. GAINER: Q· Let 14 11 That's of at the scene -- of the witnesses one as the dead as we were testimony. and were far the the One of other only the two was William that were correct. me ask you a follow-up question, professor. 15 16 the found? 11 13 interview Porter reading Those you didn't witnesses is A JUROR: 10 we witnesses 9 you You at reports that were 17 A. Yes. 18 Q· You 19 other young 20 police, 21 shooting 22 were were the some point obtained were aware not, same night for that men who were you read in the Mr. there interviewed connection that Taylor police S~nders? were by with and four the the Williams interviewed? 23 A. Yes. 24 Q. Those people being Beckwith, Senior, 84 1 Woodfork, 2 and A. 3 I remember 4 to be more consistent 7 account, they names, people gave that with the 9 Q· That is to say those A. 13 () weren't Q· 15 16 the 11 17 I remember to that discern of were. identified did Anthony he 16, ZO RD 290330 A. glasses, 1982, Q· I'd I will "Kenneth attention supplementary to ask be the report. happy Edwards to have read to 4 of the under and Gray? I don't you' page report by Salvatore Unfortunately but as so. your authored Porter not? Please August the they ·-- but they Q. do put night? one who they night, I direct 21 that I would have to go back over 19 appeared Simon A. 18 an four people reading that Mr. Edwards shooter that Alstory bleachers statements able police remember. up in the witnesses' 14 can't Yes, I do not? I people the night A. four but saying. 8 12 24 the happened 6 11 23 are four of what did correct? recall you Those account 10 22 don't what Q- 5 Edwards, it read was my reading to me. it. interviewed and he 85 1 related 2 Beckwith and Senior 3 he and three of his friends, went to the Washington swimming pool about midnight on the day in question, 5 that 6 north 7 gallery area in the uppermost northwest section, 9 16, August '82, Sunday. he and friends side, entered fence. He observed four people (victims and offender, unknownmale black). were sitting and talking to each other. and his group proceeded further 11 and he and Eugene Beckwith 12 Approximately 13 out of the pool. 14 and saw a muzzle flash 15 observed the offender 15 minutes victim at point Kenneth down the pool area ~enneth had come from a handgun. Tony Porter and fired blank He then standing 2 more ~hots over at the range." reading 19 A. No. 20 Q· Do you remember reading four They began~ to swim. later Do you remember these in the He heard a shot and looked up 11 one of the victims 18 21 Kenneth related the pool area on the 10 17 Park 4 8 16 Woodfork, that? anything about anything that men? 22 A. Yes. 23 Q· Okay. 24 A. I don't remember reading 86 1 specifically 2 last 3 and look 4 he came to part 5 I don't at Q· 6 identifying A. Yes. 8 Q· Well, only 10 place these are No. 12 Q· That is with him? interview the 14 A. Okay. 15 Q· Are 16 A. Am I aware 17 another you Q. Yeah. 19 A. -- 21 Q. Okay. 22 Woodfork, 23 that 24 the how it as the was that shooter. do you have any reports? aware that Edwards' that is the name appears in only aware of of summary of any that? whether or not there is report 18 20 you It's reports? A. 1( see today, police Kenneth 11 13 there these that to Tony Porter As you sit of Porter. I would have to go back documents identify 7 9 recall. other recollection Anthony that mentions the witness? I don't know. is A. But Senior, more Yes. similar and you are Beckwith to the aware give Alstory Edwards, an account Simon account? 87 1 Q· 2 those And four men, 3 A. No. 4 Q. You 5 those four A. No. 7 Q. You those four 9 10 11 students did they? didn't ask didn't go A. No. Q. None of your of those A. That's correct. 13 Q. Okay. Now, 15 statement 16 11 to you by of That's Q. Did 19 A. Yes. 20 Q· When 21 A. It 18 Ciolino to find out yourself and look group ever for of Lee conducted any men? this a Offie Green statement Green, form statement entitled right? right. you have an independent interview of her? 22 saw 23 December. 24 way Offie A. 17 Paul four 12 came investigate men? interview 14 didn't men? 6 8 your Anthony Q. did would Porter And were that occur? have been at there the the county videotapes same day jail sometime of that that we in 88 1 interview? 2 A. Yes. 3 Q. Oh. 4 A. CBS 5 Q. Oh. 6 A. The interview 7 Q· Oh. 8 the Well, interview. was conducted let me ask by -- you this question, professor. 9 How many -- 10 there out 11 that how many other tapes are there? A. 12 13 conducted First of all, I don't have a copy of tape. -1) Q· I am not 14 This whole 15 get 16 find out everything 17 that 18 as 19 pending against 20 ask this to thing the you 21 David about, 23 whether 24 member Protess, they of your whole adversarial here. is We are just to trying to you know an~ everything about this professor, Alstory thing truth. that know we Simon. case, have because a case And I am going to question: How many 22 this of the students we talked to -- bottom your trying interviews conduct were class, t'hat videotaped or did were you, videotaped, by you, someone Professor from Ciolino, CBS? a 89 1 A. I 2 Q. who did? 3 A. The interview 4 didn't correspondent conduct at 5 Q· Were 6 A. No, I present to see Offie 8 home. At 9 wait. That was good 10 I was gonna get to 11 my and I 12 interview. Q· 14 down interview 15 point So you of Offie enough see left Q. All right. 17 A. John 18 producer, 19 at the She They wasn't decided me because interview and CBS anyway, not to then conducted have from I understand and the conducted an the producer? CBS News that he was was the not present time. Okay. 21 A. The interviewer Are there 24 interview. no. Mondello Q. 23 the Green. the Who is "20 22 at Green? personally, but by a cameraman. for personally Not 11 a CBS arrived. A. 16 and not gone 13 conducted was We had studends News interview. present? 7 some was CBS you the was -- Cynthia Bowers (phonetic) 11 ' that Q. you did not any participate more interviews in ~hat like you are this aware 90 1 of? 2 A. No. 3 Q- This 5 A. That's 6 Q· So you never talked 7 A. No, I did not talk 8 Q- In her statement, 4 is the only one that you know about? 9 correct. to her in person? to her in person. which I am going to show you, Grand Jury Exhibit C. I am not going to 10 ask you to read it to the Grand Jury. I am going 11 to ask you to do the best you can without your 12 reading 13 glasses. )1 Does that look like the form? 14 A. That's the 15 Q. And it came to you in this 17 A. That's correct. 18 Q. And that 16 1) statement. unsigned condition? 19 me when you gave 2'0 A. That's 21 Q· It's it the way you tendered to your 23 and the videotape 24 prepared information it to me? correct. from this 22 and is about that apparently document Offie that Lee Green and the you saw that played you got all on the Cynthia news -- Bowers 91 1 sometime? 2 A. 3 between 4 Offie and Anthony Lee then Green So there 6 A. Post release. 7 Q- It's a tape 9 don't tape 11 Green's 12 13 that 11 nothing have Embracing -- things. and it, but Okay -- released I it's a and Marilyn from essentiallylwith I know the almost said. Q. 15 exists he's and tape? showed Porter after freed television. to do with these that on another that encounter he was saw anything exists mother A. 14 have I is know about 10 after which Q· you didn't a subsequent Porter 5 8 16 Yes, a )1 Okay. couple The 17 to you on the 18 Porter. All of right. phone A. Yes. 20 Q. He called 21 A. Yes. 22 Q· He had 23 A. Yes. 24 Q. Did you I do others. statement 19 I am sorry. that Taylor after the your home? your record home that ~alled release phone number? statement? -- made of Anthony 92 1 A. No. 2 Q· Did 4 A. No. 5 Q· Did 3 form or 7 asked A. 8 him, No, that's 9 MR. 10 anything you make a statement him to I the GAINER: A JUROR: 11 your 13 11 involved 14 -- stay 15 main thing, I have about that -- make up a 1( execution? A. Correct. A JUROR: to anyone? tried that a couple involved to reassure Porter case You had was free. questions. going back testimony after a of -- of your you phone -- to you got learned call from about the an attorney? 18 A. 19 A JUROR: Whom 20 A. I 21 A 22 A. 23 A JUROR: 24 down Okay. this of it basically beginning in repeat just You got 12 17 write statement? 6 16 you the same Correct. No, JUROR: you know You knew But she did not know? her. her? Uh-hmm. office complex is -where she is your associated -- where in the 93 1 friend who 2 3 is 4 Ciolino. an No. She solo practitioner. A JUROR: 6 your 7 say 8 investigator 9 Alstory Simon 10 confess and 11 something, 12 that? No, A JUROR: 15 and he 16 the morning A made that as was I shouldn't interview getting a fat him chance, or on a Saturday morning, on a Wednesday morning. morning. And for -- for to was this is -- early with him in recall? Yes. JUROR: And they were actually '2 O that they had A. So he had going a cameraman to show him and a short tape manufactured? I've been told. have we I've not seen the tape. 23 24 was Paul this to not interview I 19 22 said A Wednesday this when ultimately you that but who question. -- Milwaukee with where 14 18 and to another investigator to attorney connection have -- went A. A. I offices? penalty No your and has a death investigator 13 17 is Okay. When 21 investigator A. a 5 is A testified JUROR: to Nor us that he that produced I know -- of. he made But such he a 94 1 tape and 2 cameraman 3 then 4 what's 5 shown he showed as his at that 7 A JUROR: 8 A. A 11 A. they had came in And he shown and this then said, oh, and an interview time on Did you CBS -- look was being News. Yes. Yes, but JUROR: he~ had shown 13 shown 14 students and 15 referred to 16 him to 17 it 18 News 19 he by know about that's the that 22 expressed 23 he, this? order he in tell which it was that had been on. is it the other his affidavits and the wife It tape was happened him was at over tell the -- coincidence that persuade this any of CBS Morning it went a happy you buying watched to my that to the accusing Paul, willingness just until And it to This the trying and television. according that and he wasn't' went estranged me Simon things truth, to Alstory gathered They us. described that I had to to Mr. Ciolino A JUROR: opinion? want Ciolino, the on national 21 him, among tell came you way Paul according saw Do The 12 24 him. described. 10 "2 O to on television, A. was after cameraman 6 9 it and of there murder that the point line and in your truth. happened 95 1 to be on the 2 morning, 3 comes day this that news he's report A. Actually it and 6 morning 7 A 8 A JUROR: Or could -- know, this in the interview they were as part then of the JUROR: the evening re-airing before it CBS Morning the next News. Yes. it it into have been the that, recorder you and showed it? A. 12 All been told )) of I can do is by Mr. Ciolino A JUROR: So is the to tel`l you what I've in terms of the sequence events. 14 15 and he popped 11 13 with aired 5 10 early on 4 9 there night 16 personal 17 and 18 before, 19 ma'am, 20 the 21 couldn't 22 live. 23 the 24 morning No, and it wouldn't tell CBS Morning I mean, have and popped I'11 have possible he -could cassette A. it have in and aired retrieved it had his in i;lto that night, as part own the TV I have occurred. something its was aired possible, Because this CBS thenthat confession, it been you why. News when popped it that of So he aired the night footage a news seen from story. of that So 96 1 it actually aired. 2 TKE FOREPERSON: 3 A JUROR: The mother 4 killed, 5 left 7 9 house A. think to go I can't she 8 other of questions? the daughter to the park? recall. It was around retained and 10 interviews 11 Jury talked or or what A. 13 11 counsel, 14 obviously what to counsel might be you might I understand that my other I have no to Miss Armb~ust students THE FOREPERSON: Any other 17 MR. GAINER: your 19 of the 20 Exhibits exhibits A, B MR. GAINER: 22 Q. The caution 24 have For you, given professor, some testify Grand to? retained have not, and questions? we have ladies you copies asked to this and of all point, C. other you any this information, be furnishing and students you. that 21 23 I counsel. 16 I will in have A JUROR: gentlemen, Thank about said 15 18 dark said. A JUROR: Have you or any of your 12 who was did they -- did they say what time they her 6 Any thing that is information the I would Grand about like Jurors secret to today Grand 1 Jury 97 testi mony. the law is 3 the Concerned 5 talk You Said, in the as far as about Whether you about my opini On is may what 11 12 13 14 I will respect Q. remember thatl that but that I to tal`k t, in the 15 A. Q. 18 19 Witnesses because A. 20 21 22 Q. about it~ A. 23 24 What People Secret. another that you SPirit of their Sure. 16 17 you can and WOUldjust ask Was done inv estigation. They talked had they to Say, about and what ·th~, that ·, their .,,Sure investigating So I in fact certal"ly won~t be Saying Grand Surer right, this case. anything Neither will I. A JUROR:Did you Say all that. YOUmay want 1awyer about eve are Other Protected of Secrecy thOuSh. 10 A. Status know, 'here is mony. told have I think thing that is clear, JurorsOne the Grand 9 unclear Your testi 6 8 Proceedings It's about while such that~ You Surrounding 4 And that Didyousaythati, shavnl to the Young lady? 98 1 MR.GAINER: I didn.t say anything about 2 discussing th, testimony of other witnesses 3 because none of you Grand Jurors 4 5 8 9 MR. GAINER:We talked from the police report about what she told you she had a lawyer, I discussed with him all of her testimony after her 11 so. 14 15 16 A JUROR: -11 into Are you or your students finalized? Wefinalized our research, students and I are working on other Protess appearance looking this any further at this stage or A. knew S~enerally 10 13 have and the cases. THEFOREPERSON: A,y other 9uestions? 18 (No response. 19 (Witness excused. 20 (Investigation 21 22 23 24 any concerning Ke""eth Edwards, and I discussed generally, .s Professor 12 17 her information about what other witnesses have said. A JUROR:Wetalked about KennethEdwards. 6 7 gave continues. you