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Document 120-ec1-00330-PAE

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Case 120-ec1-00330-PAE Document 16161201 Filed 02/24/22 Page 239 of 67 A-5657 UNITED STATES OF AMERICA, v PAUL M. DAUGERDAS, ET AL., February 15, 2012 C2FFDAU6 Conrad - direct Page 189 1 A. I understood that, sir. 2 Q. And did you know in March of 2011 that your husband had 3 been in fact arrested and convicted a number of times? 4 A. Yes, sir. 5 Q. And did you know that he had been sentenced to prison in 6 1980 for receiving stolen property? 7 A. No, not 1980. 8 Q. Did you know that in 1981 he had been convicted of 9 possession of a controlled substance? 10 A. Sir, I don't know the dates. I thought it was in the '70s. 11 I'm not sure. 12 Q. Did you know that he had been convicted of a probation 13 violation and of making terroristic threats? 14 A. That might have been '93. Vaguely I remember. 15 Q. Did you know that he'd been indicted for check fraud and 16 unlawful possession of weapons? 17 A. That was in Manhattanville, Kentucky in like 1976 when he 18 tried to board an airplane with a gun. 19 Q. So that's not the incident in August of 1985 in New Jersey? 20 A. Sir, I was ten years old probably then. I don't know. I 21 can't tell you. 22 Q. Was he indicted a second time for receiving stolen property 23 and burglary? 24 A. Sir, I don't know. 25 Q. Did he get 18 months in prison in 1993 for harassment, C2FFDAU6 Conrad - direct Page 190 1 burglary and terroristic threats? 2 A. I don't know. 3 Q. Did you know that he was convicted for auto theft and 4 served, got a ten-year prison sentence for that? 5 A. No. Seven years, seven months. 6 Q. Served seven years and seven months. 7 A. Paroled out, yes. 8 Q. Did you know him while he was in prison? 9 A. No. 10 Q. You met him afterwards? 11 A. Yes, sir. 12 Q. And he disclosed his criminal history to you? 13 A. Yes. 14 MR. OKULA: Objection, your Honor, to marital 15 communications. 16 THE COURT: I'll sustain any further inquiry along 17 that line. 18 Q. And you concealed your knowledge about your husband's 19 criminal career in order to make sure that you would get a seat 20 on this jury, is that correct? 21 A. Yes, I concealed his career. 22 Q. Does your father work for the Justice Department right now? 23 A. Yes, sir. 24 Q. How old is he? 25 A. On March 1 he'll be 80. And I remember specifically that C2FFDAU6 Conrad - direct Page 191 1 voir dire commenced a year ago on March 1, because that was his 2 birthday. 3 Q. Now, another question that was asked of the whole panel was 4 whether you or a close relative had ever been involved in or 5 appeared as a witness in a variety of types of investigations 6 including investigations by licensing authorities. 7 A. Yes, sir. And in retrospect, I should have mentioned the 8 disciplinary committee proceeding. I didn't just connect the 9 two at that time. And that was obviously a pertinent issue 10 that should have been raised. 11 Q. I see. So on March 1st or 2nd, you didn't think about the 12 fact that you'd participated in a disciplinary proceeding? 13 A. Please say it again. 14 Q. When you were testifying as a juror, potential juror here 15 on March 1 and 2nd, you weren't thinking about the fact that 16 you had participated in disciplinary proceedings? 17 A. No. I thought about testifying in my mind about my 18 personal injury case and more along those lines. No, it didn't 19 occur to me. 20 Q. Even though you had filed your petition for reinstatement a 21 day or two before that? 22 A. I just didn't look at it that way. 23 Q. You believed that by serving on this jury you could get 24 some measure of vindication for yourself, didn't you? 25 A. Not at all. Vindication for what? C2FFDAU6 Conrad - direct Page 192 1 Q. You believed that you could somehow vindicate yourself as 2 having done something worthwhile after a career that was in 3 disgrace at that point? 4 A. Are you trying to say that serving three months on a jury 5 is akin to some sort of penance? I don't understand really 6 what you're trying to tell me. It was my civic duty, which I 7 performed to the best of my capability and ability and I 8 believe I did it fairly, justly and unbiased. 9 Q. Was it your civic duty to perjure yourself in this court? 10 A. It's nobody's. 11 Q. So you didn't really do your civic duty, did you? 12 A. Of course. Rendering the just verdict in an unbiased 13 fashion, I certainly did. 14 Q. If you were on trial for a crime, would you want to know 15 that one of the jurors who was judging the credibility of 16 witnesses and had your fate in his or her hands had perjured 17 themselves repeatedly at voir dire? Would you want to know 18 that? 19 MR. OKULA: Objection, your Honor. 20 THE COURT: Overruled. 21 A. Probably not, if I was a good criminal. 22 MR. GAIR: Your Honor, this would be a good place to 23 break. 24 THE COURT: All right. We're going to take a 25 ten-minute recess and then we'll reconvene and endeavor to Page 189 - Page 192 (48) SOUTHERN DISTRICT REPORTERS DOJ-OGR-00009261