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Document A-5646

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UNITED STATES OF AMERICA, v PAUL M. DAUGERDAS, ET AL., February 15, 2012 C2FFDAU4 Conrad - direct Page 145 C2FFDAU4 Conrad - direct Page 147 1 MR. GAIR: Your Honor, I move the admission of PMD 2 Exhibit 2. 3 THE COURT: Any objection? 4 MR. OKULA: No, your Honor. 5 THE COURT: PMD Exhibit 2 is received in evidence. 6 (Exhibit PMD 2 received in evidence) 7 Q. Let me ask you to direct your attention to page 203 of 8 transcript. And I just want you to focus on lines 4 through 9. 9 Judge Pauley asked you, I think Ms. Conrad, Juror No. 3, that I 10 was about to begin with you when we suspended yesterday. So 11 first, would you tell us what neighborhood you reside in? And 12 you answered Bronxville in Westchester. Is that correct? 13 A. No, you're reading it in correctly. It says Bronx Village. 14 Q. Okay, was your answer at the time Bronxville but possibly 15 the court reporter got it down wrong? 16 A. Absolutely. 17 Q. So in answer to the question where you resided, you said 18 you resided in Bronxville, that's in Westchester County, 19 correct? 20 A. Yes. 21 Q. And you don't reside in Bronxville in Westchester County, 22 isn't that correct? 23 A. No. 24 Q. No, it's not correct? 25 A. I have two addresses. 1 were living. 2 A. I sometimes stay in Bronxville as well. 3 Q. And my question to you was on the day of voir dire when you 4 woke up -- 5 A. Oh, but that wasn't your question. The day of voir dire, 6 then that was in the Barker Avenue address, correct. 7 Q. Okay. How about on February 28th, the day before voir dire 8 dire. Where did you live on that day? 9 A. The same. 10 Q. The same what? 11 A. Address. 12 Q. You lived on Barker Avenue in the Bronx? 13 A. Yes, sir. 14 Q. And we know you lived there on March 1 because that's the 15 first day of voir dire, right? 16 A. I'm not sure. I think March 1 was a Monday or a Tuesday, 17 I'm not specifically sure. 18 Q. In fact, ma'am, you had lived on Barker Avenue in the Bronx 19 for the past two years at least, correct? 20 A. Oh, sure. 21 Q. Oh, sure. 22 A. And this has everything to do with why Mr. Daugerdas, your 23 client, is guilty or not? 24 Q. And when the Judge said where do you reside, you made a 25 deliberate decision to tell the judge that you resided in C2FFDAU4 Conrad - direct Page 146 C2FFDAU4 Conrad - direct Page 148 1 Q. Let me ask you this: When you woke up on the morning of 2 March 1 of 2011 and you got out of bed and you walked out the 3 front door, were you on Barker Avenue in the Bronx? 4 A. That's confidential. 5 Q. Or were you in Bronxville in Westchester? 6 A. Same answer. 7 THE COURT: It's not confidential. I'm directing you 8 to answer the question. 9 A. Barker. 10 Q. Because that's where you live. 11 A. And what does this have to do with convicting your client? 12 Q. Ma'am -- 13 A. I -- 14 Q. Do you -- the truth of the matter is that you lived on 15 March 1 and 2nd and every other day in March of 2011, you lived 16 at 2385 Barker Avenue, apartment 3H in the Bronx, isn't that 17 correct? 18 A. No. 19 Q. What days did you not live there? 20 A. Probably the beginning of March. 21 Q. At the beginning of March you did not live in, you did not 22 live in the Bronx? 23 A. That's my address and I also have a Westchester address, 24 sir. 25 Q. I didn't ask what your addresses were. I asked where you 1 Bronxville as opposed to on Barker Avenue in the Bronx, 2 correct? 3 A. That -- both are correct. 4 Q. So you were not trying to mislead this Court when you said 5 I live in -- I live in Bronxville in Westchester County? 6 A. And myself and the other eleven jurors did not mislead this 7 Court when we rendered our fair and just and unbiased verdict. 8 MR. GAIR: Move to strike as non-responsive, your 9 Honor. 10 THE COURT: Application granted. 11 Q. Okay, Ms. Conrad, the fact is -- let me just get a little 12 background. Do you live with your husband? 13 A. Yes. 14 Q. Your husband is a career criminal, right? 15 A. So are most attorneys. 16 Q. And, Ms. Conrad, your father is an immigration judge for 17 the United States Department of Justice? 18 A. DOJ. 19 Q. Yeah. Are you trying to tell me that sometimes you and 20 your husband, the convicted felon, are living with your father? 21 A. Love has no bounds. 22 Q. So do sometimes you and your husband live in the Bronx? 23 A. We don't sleep in the same bedroom as my parents, sir. 24 Q. Do you sometimes sleep in the Bronx with your husband, same 25 house?