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C2GFDAU1 Brune - direct 278
1 counsel, correct?
2 A. I was.
3 Q. And that prompted, that note prompted Ms. Trzaskoma and
4 others in your firm to do additional research on Catherine
5 Conrad, correct?
6 A. That's now my understanding, yes.
7 Q. Did you know that at the time?
8 A. No, I don't think so. But I'm not, I really don't think
9 so.
10 Q. So is it your testimony here today that from 7:30 in the
11 morning when Ms. Trzaskoma sends out the first e-mail --
12 MR. SCHECTMAN: Judge, just for the record, that 7:30
13 is the west coast time on the note, I'm almost certain it's
14 10:30 and I think we can probably stipulate to that.
15 MS. DAVIS: I'm not willing to stipulate to that, your
16 Honor, and I'll move on, but I'm not willing to stipulate to
17 that.
18 A. I'm sorry --
19 THE COURT: Why don't you put a new question to the
20 witness?
21 Q. So is it your testimony here today that you were neither
22 included on the e-mail traffic nor made aware of the e-mail
23 traffic up through the beginning of jury deliberations?
24 A. I certainly was not included on any e-mail traffic. What
25 I'm saying is I don't have a recollection of being made aware
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