gov.uscourts.nysd.447706.1331.10.pdf PDF
…A. I don't recall, no . 19 Q. If you said that in your s t atement, that 20 you remember - gett ing money for bringing you 21 here t hat day, would that be a t r ue statement…
…A. I don't recall, no . 19 Q. If you said that in your s t atement, that 20 you remember - gett ing money for bringing you 21 here t hat day, would that be a t r ue statement…
…PAGLIUCA: If you can just do a little 20 pause in between his question and your answer. 21 I need an opportunity to object to any form or 22 foundation problem with his question. 23 THE WITNESS: Sure. 24 MR…
…the 12 form and foundation. 13 A. No, I've communicated with him very 14 little, as little as possible. 15 Q. Why did you feel you had to keep 16 him informed of statements you were making to 17…