📄 Extracted Text (29,123 words)
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4 DIGITALLY RECORDED
5 SWORN STATEMENT
6 OF
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9 OIG CASE #:
10 2019-010614
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18 DEPARTMENT OF JUSTICE
19 OFFICE OF THE INSPECTOR GENERAL
20 JULY 20, 2021
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RESOLUTE DOCUMENTATION SERVICES
28632 Roadside Drive, Suite 285
Agoura Hills, CA 91301
Phone: (818) 431-5800
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1 APPEARANCES:
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3 OFFICE OF THE INSPECTOR GENERAL
4 BY:
5 BY:
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8 WITNESS:
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12 OTHER APPEARANCES:
13 NONE
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1 MR. : This is Special Agent
2 Today is Thursday, July 15, 2021. The
3 time is 4:03 p.m. and I've turned on the
4 recorder. My name is , I'm a
5 Special Agent with the U.S. Department of
6 Justice, Office of Inspector General, New York
7 Field Office and these are my credentials.
8 MS. : Okay.
9 MR. : This interview is with the
10 Federal Bureau of Prisons Correctional Officer
11 and this interview is being conducted as
12 part of an official U.S. Department of Justice,
13 Office of Inspector General investigation.
14 Today is July 15, 2021. The time is 4:04 p.m.
15 This interview is being conducted at the
16 Metropolitan Correctional Center located at 150
17 Park Road. We are in the Executive Assistant's
18 office. Also present is DOJ OIG Senior Special
19 Agent and CO . This
20 interview will be recorded by me, Special Agent
21 . Could everyone please identify
22 themselves for the record and spell your last
23 name. To start, I am DOJ OIG Special Agent
24
25 MR. : I'm Senior Special Agent
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1 also
2 with the DOJ OIG.
3 MR. : Can you please state your
4 first and last name?
5 MR. : Oh, and these are my
6 credentials just so you do know.
7 MS. : Okay. I'm Correctional
8 Systems Officers S. with
9 the Federal Bureau of Prisons, Department of
10 Justice.
11 MR. : This is an official DOJ OIG
12 investigation into the death of inmate Jeffery
13 Epstein and the surrounding circumstances. You
14 are being asked to voluntarily provide answers
15 to our questions. Will you agree to a
16 voluntary interview with the DOJ OIG?
17 MS. : Yes.
18 MR. : Please review DOJ OIG form 3-
19 226/2. The form basically states, "United
20 States Department of Justice, Office of
21 Inspector General, Warnings and Assurances to
22 Employee Requested to Provide Information on a
23 Voluntary Basis. You are being asked to
24 provide information as part of an investigation
25 being conducted by the Office of Inspector
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1 General. This investigation is being conducted
2 pursuant to the Inspector General Act of 1978,
3 as amended. The investigation pertains to job
4 performance failure and security failure."
5 It's in general. It has nothing to do with you
6 directly, it's in general, the investigation
7 we're doing. "This is a voluntary interview.
8 Accordingly, you do not have to answer
9 questions. No disciplinary action will be
10 taken against you if you choose not to answer
11 questions. Any statement you furnish may be
12 used as evidence in any future criminal
13 proceedings or agency disciplinary proceedings
14 or both." The waiver states, "I understand the
15 warnings and assurances stated above and I am
16 willing to make a statement and answer
17 questions. No promises or threats have been
18 made to me or no pressure or coercion of any
19 kind has been used against me." Please review
20 the document and let me know if you understand.
21 If you do understand, please sign the document
22 where it says, "Employee signature," and print
23 your name.
24 MR. : And just for the record,
25 it doesn't basically state what you just said,
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1 it actually states everything that you just
2 read.
3 MR. : It states that. I used the
4 word "basically states," I shouldn't have said
5 that.
6 MS. : Okay. And I sign at employee
7 sig-.
8 MR. : It says, "Employee
9 signature," and print your name right below
10 there.
11 MR. : Oh, do you have any
12 questions on that before we go, just you can
13 totally ask (Indiscernible *00:03:35).
14 MS. : Okay. No.
15 MR. : Just, I mean, the long
16 and --
17 MS. : Date and time?
18 MR. : -- short of it is
19 MR. : I'll put it in there.
20 MR. we can do that. But
21 then just the long and short of it is, it's
22 voluntary. You do not have to answer
23 questions. You can leave at any time.
24 MS. : Okay.
25 MR. : That's the purpose, for
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1 you just to -.
2 MR. : So you understand the form
3 and agree to the form.
4 MS. : Yes.
5 MR. : This is Special Agent
6 I'm signing on the signature of the Office of
7 Inspector General, Special Agent.
8 MR. : This is Special Agent
9 . I'll be signing as the
10 witness, printing my name as a witness,
11 entering the date and time as July 15, 2021 at
12 4:07 p.m. and the place MCC New York.
13 MR. : Before starting the
14 interview, I'd like to place you under oath.
15 Ms. , can you please raise your right
16 hand? Do you swear to tell the truth and
17 nothing but the truth during this interview?
18 MS. : I do.
19 MR. : Please - you can put your
20 hand down.
21 MS. : Oh, okay.
22 MR. : Please let me know if you
23 don't understand my questions and I'll try to
24 repeat it or try to rephrase it for you.
25 MS. : Okay.
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1 MR. : I want to again, clarify this
2 interview is specifically regarding inmate
3 Jeffrey Epstein on August 9th and 10th, 2019.
4 I'm going to go through some background
5 questions. What is your current home address?
6 MS. : My current home address?
7 MR. : Yes.
8 MS. : Why is that relevant for
9 this?
10 MR. : As part of our investi-.
11 MR. : You don't have to provide
12 that.
13 MS. : Oh yeah, I don't want to --
14 MR. : Yeah.
15 MS. : -- give my address.
16 MR. : If you have anything -
17 any kind of, like a FIX, card you can show us
18 just so we can verify who it is that you are?
19 MS. : You know what? I left it at
20 my desk.
21 MR. : That's okay. Do you mind
22 providing us your date of birth and your last
23 four of your social security number?
24 MS. : Yes. is my date
25 of birth and last four of my social,
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1 MR. : What is your highest level of
2 education?
3 MS. : Master's degree.
4 MR. : Okay. In what?
5 MS. : Inspector General
6 investigations, fraud, abuse of correction,
7 organizational assessment and monitoring.
8 MR. : You know more about this
9 stuff than us then.
10 MR. : Which college?
11 MS. : John J.
12 MR. : And what about bachelors?
13 MS. : My bachelors was correctional
14 administration.
15 MR. : What did you do prior to
16 working for the BOP?
17 MR. : Ask her about where this
18 stuff was and when she got these degrees.
19 MR. : Okay.
20 MS. : I got my masters in 2017.
21 got my BA in I believe 2006.
22 MR. : Also from John J.?
23 MS. : Yes.
24 MR. : Okay. And what - so prior to
25 working for the BOP, what did you do?
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1 MS. : Juvenile corrections.
2 MR. : Where?
3 MS. : Virginia.
4 MR. : Is that with the state?
5 City?
6 MS. : Yeah. State Department of
7 Juvenile Justice.
8 MR. : Was that directly before the
9 BOP?
10 MS. : Yes.
11 MR. : What years? I you don't
12 recall -.
13 MR. : They can be approximate.
14 MR. : Estimate, yeah.
15 MS. : Approximately, I think 2006
16 or `07 to 2009, when I started here.
17 MR. : Okay. Do you have any
18 military service?
19 MS. : No.
20 MR. : And how long have you served
21 with the Federal Bureau of Prisons?
22 MS. : Approximately now, 2009, 2019
23 is 10 years, 20, 21, going on 11 and a half
24 years.
25 MR. : Eleven and a half years? And
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1 when was your enter on duty date?
2 MS. : 9/13/2009.
3 MR. : When did you graduate from
4 BOP training?
5 MS. : I don't remember that. I
6 don't -.
7 MR. : When did you begin your
8 career here at MCC?
9 MS. : March of 2011.
10 MR. : And what was your position at
11 that point?
12 MS. : Correctional Officer.
13 MR. : What is your composition?
14 MS. : Correctional Systems Officer.
15 MR. : And what's your regular
16 schedule right now?
17 MS. : 12:00 to 8:00 Monday through
18 Friday.
19 MR. : Do you -.
20 MR. : What does your position
21 entail? What is that?
22 MS. : Receiving and discharge,
23 movement. I deal with state risk, federal
24 risk, detainers, pending charges, warrants,
25 what else?
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1 MR. : And that's outside of
2 custody?
3 MS. : Yes.
4 MR. : Okay. What is your grade
5 level?
6 MS. : GS-8.
7 MR. : Eight? Okay.
8 MS. : Uh-huh.
9 MR. : What was your position on
10 August 9th and 10th, 2019?
11 MS. : I was a Correctional Systems
12 Officer, but I was working overtime in custody.
13 What a minutes. I don't even know what day
14 that is.
15 MR. : August 9th is a Friday.
16 MS. : Uh-huh.
17 MR. : And August 10th is Saturday.
18 I can provide you the dailies and the roster
19 MS. : And what -.
20 MR. : -- for the MCC --
21 MS. : Okay.
22 MR. -- and that's for August 9th
23 and 10th. If you look at it, you'll be able to
24
25 MR. : And provide her --
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1 MS. : This is two -.
2 MR. : -- provide her also her
3 timesheet.
4 MR. : Yes. Is this your timesheet
5 for the same time period?
6 MR. : Show her the columns
7 (Indiscernible *00:08:55).
8 MS. : Okay.
9 MR. : It's (Indiscernible
10 *00:08:58).
11 MS. : I normally write everything
12 on a calendar, but looks like my timesheet.
13 MR. : So, the timesheet is for
14 August 4th all the way to August 17th. For the
15 9th, where does this timesheet show that you
16 worked?
17 MS. : This - it doesn't show where
18 you're working, it just shows the hours you've
19 worked.
20 MR. : Is it coded under a certain
21 entry?
22 MR. : Well just ask her, do you
23 know by looking at these documents, do you know
24 where on August 9th and August 10th you were
25 working? This is not an, "I got you,"
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1 whatsoever. Just like, do you recall on August
2 9th(Indiscernible *00:10:03) working?
3 MS. : Well, I know that this is a
4 custody overtime code for the overtime sheets.
5 So this is -.
6 MR. : If it doesn't state, that's
7 okay.
8 MS. : It's possible, because I do
9 I was working a lot of overtime, so. But I
10 can't recall off the top of my head. But I
11 know I did work the evening of the Epstein
12 situation, so.
13 MR. : When you say "evening."?
14 MS. : The morning he hung himself.
15 MR. : Okay. So according to the
16 August 10th schedule, find yourself on the
17 schedule?
18 MS. : Uh-huh.
19 MR. : What were you listed for?
20 MS. : Control one.
21 MR. : Control one. Okay. Do you
22 recall being interviewed by - recall
23 interviewing with the OIG regarding the Epstein
24 investigation in 2019?
25 MS. : I remember being interviewed,
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1 yes.
2 MR. : Okay. What I have is a
3 summary off a report written by the FBI. Was
4 the FBI also present?
5 MS. : Yes.
6 MR. : We did get a copy of it
7 because OIG was present for the interview also.
8 I'm going to read a portion of the interview
9 record for you.
10 MR. : Does it state when she
11 worked on August 9 and 10? That might help
12 clarify things.
13 MR. : For the 10th it does. And
14 so, I'm going to read it. As I read through
15 it, it's just summary for the record. Please
16 tell me if there's any corrections and let me
17 know --
18 MS. : Okay.
19 MR. and we'll address it.
20 "Control's duties including monitoring the
21 activity on the ranges, answering calls from
22 COs, replying on the radio and opening doors."
23 MS. : Monitoring - you - at that
24 time, we didn't have cameras on the ranges so
25 you could only see the center, which is like,
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1 they consider it the MPA, multi-purpose area of
2 the unit. You are not able to see down the
3 actual ranges of the units, so no. I wouldn't
4 say, "The ranges," I would say, "The multi-
5 purpose area."
6 MR. : Multi-purpose area of the
7 ranges. "And ," did I pronounce it
8 right?
9 MS. : Uh-huh.
10 MR. . stated that no one is
11 really moving anywhere within the institution.
12 A count sheet is called the E-1 and it is
13 printed off from the internal MCC system called
14 SENTRY. Control validates all respondent
15 numbers from the head counts and marks an X on
16 the E-1 sheet to confirm the count. This
17 happens for every check of every unit. E-ls
18 are supplemented with count slips that are
19 properly filled out and stapled to the E-1
20 timesheet. Once all head count numbers are
21 verified to be correct, everything is
22 documented, recorded and then considered to be
23 a good count. began her shift on August
24 10th at 12:00 midnight to 8:00 a.m.
25 stated that Lieutenant took care of
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1 the 12 o'clock that day." I'm going to pause
2 right there. I'm going to ask you a question.
3 Do you recall coming on shift that day?
4 MS. : Yes.
5 MR. : Do you recall the first count
6 would be at 12:00 midnight?
7 MS. : Yes.
8 MR. : And were you in Control when
9 the count happened?
10 MS. : Yes.
11 MR. : Who took the count?
12 MS. : I don't remember at that
13 time. I don't remember all this time ago, but
14 if I said the Lieutenant took the count at that
15 time, then that's who took the count, because
16 every Lieutenant is required to take a count,
17 one count per shift.
18 MR. : But you don't recall the
19 exact situation -.
20 MR. : I think what he's asking
21 was, was Lieutenant in the Control
22 with you?
23 MS. : At some point in time, yes,
24 she was.
25 MR. : So if she was taking the
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1 count, does that mean that she's doing from
2 Control?
3 MS. : Yes, she's doing it from
4 Control.
5 MR. : Okay.
6 MR. : Okay. recalled that
7 CO Thomas -" - and this says CO Noel, but is
8 that Noel?
9 MS. : Noel.
10 MR. "CO Noel worked in the SHU on
11 the day of the incident. stated that
12 Noel was fairly new. stated that she
13 does not pay specific attention to just one
14 individual screen during her shifts since so
15 much is going on. stated that extension
16 is a number that is called for reporting
17 the count. If a Lieutenant is on the unit for
18 the count, then this is when it is considered a
19 watch call. On the 3:00 a.m. and 5:00 a.m.
20 watch calls, ran the counts.
21 recalled that the SHU called in the count of
22 the day and that the count was accurate.
23 does not recall who called in the count
24 from the SHU but recalled that the number was
25 72. stated that there are folders that
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1 are filed that are compiled with count
2 verification timesheets for every day of the
3 calendar year."
4 MS. : That is correct.
5 MR. : So I asked you, on August
6 10th, you said you worked at midnight in
7 Control.
8 MS. : Yes.
9 MR. : Do you recall if you worked
10 on August 9th?
11 MS. : I probably did. I don't
12 recall that, this far from now to then, but I
13 probably most likely worked that day and if
14 it's on the roster and it's on my timesheet,
15 most likely, yes.
16 MR. : But you wouldn't happen to
17 recall if you worked in internal or R&D?
18 MS. : I know I worked R&D because
19 that's my regular position and Custody,
20 anything I did in Custody would be considered
21 overtime for me.
22 MR. : Okay. So, on August 9th, by
23 based on that, it wouldn't tell - would the
24 (Indiscernible *00:15:16).
25 MS. : It did say overtime. It did
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1 say overtime in internal.
2 MR. : But internal is not - is that
3 the same as R&D?
4 MS. : No. R&D, this is
5 Correctional Services. R&D is Correctional
6 Systems. Those are two different departments.
7 This is custody and R&D is non-custody.
8 MR. : So by this, were you in
9 custody?
10 MS. : Yes. I was there.
11 MR. : Okay. So you were working in
12 internal, not in R&D.
13 MS. : Yes.
14 MR. : Okay. Do you recall who your
15 supervisor was when you worked at the MCC on
16 August 9th and 10th?
17 MS. : I would only know by looking
18 at this roster. , Lieutenant
19 MR. : So you report only to
20 or do you report to any other COs
21 MS. : No, she's the only supervisor
22 on duty during that time.
23 MR. : During the night. And so
24 both days it was midnight to 8:00 a.m.
25 MS. : Yes.
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1 MR. : Okay. Was she also a
2 supervisor?
3 MS. : Yes.
4 MR. : Are you familiar with inmate
5 Jeffrey Epstein?
6 MS. : Yes.
7 MR. : Did Jeffrey Epstein have a
8 cell mate?
9 MS. : Yes, he did.
10 MR. : Do you know who it was?
11 MS. : I don't know, but I know the
12 inmate went out to court I believe Friday and
13 he didn't come back from court. I don't know
14 if he got released from court, but he didn't
15 come back to the institution that day.
16 MR. : How do you know that?
17 MS. : Because I work in R&D.
18 MR. : So, is this from your
19 knowledge from working in R&D that day or on a
20 later date?
21 MS. : My knowledge of working in
22 R&D that day.
23 MR. : So that's - okay. Because
24 according to this, you were in R&D --
25 MS. : I was in R&D.
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1 MR. : I mean, you're in
2 internal.
3 MS. : Right. But this is midnight.
4 My hours in R&D is from 12:00 to 8:00.
5 MR. : 12:00 to 8:00? So you did
6 work later in the shift --
7 MS. : Right.
8 MR. so that (Indiscernible
9 *00:16:56) be on the schedule at all. You're
10 not going to be on this roster. It's not going
11 to show you as 12:00 to 8:00.
12 MS. : Custody has a different
13 roster from my department roster.
14 MR. : Okay.
15 MS. : So you're not going to see my
16 department. My department hours would be that
17 - what you see on that timesheet and this is
18 considered overtime. So anything here, where
19 it says, "Additional," this is overtime because
20 you see the two shifts, the eight up here and
21 the eight at the bottom.
22 MR. : Okay.
23 MS. : And that's 16 hours for the
24 day.
25 MR. : So I'm going to go back and
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1 clarify. On August 9th, you worked from
2 midnight to 8:00 a.m.
3 MS. : Uh-huh.
4 MR. : -- and you were in internal.
5 MS. : Yes.
6 MR. : And then after that, what was
7 your next shift?
8 MS. : That was Saturday, the next
9 day. That would be midnight the next night.
10 MR. : Okay.
11 MS. : These are all midnight
12 shifts.
13 MR. : Midnight shifts. But did you
14 work regular shifts those days? August 9th and
15 10th?
16 MS. : In my department?
17 MR. : Yeah, in R&D.
18 MS. : If it's a Friday and a
19 Thursday or a Friday and a Saturday. A
20 Saturday, I wouldn't be in my department, no.
21 MR. : What about Friday?
22 MS. : Friday I'm in my department,
23 yes, because my department is Monday through
24 Friday.
25 MR. : And what's your regular time?
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1 MS. : 12:00 to 8:00. I believe I
2 was working 12:00 to 8:00. I'm not sure.
3 MR. : That's midnight to 8:00,
4 right? But midnight to 8:00 -.
5 MS. : No, no, no, 12:00 p.m. in the
6 afternoon --
7 MR. : 12:00 p.m. to 8:00.
8 MS. to 8:00 p.m.
9 MR. : To 8:00 p.m. So, according
10 to this, you were in internal from - on August
11 9th, from midnight to 8:00 a.m., then there was
12 a four hour break? Are you saying there was a
13 four hour break and then you worked from -.
14 MS. : I'm not sure right here based
15 on this because I might have been working 2:00
16 to 10:00 because I had to do 12:00 8:00 p.m. or
17 2:00 p.m. to 10:00 p.m.
18 MR. : Okay.
19 MS. : So, based on this, this says,
20 "Regular base." This might have been from the
21 day shift because this says, "Regular base," so
22 this might have been, I worked midnight to 8:00
23 in the morning and then maybe 8:00 to 4:00 in
24 my department because I don't see no - well, I
25 don't record my duty hours in my department at
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1 that time.
2 MR. : It's been a while.
3 MS. : I'm sorry. Yeah.
4 MR. : But to follow up though,
5 you said that you knew that Epstein's cell mate
6 had left because you were working in R&D, so
7 you probably want to follow up --
8 MR. : Yeah. So -.
9 MR. : -- with that.
10 MS. : So we key inmates in and out
11 to court.
12 MR. : Okay.
13 MR. : So that - so, Reyes, how did
14 you first come to learn that he left?
15 MS. : Because we have to key them
16 out to go to court. I mean, I don't know
17 actually at that moment that he was Epstein's
18 cell mate, but when the comment came up that
19 his bunkie, they moved his bunkie, they put him
20 in a cell by himself, and when we learned who
21 that specific inmate was, that's how I became
22 aware that, no, this guy went to court and he
23 was released from court, wherever he got
24 removed to. Never came back from court.
25 MR. : What do you mean they moved
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1 his bunkie to a separate cell?
2 MS. : They kept saying Epstein was
3 put in a cell by himself, he didn't have a cell
4 mate.
5 MR. : Okay.
6 MS. : That was not the case, he did
7 have a cell mate, but he got released from
8 court or wherever it is the Marshals took him
9 to, that he didn't come back to MCC. But off
10 the top to say I knew that that was actually
11 his cell mate, I didn't know that until we
12 became aware of who the inmate was that got
13 released and went to court, because we don't
14 know who inmate's cell mates are just by
15 working in R&D, we just know their bed
16 assignment and what unit they're coming from.
17 MR. : No, working the R&D, are you
18 familiar with something called the court list?
19 MS. : Yes.
20 MR. : Was inmate Reyes's name on
21 the court list?
22 MS. : Yes.
23 MR. : Do you recall?
24 MS. : Yeah. Because I think that's
25 the guy we keyed out to court.
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1 MR. : Okay. And what is a court
2 list?
3 MS. : A court list is something we
4 get from the Marshals. They'll send us over
5 just a roster of names of inmates to appear for
6 production to the court either going out on a
7 RIT (Phonetic Sp. *00:21:13), being transferred
8 to another jail. A court list consists of
9 whatever type of movement that the Marshals
10 want the inmates for. It could be appearing
11 before a proffer to tell on somebody, it could
12 just be whatever it is that they need them to
13 appear for the court production for.
14 MR. : How do the Marshals send it
15 over?
16 MS. : They always email it or fax
17 it.
18 MR. : Who receives the email?
19 MS. : Everybody in R&D.
20 MR. : Do you recall who was working
21 in R&D that day?
22 MS. : No.
23 MR. : Everybody receives it.
24 MS. : Yeah, everybody in R&D
25 receives it, but I couldn't say off the --
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1 MR. : Yeah.
2 MS. : -- top of my head, "Oh, this
3 person worked," I don't remember who worked
4 with me that day.
5 MR. : So everybody that
6 actually is in R&D, you all get that same
7 MS. : Yeah.
8 MR. : -- court sheet, so it
9 doesn't matter who was working that day or not.
10 MS. : Right.
11 MR. : Everybody would have
12 gotten it.
13 MS. : Uh-huh.
14 MR. : Do you recall receiving that
15 email?
16 MS. : I don't recall receiving the
17 email, but I know we had a court list.
18 MR. : Who creates that court list?
19 MS. : Whoever is doing movement.
20 MR. : Okay. And what - so you just
21 mentioned all the inmates that's listed on
22 there anything for movement and the Marshals
23 send it over --
24 MS. : Uh-huh.
25 MR. : -- and they email it. Aral
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1 what do you get?
2 MR. : Email or fax you said,
3 right?
4 MS. : Email or fax.
5 MR. : Or fax.
6 MR. : Is it (Indiscernible
7 *00:22:21) -.
8 MS. : Well, I believe they were
9 doing both email and faxing at that time.
10 MR. : So you get both.
11 MS. : Uh-huh.
12 MR. : Okay.
13 MR. : And once the list comes over,
14 and who did you say creates the court list?
15 MS. : The movement officer and if
16 the movement officer is not there, whoever is
17 filling in, it might be somebody in the front
18 desk. Just whoever is in the department,
19 they'll fill out the - complete the court list,
20 put it on a call out and get it prepared so
21 overnight, the officer who is internal can pass
22 it out to the housing unit so the inmates are
23 aware when they wake up the next day or the
24 officer can say, "Hey, I got this inmate, I've
25 got to get him ready for court the next day."
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1 MR. : Who is the movement officer?
2 MS. : I don't know if - I don't
3 know who was the movement officer at that time.
4 I don't know.
5 MR. : Okay. When do the -.
6 MR. : When you say a movement
7 officer, are you talking about control?
8 MS. : No.
9 MR. : I mean internal?
10 MS. : No. R&D.
11 MR. : R&D movement officer?
12 MS. : We have different position
13 yeah.
14 MR. : Okay.
15 MS. : We have different positions
16 in R&D where everybody had a different
17 function.
18 MR. : Okay. So is the movement
19 officer in R&D basically like will go into
20 internal with (Indiscernible *00:23:21)?
21 MS. : No, they are - they are like,
22 they prepare the transfer orders if inmates are
23 moving out of the --
24 MR. : Okay.
25 MS. -- institution.
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1 MR. : So they're doing the
2 background of what the internal guy does
3 almost.
4 MS. : They don't have anything to
5 do with internal.
6 MR. : Okay. Because - okay.
7 Sorry.
8 MS. : It's - no.
9 MR. : I'm making more things
10 more (Indiscernible *00:23:38).
11 MS. : Nothing to do with internal.
12 It's just preparing inmates to move out of the
13 institution, preparing the production list for
14 inmates to - for a unit - for a list to be
15 disseminated to the housing units for the
16 officers to know what inmate has to appear in
17 court the next day. The movement officer might
18 draft up a - get a compile, like a medical
19 summary, transit order, anything that they need
20 to put together for an inmate to be released to
21 move out of the institution to be transferred.
22 That's what the movement officer does.
23 MR. : Great.
24 MR. : Do you recall what your
25 position was in the R&D that day?
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1 MS. : I might have been R&D.
2 MR. : Okay.
3 MS. : I might have been R&D. I
4 don't believe I was movement but I might have
5 been R&D.
6 MR. : So as R&D, what would you
7 take care of?
8 MS. : Court movement, inmates going
9 in and out, keying them in and out, getting
10 inmates down to my area to get prepared for
11 court, tracking inmates going out to the
12 hospital, keying inmates going out to the
13 hospital, keying inmates coming back.
14 Basically, I would be responsible for like
15 inmates leaving in and out of the institution
16
17 MR. : Okay.
18 MS. : -- and preparing them to get
19 out of the institution.
20 MR. : We can take a step back.
21 When did the Marshals list normally come over:
22 Do they send it over the night before?
23 MS. : Yes.
24 MR. : Evening before or they send
25 it the morning of?
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1 MS. : The evening before.
2 MR. : Around what time?
3 MS. : I think it's always around
4 it's approximately between, I would say, maybe
5 3:00 and 5:00 or - yeah, between like 3:00 and
6 5:00, something like that.
7 MR. : Okay. And -.
8 MS. : Around that time frame. It's
9 not like a set time, it's whoever does it and
10 faxes it over and emails it. But it was about
11 maybe between 3:00 and 5:00 or 3:00 and 6:00,
12 something like that.
13 MR. : And then once R&D receives
14 it, you guys prepare a court list.
15 MS. : Uh-huh.
16 MR. : And what does it state on the
17 court list?
18 MS. : It's just a document, like a
19 SENTRY created document that show the inmate's
20 name, his housing unit, if he has a separatee
21 (Phonetic Sp. *00:25:49) in the institution and
22 what time he has to come down to R&D to move
23 out for court, whether it be that he has court
24 in the a.m. or court in the p.m.
25 MR. : Okay. And would it state,
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1 like, let's say if an inmate was leaving and
2 not coming back, would it state on there?
3 MS. : Yeah, it would say, "WAB,"
4 but most often times, pre-trial is - because
5 they're not our inmates, they're Marshals
6 inmates, the Marshals can move them at any
7 given time and just forward us back a
8 disposition of the inmate leaving. "Inmate so
9 and so was released to Probation. Here's a cut
10 slip for you guys, file -" - then we can go
11 ahead and key them out. But we don't key
12 inmates out WAB if they're going out to court.
13 We key them out - at that time, we were doing
14 what was considered an out count. We weren't
15 keying inmates out, we were keying them on an
16 out count so we know that we have an account of
17 who went out to court and we have an account of
18 who came back from court.
19 MR. : So are you saying that you
20 guys wouldn't remove the inmate completely from
21 the count, you would just leave them under the
22 out count?
23 MS. : Yes. We would only remove
24 him if prior to that list, when we got the
25 list, it says, "Transferred WAB, we're sending
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1 him somewhere to Brooklyn or he's going back to
2 the state," that night before we would know
3 that. But sometimes at the spur of the moment,
4 things might arise, a judge might give a person
5 time served, he might commit him to drug
6 treatment program, Probation might come and
7 pick him up. It could be a number of things
8 that take place at court that it might be just
9 a regular court proceeding but then he gets
10 released and he doesn't come back to the
11 institution.
12 MR. : Do you recall seeing inmate
13 Efrain Reyes's name on that list?
14 MS. : If he was on that list at
15 that time, then I've seen it, but I don't
16 recall now, speaking now, but at that time,
17 yeah, if his name was on the list, yes.
18 MR. : Do you recall if his - I know
19 you said you don't recall, but by any chance,
20 would you have known if he left WAB? What does
21 WAB stand for?
22 MS. : With all belonging, meaning
23 they're being transferred either to an air
24 lift, transferred to another BOP, transferred
25 to another state institution, that the Marshals
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1 will be transferring them to.
2 MR. : And you don't recall if he
3 do you recall if his name was on as WAB on that
4 list?
5 MS. : No. I don't recall that.
6 MR. : Okay. We'll come back in a
7 little bit. The court list that you guys
8 create, who does that get sent to?
9 MS. : It doesn't get sent to - it
10 gets sent to the unit officers. We don't email
11 it out, we make hard copies and the internal
12 officer comes around at night and he gives one
13 to each housing unit.
14 MR. : Around what time?
15 MS. : Depending on - any time
16 during from midnight to 8:00 in the morning.
17 They have up until to give out that. But most
18 likely, no later than 5:00 a.m., after the 5
19 o'clock count because at that time, that's when
20 the institution is opening up after the 5:00
21 a.m. count, then the inmates will have their
22 breakfast and start preparing for whatever it
23 is their day entails.
24 MR. : Do you recall working that
25 morning in R&D and seeing inmate Reyes come
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1 down?
2 MS. : I don't remember.
3 MR. : Okay. And when the list is
4 sent up to the units, what do they do with it?
5 MS. : The unit officers take it and
6 he views it and it just tells him who on his
7 unit has court that day.
8 MR. : Is a copy of that list
9 maintained anywhere?
10 MR. : By R&D.
11 MR. : R&D.
12 MS. : No. Because --
13 MR. : Where do we get it?
14
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