IN THE CIRCUIT COURT FOR PINELLAS COUNTY, FLORIDA CASE NO. 00-5682-CI-11 DELL LIEBREICH, as Personal Representative of the ESTATE OF LISA McPHERSON, Plaintiff, vs. VOLUME 1 TESTIMONY OF CHURCH OF SCIENTOLOGY FLAG NANCY MANY SERVICE ORGANIZATION, JANIS JOHNSON, ALAIN KARTUZINSKI and DAVID HOUGHTON, D.D.S., Defendants. _______________________________________/ PROCEEDINGS: Defendants' Omnibus Motion for Terminating Sanctions and Other Relief DATE: July 12, 2002. Morning Session PLACE: Courtroom B, Judicial Building St. Petersburg, Florida BEFORE: Honorable Susan F. Schaeffer Circuit Judge REPORTED BY: Debra S. Turner Deputy Official Court Reporter Sixth Judicial Circuit of Florida _________________________________________________ KANABAY COURT REPORTERS TAMPA AIRPORT MARRIOTT HOTEL (813) 224-9500 ST. PETERSBURG - CLEARWATER (727) 821-3320 Volume 1, Page 2 1 APPEARANCES: 2 MR. KENNAN G. DANDAR DANDAR & DANDAR 3 5340 West Kennedy Blvd., Suite 201 Tampa, FL 33602 4 Attorney for Plaintiff 5 MR. LUKE CHARLES LIROT 6 LUKE CHARLES LIROT, PA 112 N East Street, Street, Suite B 7 Tampa, FL 33602-4108 Attorney for Plaintiff 8 9 MR. KENDRICK MOXON MOXON & KOBRIN 10 1100 Cleveland Street, Suite 900 Clearwater, FL 33755 11 Attorney for Church of Scientology Flag Service Organization 12 MR. LEE FUGATE and 13 MR. MORRIS WEINBERG, JR. ZUCKERMAN, SPAEDER 14 101 E. Kennedy Blvd, Suite 1200 Tampa, FL 33602-5147 15 Attorneys for Church of Scientology Flag Service Organization 16 17 MR. ERIC M. LIEBERMAN RABINOWITZ, BOUDIN, STANDARD 18 740 Broadway at Astor Place New York, NY 10003-9518 19 Attorney for Church of Scientology Flag Service Organization 20 21 22 23 24 25 KANABAY COURT REPORTERS Volume 1, Page 3 1 (The proceedings began at 9:05 a.m.) 2 THE COURT: You may be seated. 3 MR. LIEBERMAN: We're just trying to get 4 Mr. Weinberg in. 5 THE COURT: Okay. 6 (Mr. Weinberg entered.) 7 MR. WEINBERG: I'm sorry. 8 THE COURT: That's all right. 9 Okay. I have the four packages of 10 information that I was given. I made notes on all of 11 it. This one says, on the outset -- I can't tell 12 whose writing this is. It may be -- it may be 13 Mr. McGowan's. 14 But anyway, one of them says 7/9/02, 15 Attorneys Dandar and Merrett, and Greenway. However, 16 here is my note of last night: I don't know why these 17 are listed in this way; no Greenway in here or 18 attorneys' stuff -- or, legal. It is letters, e-mail 19 from LMT -- to LMT from outsiders, non-witnesses, and 20 some returns. One is a weekly update from Mr. Prince 21 to Bob Minton on persons they were working for and 22 cases they were working on. None were witnesses in 23 this case. Clearly non-discovery e-mails. 24 So I have no idea what -- why he raised it, 25 why he's raised it. KANABAY COURT REPORTERS Volume 1, Page 4 1 MR. DANDAR: That should be destroyed or 2 returned. 3 THE COURT: It will be returned. 4 MR. WEINBERG: Destroyed? 5 THE COURT: Or it will be sealed if you all 6 would like. 7 MR. WEINBERG: It's the LMT's records. 8 THE COURT: I don't care whose it is. These 9 are people that have written to LMT. There's not a 10 witness in there. 11 MR. WEINBERG: No, Mr. Dandar said destroy 12 them. They should be returned -- 13 THE COURT: Yes. 14 MR. WEINBERG: -- to LMT. 15 THE COURT: I've got "Return to McGowan." 16 MR. DANDAR: I thought they were just copies 17 of originals. If they're originals, yes, return them. 18 THE COURT: I don't know what they are. I 19 presume -- 20 MR. DANDAR: Sure. 21 THE COURT: -- they were copies to me. But 22 there's no reason to have these -- 23 MR. DANDAR: No. 24 THE COURT: -- in the court file sealed all 25 up. I'm going to return these to Mr. McGowan. KANABAY COURT REPORTERS Volume 1, Page 5 1 This is one that does say "Dandar and 2 Greenway, privileges asserted by the Estate." So I 3 suspect they put that kind of on both envelopes. 4 Anyway, I wrote: "Received and found one 5 attorney-consultant document, which I gave back to 6 McGowan. The rest I copied and gave to each side. 7 One was a duplicate of another already provided. It 8 was destroyed by Greenway," which is one -- it's a 9 page. I gave it to you like two times, but it's a 10 third time. It's just a duplicate. 11 That's why I assume that's all right. 12 Nobody needs three copies of the same thing. 13 MR. DANDAR: Don't need three copies. 14 THE COURT: Okay. Also found one that had a 15 Greenway/Minton message, that it was unrelated, very 16 short. I returned it because it had -- the length -- 17 the big one was a non-discoverable letter from an 18 outsider to LMT, but it would be non-discoverable. 19 This Greenway/Minton message was irrelevant to the 20 proceeding. 21 Then I have this Minton attorney-client 22 privilege. These are the ones I told you about 23 yesterday. "I reviewed the enclosed e-mail. 24 Returned. They're covered by attorney-client 25 privilege. Both sides agreed I could return to KANABAY COURT REPORTERS Volume 1, Page 6 1 McGowan yesterday." 2 And this is the packet that has got the 3 attorney bills in it and also the one big declaration 4 of Stacy Brooks -- 5 MR. WEINBERG: Stacy Brooks. 6 THE COURT: -- that's already in evidence. 7 So now I've been through all the e-mails 8 that were provided to me. Mrs. Rudd is making copies 9 this morning. Frankly, in the packet of stuff that 10 I'm providing, there are Greenway e-mails. 11 They would have nothing to do with any 12 consulting she might be doing for you. So -- and 13 she's apparently someone that's being listed as a 14 witness, potential witness, something or other, so I'm 15 going to provide it. 16 MR. DANDAR: Patricia Greenway is not a 17 witness. 18 THE COURT: I don't care if she is. If she 19 is, those are going to be provided. There's no reason 20 not to provide them. She is a -- she is a principal 21 on a movie that is the subject of this hearing. If 22 for no other reason than that, based on all the orders 23 that were entered in this case, they're going to be 24 turned over. 25 So you'll get your copy. If you want to KANABAY COURT REPORTERS Volume 1, Page 7 1 object, you can. If you can convince me that it's a 2 valid objection, I'll ask for them to be returned. 3 MR. DANDAR: You mentioned this the other 4 day, the First Amendment right to privacy, individuals 5 who are not witnesses in this case on subject matters 6 that have nothing to do with this case -- 7 THE COURT: Quite frankly, these are very 8 critical letters of Ms. Greenway, where they're 9 talking about problems that she's caused in LMT and 10 why Mr. Minton is mad at her, and these are her 11 responses to those. They're not -- they were copied 12 to everybody under the sun. 13 MR. DANDAR: Oh, well, if they're copied, 14 that's different. 15 THE COURT: I mean, this is -- I don't even 16 know who the person was that did the gossip letter. 17 There's a big gossip letter in there about things 18 Patricia Greenway said to them. Whoever that is is 19 ratting on Patricia Greenway. And there's this big 20 response from somebody in LMT as to each thing and how 21 untrue it is. Then there's a response from Patricia 22 Greenway. 23 It is not, by any stretch of the 24 imagination, private. And because she has been, you 25 know, a principal in the movie, it's just easier to KANABAY COURT REPORTERS Volume 1, Page 8 1 give them. You'll get your copy if you want. 2 There is one in there -- I can't think what 3 it was. There was one in there from Teresa Summers to 4 you or you to Teresa Summers. I can't read the 5 headings. These headings get so long and confused; I 6 don't know who is who. Something about you can have 7 the books, they're -- mixed in the library or 8 something. I gave it rather than not. 9 MR. DANDAR: I don't care about -- that's 10 not privileged. 11 Judge, I have a witness that we announced 12 yesterday, Nancy Many, in court. I'm asking the Court 13 to permit me to put her on out of turn right now at 14 9 o'clock. She flew in. She's out of state. She's 15 in the middle of a college course. She needs to be 16 back. She doesn't want to take the risk that 17 Mr. Oliver may run over and then she won't be able to 18 leave today and go back. 19 THE COURT: I have no problem with -- 20 MR. WEINBERG: But I do have a problem 21 with -- 22 THE COURT: All right. 23 MR. WEINBERG: -- it, your Honor. This case 24 has been going on, as you know, since 1997. The first 25 time we heard this name was last night at whatever KANABAY COURT REPORTERS Volume 1, Page 9 1 time it was, 4:00, 4:30. That's the first time. 2 We -- I can't say that I can be through with 3 her. I don't know who she is. If she has something 4 relevant to say about this case, she should have been 5 disclosed in discovery years ago. Years ago. I mean, 6 we're in the middle of Mr. Oliver. That's what I've 7 been preparing for. I mean, we should -- 8 THE COURT: I could care less about that, 9 Counselor. I've given everybody the privilege to call 10 witnesses out of turn if there's some reason for it. 11 I don't know what she has to say either. 12 This is -- I gather she has nothing to say relevant to 13 the case; she has something relevant to this motion. 14 If she doesn't, why, we'll exclude her. If she 15 does -- 16 MR. WEINBERG: Mr. Dandar told me she was 17 going to testify yesterday afternoon about an 18 introspection rundown. Now, if that's the case, 19 leaving everything else aside, that should have been 20 disclosed years ago. 21 And if he'd been in communication with 22 her -- because he told me he had this secret 23 witness -- he could have arranged it for a time where 24 she could come in, you know, at a convenient time, you 25 know, with appropriate notice to counsel so that we KANABAY COURT REPORTERS Volume 1, Page 10 1 could get prepared. 2 Yesterday afternoon, at 4 o'clock or 3 whatever time it was, for the first time he mentioned 4 the name of this, quote, secret witness that he's been 5 talking about for a number of days now. It's baloney. 6 MR. DANDAR: This -- I abided by the Court's 7 instructions yesterday after court to provide them 8 with the name of the witness I'm going to call the 9 next day. I did that. 10 THE COURT: I don't know of any requirement 11 under the rule that requires a witness to a motion be 12 listed ever. So your objection is overruled. 13 Let's go. 14 Here are these e-mails. 15 MR. MOXON: Your Honor, I have a very brief 16 motion -- 17 THE COURT: All right. 18 MR. MOXON: -- if I may. I provided this to 19 Mr. Dandar and Mr. Lirot. And the reason I'm bringing 20 it up now is because it concerns Mr. Jacobsen and some 21 additional -- 22 THE COURT: Who is Mr. Jacobsen? 23 MR. MOXON: Mr. Jacobsen is one of the 24 employees of LMT. You may recall on the videotapes 25 outside of LMT where it had people walking out with KANABAY COURT REPORTERS Volume 1, Page 11 1 the files, with the boxes? 2 THE COURT: Yes. 3 MR. MOXON: Mr. Jacobsen was the main person 4 that was shown, along with Dee Phillips, in those 5 videos. And he's been an employee of LMT since, I 6 believe, January of 2000. He and Mr. Bunker shared 7 the video responsibilities at LMT. In fact, I think 8 he probably did more videos than anyone else. 9 I'll let you read those. 10 THE COURT: Okay. 11 Okay. All this is, is a request for an 12 out-of-state commission to take his deposition. Is 13 that it? 14 MR. MOXON: That's right. We understand he 15 lives in Arizona. 16 THE COURT: Did he -- I, of course, don't 17 even know who he is, so I don't know what he did on 18 the videos. Was he putting the boxes in somebody 19 else's car? 20 MR. MOXON: I think he was putting some in 21 his car, and he was definitely putting some in 22 Ms. Phillip's car. But it's the videos, is what I'm 23 more interested in. He may have some paper records. 24 But definitely he's been -- for the past two and a 25 half years, he's been making videos while an employee KANABAY COURT REPORTERS Volume 1, Page 12 1 of LMT. 2 I spoke to Mr. McGowan yesterday and asked 3 him why Mr. Jacobsen's videos were not produced along 4 with the other LMT videos. And he told me that he had 5 contacted Mr. Jacobsen. Mr. Jacobsen says he no 6 longer works for LMT. And as far as he's concerned, 7 the videos that he took while he was at LMT are his 8 own property, and so he wouldn't produce them pursuant 9 to the Court's orders. 10 So I'm simply asking for an out-of-state 11 commission so we can take his deposition so we can 12 explore that issue. If he's got some further 13 evidence, then obviously we'll try to get ahold of it 14 relative to this hearing and the counterclaim. 15 I talked to Mr. Dandar before this, and he 16 said if we can arrange it, if he's willing to, we'll 17 pay to have him to come out here for his deposition. 18 THE COURT: All right. 19 MR. DANDAR: I have a telephone number for 20 him. I've been in contact with him. But I believe 21 way back, years ago, he did some work for me on this 22 case, so I would want that protected. I just can't 23 remember what it was right now. 24 And Mr. Jacobsen, I think from the testimony 25 you heard, is the one that called to the attention of KANABAY COURT REPORTERS Volume 1, Page 13 1 the Clearwater police department or the Tampa Tribune 2 the death of Lisa McPherson, and that's when it became 3 a PR flap, a year after her death. That's when things 4 started appearing in the newspaper. 5 But Mr. Jacobsen, I'm sure -- I have no 6 control over him, but I'm sure he will cooperate, of 7 course, with the subpoena of the Court. 8 THE COURT: Okay. 9 MR. DANDAR: But there's a list on there -- 10 there's a search list, same search for Mr. McKeane, 11 and we have agreed -- 12 THE COURT: Mr. who? 13 MR. DANDAR: King, I'm sorry. 14 THE COURT: Not McKeane. 15 MR. DANDAR: King, I'm sorry. We had agreed 16 that the six individuals, which include myself and my 17 brother, will be sealed and delivered to the Court 18 this -- under the same order of the Court that went to 19 Mr. King. That's correct. We've agreed to that. 20 THE COURT: All right. Then I have no 21 problem with this. Might as well sign it. 22 MR. LIEBERMAN: Your Honor, I just want to 23 correct Mr. Dandar again. Mr. Jacobsen is not the 24 person that called the matter to the attention of the 25 Clearwater police a year later. The Clearwater police KANABAY COURT REPORTERS Volume 1, Page 14 1 investigation began immediately. Once again, a 2 misstatement. 3 MR. DANDAR: We'll let Mr. Jacobsen tell us 4 that under oath then, how that happened. I'll stand 5 corrected -- 6 THE COURT: You folks don't agree on 7 anything, so I don't need to hear it today. That's 8 fine. You had your say and he had his say. 9 MR. MOXON: If I may, your Honor, I'll take 10 that to your judicial assistant and I'll have copies 11 made so I can get it out to Arizona. 12 THE COURT: All right. 13 MR. DANDAR: And -- 14 THE COURT: Did you all get the e-mails that 15 I just handed out? 16 MR. DANDAR: I did. 17 MR. MOXON: I didn't. 18 THE COURT: Well, I handed out -- this is my 19 copy. 20 MR. MOXON: I didn't get a copy. 21 MR. FUGATE: I don't think so. 22 THE COURT: Well, I just handed them out. 23 MR. MOXON: Just a second. 24 MR. DANDAR: Do we have more than one? 25 MR. PRINCE: Yes, we do. KANABAY COURT REPORTERS Volume 1, Page 15 1 THE COURT: Wasn't I up here doing this? 2 Did I hand them all to one side? 3 MR. DANDAR: We had duplicates. 4 THE COURT: Okay. There's yours. 5 MR. FUGATE: And, Judge, I put the 6 transcripts from the 10th in your transcript binder on 7 the far left. 8 THE COURT: All right. 9 MR. DANDAR: This morning, we started off on 10 a bad note when Mr. Weinberg called our witness, 11 Mr. Oliver, a punk while Mr. Oliver was in the 12 courtroom, and I ask Mr. Weinberg to apologize for 13 that remark. 14 MR. WEINBERG: I was discussing it with you. 15 THE COURT: Pardon me? 16 MR. WEINBERG: I was discussing the matter 17 with Mr. Dandar. I did not know that Mr. Oliver was 18 in the room. 19 THE COURT: Okay. 20 MR. WEINBERG: Now, although I do see 21 Mr. Oliver in the room now, if he's not going to be 22 testifying, he needs to leave. 23 THE COURT: Mr. Oliver, will you -- 24 I'm not going to make a witness [sic] 25 apologize. However, lawyers have to be real careful KANABAY COURT REPORTERS Volume 1, Page 16 1 about what they say about people when they're present. 2 Mr. Oliver, if you would step outside until 3 such time as we take this witness out of order. 4 MR. OLIVER: Thank you. 5 MR. DANDAR: Okay. The plaintiff calls 6 Nancy Many. 7 THE COURT: What's her name again? 8 MR. DANDAR: Many, M-a-n-y. 9 (The Court swore in the witness.) 10 THE WITNESS: Yes. 11 THE COURT: You may lower your hand. 12 THE BAILIFF: Step this way. Watch your 13 step. Speak loud and clear for the Court. 14 THE COURT: You may proceed. 15 NANCY MANY 16 being first duly sworn or affirmed, was examined and 17 testified as follows: 18 DIRECT EXAMINATION 19 BY MR. DANDAR: 20 Q Please state your full name and spell your last 21 name. 22 A Nancy Many, M-a-n-y. 23 Q And currently you're a resident of what state? 24 A California. 25 Q Okay. And at what point in time did you make a KANABAY COURT REPORTERS Volume 1, Page 17 1 decision that you would testify in this case? 2 A Pretty much decided Saturday morning, but didn't 3 actually tell you until Sunday. 4 Q Okay. What is -- what is your date of birth? 5 A 12/10/52. 6 Q And what is the extent of your education? 7 A Scientology or regular? 8 Q Regular. 9 A Well, I'm back to college now. I had two years 10 before I joined Scientology. 11 Q Okay. And when did you join the Church of 12 Scientology? 13 A 1972. 14 Q Okay. 15 A January of '72. 16 Q And did you join it as a public member or a staff 17 or something else? 18 A Pretty much joined the Sea Organization within a 19 month. 20 THE COURT: I'm sorry? 21 THE WITNESS: I joined the Sea Organization 22 within a month. 23 BY MR. DANDAR: 24 Q Okay. And in doing so, did you sign the Sea Org 25 contract? KANABAY COURT REPORTERS Volume 1, Page 18 1 A Yep. 2 Q Okay. Is there anyone in particular who asked 3 you or persuaded you to join the Sea Org? 4 A Bill Franks. 5 Q And that was up in Boston? 6 A Yes. 7 Q Okay. And how long were you a Sea Org member? 8 A Until December 1982, so pretty much almost ten 9 years. 10 Q Okay. What organizations did you work with as a 11 Sea Org member? 12 A I worked at Boston FOLO, which is like a relay 13 office for Eastern United States in New York. I worked at 14 Flag, which is here in Clearwater. I worked in the 15 international management section. 16 Q What was your highest position in -- as a Sea Org 17 member? 18 A Commodore's staff aide for Division 6. 19 Q What were your responsibilities? 20 THE COURT: I'm sorry, what was that 21 position again? 22 THE WITNESS: Commodore staff aide for 23 Division 6. I was LRH's assistant for international 24 marketing and expansion of Scientology. 25 BY MR. DANDAR: KANABAY COURT REPORTERS Volume 1, Page 19 1 Q And when you say "LRH," you're talking about 2 Mr. Hubbard himself? 3 A Yes. 4 Q And did you ever work for a section called the 5 Guardian's Office? 6 A I was a volunteer for the Guardian's Office in 7 the Boston area in '74, I think. 8 Q How many years? 9 A About two. 10 Q Okay. What types of things did you do for the 11 Guardian's Office? 12 THE COURT: That does seem to be a little 13 far removed from this case. 1974 through 1976? 14 MR. DANDAR: It's all predicate, Judge. 15 I'll show you -- I'll show you a connection real soon. 16 THE COURT: All right. 17 A I did basically undercover work, pretty much what 18 a private -- what I feel a private investigator would do. 19 In fact, my husband at that time at one time was a private 20 investigator, and it wasn't that much different. 21 People would work at companies, myself included. 22 If things came up about Scientology, I would report them. 23 If reports were thrown in the trash, I would take them 24 home. If reports were there that might be of interest, I 25 would Xerox them. KANABAY COURT REPORTERS Volume 1, Page 20 1 THE COURT: Was this a Scientology-run 2 business? 3 THE WITNESS: Oh, no. These were like 4 government offices or companies. 5 THE COURT: Specifically, like what 6 government offices do you remember? 7 THE WITNESS: The attorney general's office 8 a friend of mine was at. I was at the Consumer 9 Council. They handled consumer complaints. 10 BY MR. DANDAR: 11 Q And did you tell your employer you were a 12 Scientologist? 13 A No. 14 Q So you were undercover? 15 A Yes. 16 Q And the people who also were either working for 17 the Guardian's Office or volunteers, they did the same 18 things in other government offices? 19 A Yes. 20 MR. WEINBERG: Your Honor, objection. Are 21 we going to now go through the entire Guardian -- we 22 heard all about this from Mr. Frank. We heard how 23 they were disbanded. We heard how they were thrown 24 out of the Church, the leaders of the Guardian, by 25 Mr. Miscavige and Mr. -- and others. Why are we KANABAY COURT REPORTERS Volume 1, Page 21 1 going -- why is Mr. Dandar going back to 1976, when he 2 knows that the Guardian's Office hasn't existed since 3 1981? 4 THE COURT: Well, because I suppose there 5 has been some testimony that the Office of Special 6 Affairs does the same things the Guardian's Office 7 does. You may dispute that, but there's testimony of 8 that. 9 MR. WEINBERG: We more than dispute that. 10 THE COURT: I understand that. 11 MR. WEINBERG: And he hasn't put on evidence 12 of that. 13 THE COURT: Well, you know -- 14 MR. WEINBERG: He had a lot of background -- 15 I'm sorry. 16 THE COURT: Sometimes your side doesn't seem 17 to see what I see, and sometimes his side, 18 Mr. Dandar's side, doesn't seem to see what I see. It 19 seems like that's the case. I guess that's why you 20 have a judge. 21 I think there has been some evidence to 22 that. Whether or not it's been -- it certainly has 23 been refuted. 24 BY MR. DANDAR: 25 Q How long did you remain a volunteer for the KANABAY COURT REPORTERS Volume 1, Page 22 1 Guardian's Office? 2 A Just those two years. 3 MR. WEINBERG: She answered that. 4 BY MR. DANDAR: 5 Q And did you ever work for the Office of Special 6 Affairs? 7 A Well, first it was RTC and then a special mission 8 by RTC and then that got transferred down, because RTC was 9 higher than OSA. Then it got bumped down to the Office of 10 Special Affairs International. 11 Q When did you start working for RTC? 12 A Probably early '83, 1983. 13 Q And what was your first position at RTC? 14 A Well, I wasn't in RTC. I worked on a special 15 project for them. I was public. I was just, you know, out 16 in the world. 17 Q Oh, when did you -- so when you quit the Sea 18 Org -- 19 A I went out and got a job. 20 Q You went outside of Scientology? 21 A Yes, basically. 22 Q Okay. And then you became -- but you maintained 23 a membership as a public? 24 A Exactly. 25 Q Okay. And is that what -- is that the word KANABAY COURT REPORTERS Volume 1, Page 23 1 that's used to describe people who are not Sea Org or staff 2 but members of the Church of Scientology, "public"? 3 THE COURT: I don't need to hear that. I've 4 heard that a bunch of times, unless she's going to say 5 something different. 6 MR. DANDAR: Okay. Well, I just wanted 7 to -- because Mr. Weinberg made an objection about 8 that a couple days ago. 9 MR. WEINBERG: Excuse me? 10 THE COURT: I don't really need it. 11 BY MR. DANDAR: 12 Q Okay. So when you became a public member of the 13 Church of Scientology, explain how you were working for 14 RTC. 15 A Well, first -- for the first six months or 16 whatever after I stopped being on staff, after a while they 17 did put me on the list of people that were declared. I was 18 thrown out and -- which means I would be shunned. But then 19 that got corrected. And at the same time that that got 20 corrected, some friends sent me down to RTC, that the 21 person in charge of the mission there at that time wanted 22 to interview me. 23 And the first thing that he had me do was go to 24 David Mayo, who had been -- one of the technical heads of 25 Scientology, had started a splinter group. And there was KANABAY COURT REPORTERS Volume 1, Page 24 1 concerns about copyrights. And they wanted to see if I 2 could get connected in there, which I did. 3 Q As an undercover? 4 A Undercover. 5 Q And you were a public -- 6 THE COURT: Could I -- 7 BY MR. DANDAR: 8 Q -- member? 9 THE COURT: Pardon me. When you indicated 10 you were a Sea Org member until 1982, I take it you 11 were a public member thereafter until some point in 12 time? 13 THE WITNESS: Exactly. 14 THE COURT: When would that have been? 15 THE WITNESS: The real final parting? 16 THE COURT: Right. 17 THE WITNESS: It's really kind of cloudy, 18 but I'd say -- '96, '97 -- I mean, really in my head, 19 where I said, "You know what? I'm not a member 20 anymore," probably not until '97. 21 THE COURT: So from 1982 until 1997, you 22 were a public member -- 23 THE WITNESS: Basically. 24 THE COURT: -- except for this period of 25 time when you were -- KANABAY COURT REPORTERS Volume 1, Page 25 1 THE WITNESS: Yes, exactly. 2 THE COURT: But even then, you perceived 3 yourself a member. Is that correct? 4 THE WITNESS: Yes. 5 BY MR. DANDAR: 6 Q So -- 7 THE COURT: You say -- I'm sorry, 8 Mr. Dandar. 9 Did you say '97 or '98? 10 THE WITNESS: 1996, 1997 -- either/or, to be 11 honest. 12 THE COURT: Okay. 13 THE WITNESS: It was a real kind of fade. 14 THE COURT: All right. Thank you. 15 BY MR. DANDAR: 16 Q When you were a public member of the Church of 17 Scientology, you were also working as a volunteer for RTC? 18 A Correct. 19 Q Okay. And then in your capacity as working as a 20 volunteer for RTC, you worked for OSA? 21 A Well, after RTC. See, I was -- you have 22 handlers; you have case officers. So initially my case 23 officer wasn't RTC; it was a mission -- 24 Q Okay. 25 A -- a group of people assigned specifically. And KANABAY COURT REPORTERS Volume 1, Page 26 1 they were my people. And then as that group was shifted -- 2 which I do not know why; I wasn't privy to that -- then my 3 case handler became somebody more significant. 4 Q How long did you stay working, volunteering, 5 working as a volunteer, for RTC slash OSA slash OSA Int? 6 A Probably two and a half years. 7 Q And was there any difference between the work in 8 the Guardian's Office when it was called the Guardian's 9 Office and the work for OSA when you were volunteering to 10 work for OSA? 11 A As I knew at that time? The differences were 12 with OSA they used a lot more private investigators and 13 they ran things through the attorneys. You would get 14 like -- there would be an operation or you would get 15 briefed to go do something. And they would say, "Oh, we 16 have to run this through the attorneys first." There was a 17 lot more of that. 18 But otherwise in terms of the day-to-day, "Go 19 pretend you're a friend and tell us what they're doing" or 20 "Go here and tell us what they're doing," that was all the 21 same. The information and the intelligence-gathering was 22 the same. 23 Q So -- so your activities of spying on people in 24 the Guardian's Office was the same as your spying for OSA? 25 MR. WEINBERG: Objection to the form. Could KANABAY COURT REPORTERS Volume 1, Page 27 1 he just ask questions? 2 THE COURT: Sustained. She uses the term 3 "gathering information." She's not yet used the word 4 "spying," so I don't think you ought to use it here. 5 MR. DANDAR: Okay. All right. 6 BY MR. DANDAR: 7 Q When you went undercover, as you said, in David 8 Mayo's organization, what was your assignment? 9 A To befriend, to be -- to find out what was going 10 on. Sometimes there would be something specific for me to 11 do. Other times it was just to be there and find out what 12 they were doing and report back. 13 Q Okay. And what -- did you tell this organization 14 run by Mr. Mayo that you were a -- a worker -- a 15 Scientologist? 16 A An agent for the Church? No, I did not. 17 Q What did you tell them about your affiliation 18 with the Church? 19 A Because I had been on that list in writing that I 20 was thrown out of the Church, that was my -- you know, at 21 that time there was a very large schism within the Church. 22 THE COURT: What date was that? I mean, 23 what year was that? 24 THE WITNESS: 1983 I started. 25 THE COURT: No, I'm sorry. This list that KANABAY COURT REPORTERS Volume 1, Page 28 1 you were on, this schism, where you're talking about a 2 lot of folks were on the list, was this -- 3 THE WITNESS: I don't have a copy right to 4 hand, but it was back in '80 to '83 I was on the list. 5 It was a very long list. 6 THE COURT: Okay. 7 THE WITNESS: Very long list. 8 BY MR. DANDAR: 9 Q Did that list have anything to do with the power 10 struggle between David Miscavige and Pat Broeker? 11 A Yes, well -- yes. Some of the people did -- the 12 first time I saw some of the names that were to be removed 13 from their positions, most of them were very, very high, 14 and I thought that this was written by a non-church member, 15 that somebody had written -- it was so bizarre at that 16 time. This was so amazing, that these senior executives 17 would be all removed together and said they were like bad 18 people, that I thought that was a made-up thing by some 19 anti-Scientologist. 20 Q When you were undercover in the David Mayo group, 21 did you submit to a deposition? 22 A No. 23 Q Were you deposed about your working in the David 24 Mayo group? 25 A An affidavit at the very end. That's what -- KANABAY COURT REPORTERS Volume 1, Page 29 1 that's when I became a potential witness in a court case, 2 and they had me submit an affidavit. 3 Q Did there come a point in time when you gained 4 knowledge that there was a court order prohibiting 5 Scientology from having anybody working for David Mayo? 6 A Correct. They -- during this time, when I was 7 still going in there, there was at one time a court order 8 that said all people -- all agents of the Church, all 9 members of the Church, have to stay within a certain, you 10 know, feet order. You know what I mean? 11 Q An injunction? 12 A Yes, it was an injunction. 13 Q And to your knowledge, personal knowledge, was 14 that order honored? 15 A No, it was not. 16 Q How was it broken? 17 A Well, first I was asked to go up there. And I 18 said: Well, how can I go up this weekend? Isn't there an 19 injunction? 20 And I honestly don't remember. I know there was 21 hesitation and "I'll get back to you and I've got to check 22 with the lawyers," because everything was checked by the 23 lawyers. So whether I came up or not, I can't honestly 24 say. 25 But I do know that they had at least two agents KANABAY COURT REPORTERS Volume 1, Page 30 1 in there on a permanent basis that were agents of the 2 Church, reporting regularly to the Church, that had staff 3 jobs there. They were there all the time. And they were 4 left just doing their business as usual. 5 Q Did they report to the attorneys or to someone 6 else? 7 A No. They reported to the same person that I 8 reported to. 9 Q Was that an attorney? 10 A No, it was not. 11 Q What post did that person have? 12 A Well, initially he was in RTC. There was an RTC 13 mission there. 14 Q Was this before OSA was formed? 15 A No. This was after OSA. This was during that 16 transition period. 17 Q Okay. 18 THE COURT: Who did you report to? Are we 19 not going to find out? 20 BY MR. DANDAR: 21 Q Who did you report to? 22 A His name? 23 Q Yes. 24 A Gary Klinger. 25 Q Klinger? KANABAY COURT REPORTERS Volume 1, Page 31 1 A M'hum (affirmative). 2 Q K-l-i-n? 3 A Yes. 4 THE COURT: And Mr. Klinger was where in the 5 organization? 6 THE WITNESS: He was on mission from RTC. I 7 do not know if he was an official RTC staff member, 8 because sometimes they pull people from other 9 organizations to do work for them. But that was his 10 position while he was my case officer. 11 THE COURT: Okay. 12 BY MR. DANDAR: 13 Q Do you know who his senior was? 14 A I know now, yes. I didn't at that time. 15 MR. WEINBERG: Well, excuse me, your Honor. 16 She knows now based on something somebody has told 17 you? 18 THE WITNESS: No. I read it on the 19 Internet. 20 MR. WEINBERG: Well, I object to her 21 testifying as to who the senior was if she read it on 22 the Internet. 23 THE COURT: Sustained. 24 MR. DANDAR: Okay. 25 BY MR. DANDAR: KANABAY COURT REPORTERS Volume 1, Page 32 1 Q But his senior would have been somebody in RTC, 2 right? 3 A Correct. 4 THE COURT: What was the man's name? I 5 got -- 6 THE WITNESS: Klinger. 7 THE COURT: Klinger. 8 THE WITNESS: Gary Klinger. 9 THE COURT: Thank you. 10 THE WITNESS: We weren't allowed, when we 11 were doing it -- like I was spied upon. There were 12 people that I never knew who they were who would check 13 back on what I was doing. 14 BY MR. DANDAR: 15 Q So what do you mean? You weren't allowed to know 16 what? 17 A It's on a need-to-know basis. That's what they 18 call it, a need-to-know basis. So you would only know the 19 little, tiny part that you were involved in. 20 Q Okay. And then you had people that -- from RTC 21 who were spying on you? 22 A I don't know who they were. But I would come 23 back and people had watched me and observed me and they had 24 reported in on what I had done. 25 Q And how would you find that out? KANABAY COURT REPORTERS Volume 1, Page 33 1 A I would be told by my case officer. 2 Q Okay. 3 THE COURT: In other words, you were -- you 4 were -- they wanted you to know that folks were 5 watching what you were doing? 6 THE WITNESS: Exactly. 7 THE COURT: So they weren't hiding that from 8 you; they were telling you. 9 THE WITNESS: That I was being watched, but 10 I never knew who that person -- those people were. 11 THE COURT: But I guess what I'm saying is 12 you were being made aware that you were being 13 watched -- 14 THE WITNESS: Right. 15 THE COURT: -- so that you knew this when 16 you were making your report. 17 THE WITNESS: Exactly. 18 BY MR. DANDAR: 19 Q Who else did you go undercover for in addition to 20 David Mayo? 21 A A lot, actually. I would just happen into things 22 sometimes. I went to go get a job at what I thought was a 23 normal computer company, and it ended up being someone 24 connected with the European squirrels at that time. 25 Squirrels are people that leave the Church but still KANABAY COURT REPORTERS Volume 1, Page 34 1 practice the Church. 2 But a gentleman named Captain Bill, Captain Bill 3 Robertson -- he was a major force in the Sea Org. And 4 during the split with David Mayo and David Miscavige and 5 whatnot, he ended up in the Org. 6 And this little computer company that I thought 7 was a regular computer company ended up being like run by 8 him. You know, he was -- his deputy ran the company. 9 Q Were you -- were you undercover in that company? 10 A Well, then I reported in to my case officer, and 11 I said, "Oh, my god, I got this job," you know. 12 And he said, "Well, go ahead and just report 13 whatever you have." 14 And he would feed it back to -- I think it was -- 15 he would feed it back to the person who was -- actually 16 handled the European operations. 17 Q And the people at the computer company, did they 18 know you were a Scientologist? 19 A Yes. They thought -- I'm trying to get this 20 straight. They thought that I was -- see, there were 21 regular Scientologists in the company. And this was at a 22 higher level of the organization. The executives were the 23 ones connected with the European squirrel group, right? 24 THE COURT: I'm getting real confused. The 25 word "squirrel," I don't know what that is. KANABAY COURT REPORTERS Volume 1, Page 35 1 MR. WEINBERG: It's people that have left 2 the Church that are trying to put on a -- trying to 3 use Scientology as a -- their own -- 4 MR. DANDAR: (To Mr. Prince) Shh. 5 MR. WEINBERG: It's an altered version of 6 Scientology, in other words. And so they are 7 squirrels and they are disaffected and they are -- you 8 know, they are enemies of the Church of Scientology. 9 They're people that have essentially -- 10 THE WITNESS: Yep. 11 THE COURT: You agree with that? 12 THE WITNESS: Yes, I do. 13 THE COURT: Okay. So this would be like 14 this David Mayo -- 15 THE WITNESS: Exactly. 16 THE COURT: -- was using the Church's 17 literature, supposedly was sued for trademark 18 violations -- 19 MR. WEINBERG: Exactly. 20 THE COURT: -- or whatever? That would be 21 considered a squirrel group? 22 MR. WEINBERG: That's a squirrel group. 23 They take the copyright and then try to open up their 24 own organization -- 25 THE WITNESS: Exactly. KANABAY COURT REPORTERS Volume 1, Page 36 1 MR. WEINBERG: -- with it, violating all 2 kinds of law. 3 THE COURT: Okay. When you say this was a 4 squirrel group -- 5 THE WITNESS: It was like the European 6 version of David Mayo. 7 THE COURT: Okay. 8 THE WITNESS: They went a little different 9 in Europe. 10 THE COURT: Okay. 11 MR. DANDAR: Mr. Hubbard's dictionary 12 defines it like that. And there's many definitions, 13 actually, but one of them says: "Going off into weird 14 practices or altering Scientology. Only comes about 15 from non-comprehension." And it goes on and on. 16 Anyway. 17 THE WITNESS: So I was involved in that. I 18 was involved in just about anything else that would 19 kind of come my way. And there would be little minor 20 things that would be given to me. You know: "Oh, 21 there's going to be a meeting over here. Could you go 22 and tell us what happens?" 23 THE COURT: I'm sorry, I think I interrupted 24 your train of thought. You had been asked whether or 25 not they knew you were with the Church of KANABAY COURT REPORTERS Volume 1, Page 37 1 Scientology -- 2 THE WITNESS: Oh, yes. 3 THE COURT: -- and you started to talk about 4 that. 5 THE WITNESS: Yes, because it was very 6 complicated, because I went and got their job -- I was 7 hired by their general membership as I was a regular 8 Scientologist. And they did not know I was spying for 9 OSA and going to David Mayo's. Right? But then I 10 found out that the leadership, the executives -- 11 THE COURT: In the company? 12 THE WITNESS: -- in this company -- 13 THE COURT: Okay. 14 THE WITNESS: -- who were keeping it hidden 15 from the regular staff -- right? -- were in actual 16 fact connected with both David Mayo's in America and 17 Captain Bill in New York. 18 BY MR. DANDAR: 19 Q Okay. All right. 20 A So because I was at David Mayo's, okay, then I 21 can't have a regular job here because they know. And then 22 I became a conduit for European information. 23 MR. WEINBERG: And the date of this is? 24 THE WITNESS: This would be '84, '83. It 25 would be -- yes, '83, '84. KANABAY COURT REPORTERS Volume 1, Page 38 1 BY MR. DANDAR: 2 Q Okay. Did there -- did there come a -- well, any 3 other operations that you participated in with OSA or RTC? 4 A Well, I remember -- I mean, like there would be 5 like little things, like say, for example, this woman -- I 6 don't even remember her name -- but she would be in 7 deposition with Scientology all day. And then I would get 8 a call like, "Hey, she's going to be over at this friend of 9 a friend's house after the deposition," and I would go 10 there just to get their reaction from the deposition. 11 Q And would you go -- 12 THE COURT: I don't understand that. 13 THE WITNESS: A witness -- 14 THE COURT: A witness for whom? 15 THE WITNESS: She would be against 16 Scientology. 17 THE COURT: In a case? 18 THE WITNESS: Yes. She was a witness in a 19 case that Scientology was deposing. 20 THE COURT: Okay. She was a witness against 21 Scientology? 22 THE WITNESS: Against Scientology. And 23 after the day's deposition, they wanted me there to 24 get her reaction, to get some feedback. 25 THE COURT: Did she know that you were doing KANABAY COURT REPORTERS Volume 1, Page 39 1 this? 2 THE WITNESS: For Scientology? Absolutely 3 not. Absolutely not. 4 MR. WEINBERG: Could we have a name? 5 THE WITNESS: I can't remember her name. 6 BY MR. DANDAR: 7 Q A date? Year? 8 A Well, it would be between that period, '83, '84. 9 Q Okay. 10 THE COURT: Can you tell me how -- two 11 questions I would have, maybe. One is, How did you 12 just end up at somebody's house? I mean, normally you 13 have to be invited. 14 THE WITNESS: Because it would be a friend 15 of a friend. They knew that I knew somebody who was 16 friends with her. 17 THE COURT: Okay. So you'd just try to be 18 at -- end up at the same place where she was -- 19 THE WITNESS: Exactly. 20 THE COURT: -- and listen in? 21 THE WITNESS: Exactly. 22 THE COURT: See if she said anything, and if 23 so, report back. 24 THE WITNESS: Exactly. 25 THE COURT: Okay. KANABAY COURT REPORTERS Volume 1, Page 40 1 BY MR. DANDAR: 2 Q Before you left the Sea Org, did you ever work at 3 the Celebrity Center? 4 A Yes, I did. 5 Q Where at? 6 A Celebrity International in Los Angeles. 7 Q And what was your position there? 8 A President. 9 Q How long did you have that? 10 A At least a year. I was only there for two years. 11 Q And this Celebrity Center in Los Angeles, that's 12 where all the movie stars are? 13 A They -- some of them, yes. 14 Q And when you became a public member, did you ever 15 go to Flag in Clearwater? 16 A Yes. 17 Q In fact, when you were a Sea Org member, you were 18 at Flag in Clearwater? 19 A Yes, I was. 20 Q Okay. And do you recall when you went to Flag in 21 Clearwater as a public member? 22 A I don't have at hand the exact dates, but it 23 would be most definitely after 1986. Okay? And I think my 24 last trip was whenever the L.A. earthquake was. What was 25 that, '94? KANABAY COURT REPORTERS Volume 1, Page 41 1 THE COURT: The what, ma'am? 2 THE WITNESS: Earthquake, the big earthquake 3 in Los Angeles. That would be, I believe, 1994. 4 BY MR. DANDAR: 5 Q So you were at Flag in Clearwater in '94? 6 A In '94. 7 Q Where did you stay? 8 A In '94 I stayed at the Sandcastle. In earlier 9 trips -- 10 MR. MOXON: May I interrupt? Mr. Oliver is 11 standing right outside, kind of listening at the door. 12 I just walked by, and it's very easy to hear. For 13 some reason, he's standing right there. 14 THE COURT: Mr. Dandar or Mr. Lirot, would 15 you -- 16 MR. DANDAR: We'll take care of it, your 17 Honor. 18 (Mr. Lirot briefly left the courtroom.) 19 BY MR. DANDAR: 20 Q Did you ever stay at the Fort Harrison Hotel? 21 A Yes, I did. 22 Q And where in the hotel? 23 A Cabana. 24 Q And the cabana that you stayed in, can you tell 25 us what type of floor it had? KANABAY COURT REPORTERS Volume 1, Page 42 1 A Tile. 2 Q Do you know -- 3 MR. WEINBERG: Could we date this? 4 THE COURT: 1994. 5 MR. WEINBERG: No, no. 6 THE WITNESS: No, '94 -- 7 MR. WEINBERG: She was at Sandcastle in '94. 8 Then she asked -- could we date it? 9 THE WITNESS: So this would have been like 10 '88, '88. 11 MR. DANDAR: Okay. 12 THE WITNESS: Maybe '90. 13 THE COURT: I'm sorry, I didn't pick that 14 up. You were in Flag in 1988 and again in 1994? 15 THE WITNESS: I do believe I had three 16 trips. 17 THE COURT: You were going to Flag as other 18 parishioners do -- 19 THE WITNESS: Exactly. 20 THE COURT: -- to get the technical -- 21 THE WITNESS: Exactly. 22 THE COURT: -- improvement. 23 THE WITNESS: Exactly. 24 THE COURT: Okay. And so one of the times 25 you were there in '88, you stayed in the cabana, KANABAY COURT REPORTERS Volume 1, Page 43 1 that's when the floor of the cabana was tiled. 2 THE WITNESS: Exactly. 3 THE COURT: The last time you were there -- 4 THE WITNESS: I was in the Sandcastle. 5 THE COURT: -- you were in the Sandcastle. 6 Okay. 7 BY MR. DANDAR: 8 Q And that was in 1994? 9 A Correct. 10 Q Were you volunteering for any organization of 11 Scientology in the '90s? 12 A No. I would still get phone calls, though, to do 13 things, but I never did them. 14 Q Who would you get phone calls -- 15 A Except for once, I did do one thing. After -- 16 after I came forward with the affidavit -- there were a few 17 other things. I was having a lot of trouble with what was 18 going on, truthfully. 19 I couldn't resolve for myself who was right, who 20 was wrong, what side, this side -- I mean, it was really 21 difficult to go back and forth between people that had left 22 the Church and then back to people in OSA. 23 And it was -- I -- I -- truthfully, I think I 24 lost myself in there and I lost my opinions in there, 25 because it gets very confusing when people -- when people KANABAY COURT REPORTERS Volume 1, Page 44 1 are black and white, you know. I'd go to David Mayo or any 2 of the critics, I mean, I didn't -- you know, and they 3 would be like the Church is all bad. And then you would go 4 to the Church, and it would be like the critics are all 5 bad, just this -- you know, and both sides, to be honest, I 6 think from my perspective of going back and forth, to me 7 they're equally as bad. I mean, they're just -- they do 8 things that are -- 9 MR. WEINBERG: Your Honor, objection. Is 10 there a question? 11 MR. DANDAR: Yes. 12 THE COURT: I don't remember what it was. 13 MR. WEINBERG: I think what it was is 14 whether she had volunteered to do anything in the 15 '90s -- 16 THE WITNESS: So what I'm answering is, yes, 17 I was asked to do things. 18 THE COURT: Counsel, don't be so -- I mean, 19 this lady is about as fair-minded as I've heard yet. 20 This is a lady that really thus far hasn't said 21 anything other than both sides seemed to be equally 22 rabid, although she didn't quite say it that way, 23 about the other -- 24 MR. WEINBERG: I'm not quibbling -- 25 THE COURT: -- black and white -- KANABAY COURT REPORTERS Volume 1, Page 45 1 MR. WEINBERG: I was just asking for 2 questions and answers. 3 THE COURT: Well, I understand. But I found 4 it rather interesting. It was my observation as well. 5 BY MR. DANDAR: 6 Q Did -- when was the last time that you were 7 asked -- 8 THE COURT: When you say black and white, 9 ma'am, that's what you mean, that they're fairly stuck 10 on their position? 11 THE WITNESS: Exactly. I call it 12 black-and-white thinking: all good, all bad. And I 13 saw that because I did have that experience of going 14 back and forth. 15 THE COURT: And the Church felt like the 16 anti- -- their critics were out to hurt them and they 17 were all bad, and the critics thought that the Church 18 was all bad and out to hurt them. 19 THE WITNESS: Exactly. 20 THE COURT: And nobody wanted to waver off 21 of that. 22 THE WITNESS: Exactly, exactly. And my very 23 last thing before they pulled me into the court case 24 to do an affidavit was a weekend with this woman who 25 had been LRH's personal PR, and she -- KANABAY COURT REPORTERS Volume 1, Page 46 1 THE COURT: What is a PR? 2 THE WITNESS: Public relations. But she was 3 a personal. Right? 4 THE COURT: His personal public relations 5 person? 6 THE WITNESS: And she -- 7 MR. WEINBERG: Are we back in the '80s, 8 ma'am? 9 THE WITNESS: I'm sorry. We are in '85. 10 We're in 1985. And she -- before I had a weekend with 11 her, I was given a briefing, because that's normally 12 how it works. And they brief you on these various 13 different things. It's just individually it had taken 14 a toll on me, what side was what. And I remember in 15 the briefing being told things that I felt I shouldn't 16 know. 17 BY MR. DANDAR: 18 Q Such as? 19 A Personal, private, intimate things about this 20 woman. 21 Q Such as? 22 A Sexual practices. 23 Q And why did you spend the weekend with her? 24 A I had befriended her. She was somebody that -- I 25 had never been close to her when we were in the Sea Org and KANABAY COURT REPORTERS Volume 1, Page 47 1 she had actually been quite a not-nice executive. She had, 2 I thought, hurt several of my friends. And I thought it 3 was a little over the top to go testify -- to be LRH's 4 personal public relations officer and go testify against 5 him. So I didn't have qualms about spying on her. 6 But through this weekend, this woman actually 7 gave me a way out, which was a third kind of view of it, 8 which was not black-and-white thinking. And it was -- 9 actually ended up being quite a gift for me from that 10 woman. 11 And after that weekend with her, I did not report 12 in to OSA. I could not report on that woman. And within a 13 week, I was pulled in to make an affidavit. 14 Q Do an affidavit about her? 15 A No. It was about the David Mayo case, which I 16 didn't understand, really, why -- I mean, it was an 17 affidavit and I was a potential witness, but I really 18 didn't have the knowledge of that particular case. 19 Q Okay. 20 THE COURT: What was the David Mayo case, 21 which of these cases? 22 THE WITNESS: Copyright violations. 23 MR. WEINBERG: It was a copyright. He had 24 taken the Church -- 25 THE COURT: I'm sorry, what is it as far as KANABAY COURT REPORTERS Volume 1, Page 48 1 the names? Is it one of these names that I've heard 2 of? 3 MR. WEINBERG: No. 4 MR. DANDAR: It's known as Wollersheim II. 5 MR. WEINBERG: No, it's not. 6 THE WITNESS: The NOTs case. 7 MR. LIEBERMAN: I believe it's Religious 8 Technology Center against Advanced Ability Center, 9 David Mayo, et cetera, et cetera. And it involved the 10 use by the Advanced Ability Center, headed by David 11 Mayo, of NOT materials which -- 12 THE COURT: Okay. 13 MR. LIEBERMAN: -- had been stolen and 14 people had been convicted in Denmark for stealing the 15 materials, bringing them -- 16 THE COURT: I just simply wanted to know 17 what was the name of the case. I now remember reading 18 something about this in some document. 19 MR. WEINBERG: And it was in the early '80s. 20 THE COURT: Right. Okay. I'm sorry, I just 21 was trying to -- 22 THE WITNESS: That's okay. 23 THE COURT: -- put myself into what case we 24 were talking about here. 25 BY MR. DANDAR: KANABAY COURT REPORTERS Volume 1, Page 49 1 Q So I'd like to -- let's get into the '90s, okay? 2 THE COURT: Who did you give an affidavit 3 for in that case? 4 THE WITNESS: The Church. 5 THE COURT: For the Church? 6 THE WITNESS: Oh, yes. 7 THE COURT: They asked you to come in and 8 give an affidavit? 9 THE WITNESS: I was a potential witness. I 10 was on standby to be a witness. 11 THE COURT: You gave an affidavit that was 12 true? 13 THE WITNESS: Yes, absolutely. 14 THE COURT: They didn't try to get you to 15 lie or anything like that? 16 THE WITNESS: No. 17 THE COURT: So you gave an affidavit -- or I 18 don't know whether it's called an affidavit or 19 declaration. 20 THE WITNESS: Oh, maybe it was a 21 declaration. 22 THE COURT: They're the same thing. 23 THE WITNESS: Okay. 24 THE COURT: Different states call them 25 different things. KANABAY COURT REPORTERS Volume 1, Page 50 1 THE WITNESS: Okay. 2 THE COURT: But you were asked to tell 3 something about what you knew about -- 4 THE WITNESS: Exactly. 5 THE COURT: -- this case? 6 THE WITNESS: Right. 7 THE COURT: And you did that. 8 THE WITNESS: Absolutely. 9 THE COURT: Okay. 10 BY MR. DANDAR: 11 Q Did you admit in the affidavit that you were 12 undercover? 13 A Yes. 14 Q Did you admit in the affidavit that there were 15 other undercover agents of Scientology in the David Mayo 16 organization that no one knew about? 17 A No. 18 Q Did that concern you, that you might be called to 19 court to testify about that? 20 A Yes. 21 THE COURT: You didn't say in this affidavit 22 that there weren't such people either. 23 THE WITNESS: No. 24 THE COURT: In other words, you did not 25 perceive to give any false -- KANABAY COURT REPORTERS Volume 1, Page 51 1 THE WITNESS: Exactly. 2 THE COURT: -- testimony in your affidavit, 3 nor do you believe you were asked to. Is that right? 4 THE WITNESS: Correct. 5 THE COURT: You just knew if you were called 6 as a witness, the lawyer might -- 7 THE WITNESS: Might say -- 8 THE COURT: -- ask you questions -- 9 THE WITNESS: Exactly. 10 THE COURT: Okay. 11 BY MR. DANDAR: 12 Q There is something in Scientology called the 13 bridge. How high up on the bridge did you go? 14 A Well, I basically had both personal auditing 15 level -- it was the original OT VII, which then changed, 16 and I did the OT V. Okay? So I didn't do the solo NOTs, 17 but I did the audited NOTs of OT V. But I had previously 18 done up to OT VII. 19 On the administrative side of it, I'm very highly 20 trained. I've done pretty much every course that there is, 21 the FEBC course, OEC course, and the DSEC course, the 22 evaluator's course. 23 THE COURT: What is that? That's the 24 technology part of it? 25 THE WITNESS: Of the administration. That's KANABAY COURT REPORTERS Volume 1, Page 52 1 how you run organizations. It's not the personal 2 counseling. 3 THE COURT: The OT part of it is -- 4 THE WITNESS: Is the personal counseling 5 that I received. 6 THE COURT: Okay. 7 THE WITNESS: So I received a lot of that. 8 And then I trained on how to run organizations. 9 BY MR. DANDAR: 10 Q So you went, of course, past the state of Clear? 11 A Yes. 12 Q And you -- when you were in, OT VII was the 13 highest you could go? 14 A Yes. 15 Q All right. 16 A No, OT VIII had started before -- 17 Q Okay. 18 A -- when I was still in, yes. 19 Q All right. Now, being administratively trained 20 as high as you were, you, of course, heard the phrase 21 "greatest good for the greatest number"? 22 A Correct. 23 Q What does that mean? 24 A That means that when you sit down to make a 25 decision, a moral choice, that you take a look at -- you KANABAY COURT REPORTERS Volume 1, Page 53 1 have a paradigm of life, which is called the eight 2 dynamics, which is you just basically break down your life 3 into these eight parts: First, which is yourself -- 4 THE WITNESS: Do I need to describe what 5 these are? Do you want to know? 6 THE COURT: I don't know how much of an 7 explanation you want. I frankly have not heard this. 8 I just heard -- that's fine with me. 9 A See, you break your life into these eight parts. 10 And, you know, it's yourself; there's a part that's your 11 family; there's a part that's your group; a part that's 12 mankind; a part that's animals and flowers; there's a part 13 that's -- you know, matter, your things that you have; 14 there's a part that's spirits -- spiritual world; and then 15 there's a final part, which is like infinity or God. 16 That's a change in definition. 17 But anyway, there's eight of them. And when you 18 make a moral choice, you figure out would it benefit -- if 19 it's going to benefit five of these areas of your life, 20 that would be the greatest good, to go forward in that 21 direction because it is the best good for the greater 22 number of dynamics. 23 BY MR. DANDAR: 24 Q The phrase "the greatest good for the greatest 25 number," does it, in your understanding and your 20 years KANABAY COURT REPORTERS Volume 1, Page 54 1 in Scientology, have anything to do with whether or not you 2 should or should not tell the truth? 3 A Well, there is like acceptable truths. 4 Q And what's that? 5 A That's when you don't outright lie, but you just 6 sort of twist it. You slant it. Public relations people, 7 I think, do that a lot. 8 In the Sea Organization, when you would go on a 9 mission, for example, you were going into another 10 organization and you were there to help. I mean, you're 11 there to, I don't know, build up their course work or 12 whatever. You might have what they call a shore story, is 13 what it's called. 14 And at the bottom of these mission orders is a 15 shore story. And while you're there to remove the 16 executive director from the board who is having sex with 17 somebody he shouldn't and you're removing him from 18 position, you wouldn't tell that to the staff. You would 19 then say you're there to better the organization. It's not 20 a lie; you're there to better the organization. But you 21 don't concentrate on the negative. 22 And, you know, people do this all the time. I 23 mean, that's a very common slant. 24 Q Well, when you went undercover for -- in the 25 David Mayo organization and told everyone you're not a KANABAY COURT REPORTERS Volume 1, Page 55 1 Scientologist, what do you call that? 2 A I was pretty trapped in there. But, yes, I was 3 lying. I was lying. 4 THE COURT: Would that -- that would not be 5 what you just defined as an acceptable -- 6 THE WITNESS: No. 7 THE COURT: -- truth, right? 8 THE WITNESS: No, that's just -- 9 THE COURT: That's just a -- 10 THE WITNESS: But I'm trying to fill -- 11 THE COURT: -- lie? 12 THE WITNESS: -- my lie with a cover -- 13 THE REPORTER: I'm sorry, when the Judge is 14 asking questions, if you would go -- 15 THE WITNESS: One at a time? 16 THE REPORTER: -- one at a time. Thank you. 17 THE WITNESS: What was I saying? 18 THE COURT: I don't know. 19 Madam Court Reporter -- 20 MR. WEINBERG: What she said was, but I was 21 trying to fill my lie with my cover, or something like 22 that. 23 THE COURT: Okay. 24 THE WITNESS: Exactly. I would try to fill 25 it with as much truth as possible. I mean, I was KANABAY COURT REPORTERS Volume 1, Page 56 1 really Nancy Many. I really did have a husband. I 2 really did have a child. You know what I mean? There 3 was as much truth as I could have and as few lies as I 4 needed to maintain the cover. 5 THE COURT: So you did not believe that you 6 were trained in the Church of Scientology -- excuse 7 me -- the Church of Scientology to lie when it was 8 convenient for the good of the Church. 9 THE WITNESS: Well, you did have to protect 10 the Church at all costs. And that was my moral 11 dilemma, sitting there in the witness room potentially 12 going on the stand. That was a personal very, very 13 difficult moment for me. 14 THE COURT: Okay. 15 THE WITNESS: And I was very lucky. I never 16 got called to the witness stand, and no one ever asked 17 me the question. 18 THE COURT: The dilemma being -- 19 THE WITNESS: Would I protect -- 20 THE COURT: -- would you protect the -- 21 THE WITNESS: -- the Church. 22 THE COURT: -- Church, whether you would 23 protect the Church. 24 THE WITNESS: Exactly. 25 BY MR. DANDAR: KANABAY COURT REPORTERS Volume 1, Page 57 1 Q With all your training in Scientology, was the 2 answer to that question pursuant to Scientology? 3 MR. WEINBERG: Her understanding of that? 4 MR. DANDAR: Her understanding. 5 A Could you give me that question again? I'm 6 sorry. 7 BY MR. DANDAR: 8 Q With your understanding -- in your training in 9 Scientology for 20 years, what is your understanding, if 10 you had been called to testify, how you would resolve that 11 moral dilemma? 12 A Like I said, I'm very thankful I was not called 13 to testify. 14 THE COURT: Yes. That's a hypothetical. 15 She doesn't know the answer to that. 16 A I don't know what I would have done. I really 17 don't. 18 BY MR. DANDAR: 19 Q Okay. While you were a member in good 20 standing -- 21 THE COURT: If I could just follow up with 22 one question about that. In order to protect 23 Scientology, there would be times you would tell a 24 lie? 25 THE WITNESS: Yes. KANABAY COURT REPORTERS Volume 1, Page 58 1 THE COURT: Okay. Now, what I'm having 2 trouble with, when I hear this definition of 3 "acceptable truth," I don't know whether that's an 4 acceptable truth or whether the term "acceptable 5 truth" has something to do with what you just 6 described, which would be an acceptable truth is 7 telling an organization something more positive -- 8 THE WITNESS: Exactly. 9 THE COURT: -- than some negative thing that 10 would just hurt people. 11 THE WITNESS: Exactly. 12 THE COURT: Okay. Is that what you think of 13 as an acceptable truth? 14 THE WITNESS: In the majority -- 15 THE COURT: Or -- 16 THE WITNESS: -- of cases, because it can 17 also be used destructively. It can also be used 18 destructively. 19 THE COURT: When you lie to protect -- to 20 protect Scientology, what is that? Is that an 21 acceptable truth? Or is that just a lie to protect 22 Scientology? 23 THE WITNESS: In some cases -- I mean, I'm 24 just looking back on when did I do that. I would -- 25 THE COURT: I mean, I understand about your KANABAY COURT REPORTERS Volume 1, Page 59 1 job. 2 THE WITNESS: When -- 3 THE COURT: Somebody who is going to go do 4 undercover work, you can't do effective -- I mean, 5 people do it all the time -- 6 THE WITNESS: Exactly. 7 THE COURT: -- not just Scientology and the 8 government folks, but, you know, anybody that's going 9 to do any undercover work, including the government or 10 what have you. They are not effective if they go in 11 and say, "I'm here from the FBI," you know. So I 12 understand that. So that's -- we're not talking about 13 that. 14 THE WITNESS: But I am -- all right. Say, 15 for example, like you would -- you would not -- you 16 would never forward negative information about 17 Scientology. I mean, you just -- you just wouldn't do 18 that. You wouldn't. I mean, it wouldn't matter what 19 it was, because that was the senior thing. 20 Per the moral definition, if you go 21 backwards to what I was saying of the greatest good 22 for the greatest number, that therefore, when you are 23 a member of this group, they are the greatest good for 24 the greatest number. You see? 25 So under that umbrella, you would always KANABAY COURT REPORTERS Volume 1, Page 60 1 veer towards the protection of them almost at any 2 cost. And that is where I got into big personal 3 trouble. 4 THE COURT: Here again, this is the first 5 time I've heard "the greatest good for the greatest 6 number" defined in the fashion you defined it. Now 7 I'm not sure what -- in other words, you told me that 8 there are eight -- 9 THE WITNESS: Areas. 10 THE COURT: -- areas, dynamics. 11 THE WITNESS: Right. 12 THE COURT: And of these eight dynamics, 13 these would be personal dynamics -- 14 THE WITNESS: Right. 15 THE COURT: -- personal to you -- 16 THE WITNESS: Right. 17 THE COURT: -- your family, your spirit, 18 your -- I don't know. 19 MR. WEINBERG: God. 20 THE COURT: God. 21 THE WITNESS: God. Infinity. 22 THE COURT: Infinity. 23 THE WITNESS: Right. 24 THE COURT: All those things. And you would 25 decide -- make decisions based on what was the KANABAY COURT REPORTERS Volume 1, Page 61 1 greatest good for the greatest number of those eight 2 things. 3 THE WITNESS: Right. 4 THE COURT: Now, how does that then comport 5 to -- 6 THE WITNESS: To Scientology? 7 THE COURT: -- Scientology? Because -- 8 THE WITNESS: Because if you are -- when you 9 are a very, very good member, as I was for many years, 10 it is the ultimate. It is -- you could not look at 11 your eight dynamics without seeing how Scientology 12 would be good for all of them and how more Scientology 13 in the world would be good for everyone. 14 THE COURT: So if Scientology would be 15 adversely affected, then this one dynamic would 16 likewise be adversely affected. 17 THE WITNESS: Absolutely, absolutely. 18 THE COURT: And that would come into your -- 19 THE WITNESS: As a person -- 20 THE COURT: -- thinking as you would be 21 thinking on what to do in an individual case. 22 THE WITNESS: Exactly. 23 THE COURT: Okay. This is, of course -- 24 this is her speaking -- 25 MR. WEINBERG: Right. KANABAY COURT REPORTERS Volume 1, Page 62 1 THE COURT: -- from her perspective. 2 BY MR. DANDAR: 3 Q Was there anything in your 20 years -- was there 4 anything that you were asked to do that you didn't do 5 because it would hurt you rather than protect Scientology? 6 THE COURT: That's an odd question. 7 MR. DANDAR: It is. 8 THE WITNESS: It is. 9 MR. DANDAR: It's a bad question. 10 THE COURT: Yes. I don't know what you're 11 talking about. 12 BY MR. DANDAR: 13 Q Was there -- was there any point in your 20-year 14 experience where you didn't do something even though it 15 would serve the greatest good for the greatest number? 16 MR. WEINBERG: Well, I object to the way 17 that was -- if he -- if he wants to ask, "Is there 18 anything that you didn't do," fine. But didn't do 19 because of the greatest good for the greatest number, 20 I object to that. 21 BY MR. DANDAR: 22 Q Is there any point in your career, your 20-year 23 membership, where you decided not to protect the Church? 24 A I would say it was a gradual thing, but, yes, 25 where I became more and more -- I tried to reconcile. This KANABAY COURT REPORTERS Volume 1, Page 63 1 goes back to when I did all my work for OSA and I was 2 exposed to both sides and felt both sides were rabid, is a 3 word I've used before -- I have -- black-and-white 4 thinking, both sides are black-and-white thinking. You go 5 to the critics, and Scientology is all bad. You go to 6 Scientology, and the critics are all bad. It's just very 7 volatile. 8 And I couldn't reconcile this with a definition 9 of greatest good for greatest number versus do unto others 10 as you want done to you. Basically you get what you sow, 11 you -- that basic rule, right? I couldn't resolve that 12 with the greatest good for greatest number, because if I 13 tracked greatest good for greatest number, it could turn 14 into the ends justify the means and it is okay to violate a 15 court order because it's for Scientology. 16 I mean, it's so easily -- it's that slippery 17 slope that I saw myself doing and I saw my group doing it. 18 And it became a -- 19 THE COURT: Your group was? 20 THE WITNESS: Scientology. This is at the 21 time that I'm still very much a member. 22 THE COURT: Well, your group, you're talking 23 about your Org or your -- 24 THE WITNESS: The whole of Scientology. 25 THE COURT: The whole of Scientology. Okay. KANABAY COURT REPORTERS Volume 1, Page 64 1 BY MR. DANDAR: 2 Q How do you -- how do you view Scientology today? 3 A I view Scientology as something that has a 4 tremendous amount of good and at the same time has some 5 areas that are really, really flawed, basically. 6 Q Are you an anti-Scientologist? 7 A No. 8 Q Have you ever been? 9 A No. I mean, you know, when you say that, I get 10 this picture of these people that I used to hang out with 11 as a spy, and I just -- I cannot go there, could not go 12 there. And I do have people in my life who do feel that 13 strongly. And the difference now from being a 14 Scientologist is that I can have people in my life and be 15 friends with them and very much disagree with how their 16 views are. 17 Q Your husband used to be a Scientologist also? 18 A Yes. 19 Q And you're both out of the Church now? 20 A Now. 21 Q All right. Do you recall a set of 22 circumstances -- and I'm just going to ask you a very vague 23 question -- a set of circumstances where you discovered one 24 of your private e-mails had somehow been intercepted? 25 A Yes. KANABAY COURT REPORTERS Volume 1, Page 65 1 THE COURT: Do you want to date this? 2 THE WITNESS: Nineteen -- when did Lisa die, 3 '95? 4 BY MR. DANDAR: 5 Q December '95. 6 A I keep getting confused. January 1996. 7 Q What happened? 8 A Well, first, I wrote the e-mail in the fall of 9 1995. 10 Q Who did you write it to? 11 A A woman named Kim Baker, who was on the Internet, 12 and she was very much confused. And she struck a chord 13 with me, because she was going back and forth: I'm in 14 Scientology. No, I'm not in Scientology. Scientology is 15 good. No, Scientology is bad. 16 You know, she was just a very confused woman and 17 having a very hard time with it. And I do believe she 18 posted some things that were negative about Scientology. 19 This was all in Africa. And I knew -- 20 THE COURT: Africa? 21 THE WITNESS: Yes, South Africa. 22 THE COURT: Okay. 23 A But it was on Internet communication. I 24 privately sent her an e-mail, just that I understood. And 25 she wrote back, "How could you possibly write to me because KANABAY COURT REPORTERS Volume 1, Page 66 1 I am on the list?" You know, the declared people list. 2 And if you're a Scientologist -- 3 THE COURT: Who was that? You were on the 4 list? 5 THE WITNESS: No. She was on the list. I 6 was not on the list at the time. 7 BY MR. DANDAR: 8 Q You were still in good standing -- 9 A I was still in good standing, absolutely. And 10 she was saying: "How could you write to me? I'm on the 11 list." 12 And I wrote back to her saying that I was not 13 concerned about her, talking with her. I was concerned 14 about the people that OSA would place near her to spy on 15 her. 16 And that was the content of the e-mail. And I 17 wrote that in the fall. And in January 1996, I got a call 18 from the last case officer that I had had at OSA Int -- 19 Who had called periodically throughout the years 20 to ask me to volunteer for different things. I mean, it 21 wasn't like I would move; five years later. I mean, I had 22 had talks with her. 23 -- to come and meet her. And when I did at OSA 24 Int, I was handed this private e-mail that I had sent her. 25 Q And what was your reaction? KANABAY COURT REPORTERS Volume 1, Page 67 1 A How ironic. I mean, obviously, they had somebody 2 close to her or -- I mean, it was -- just the irony was 3 unbelievable to me. And I had signed my real name. I 4 mean, I said, you know, I'm not -- I wasn't trying to even 5 be covert on the Internet, you know. And I told her at 6 that time, because she had been my case officer, that -- 7 Q You're talking about OSA Int now? 8 A OSA Int now. 9 Q Okay. 10 A This is 1996, January of 1996, and I am in the 11 office of OSA Int with the person who had been my case 12 officer throughout these years that I worked for them, 13 towards the end. 14 And she hands me this e-mail. And I'm telling 15 her that it was funny that it came up now because I had 16 recently resolved for myself my moral dilemma. And I said 17 to her that I felt that what OSA Int did to some degree in 18 different things that I was involved in were not morally 19 correct. They might not have been illegal, okay, because 20 we're not talking illegal. And I know most of these things 21 are done by PIs and other -- Scientology is not the only 22 one that does these kind of things, manipulative things. 23 But I said it doesn't change the fact that it's not right. 24 And I mentioned Laurel, that woman. And I 25 said if I ever saw her again, I would apologize, KANABAY COURT REPORTERS Volume 1, Page 68 1 because what was done to her was not right. 2 THE COURT: "To her." Now, who is this 3 "her"? 4 THE WITNESS: Her name is Laurel Sullivan. 5 THE COURT: Oh, this is not Kim Baker you're 6 talking about. 7 THE WITNESS: No. 8 THE COURT: Who is Laurel Sullivan? 9 THE WITNESS: Laurel Sullivan was the person 10 that came to my house. The weekend overnight person? 11 MR. WEINBERG: Back in the '80s. 12 THE WITNESS: Back in the '80s. I'm just 13 saying -- I'm just saying -- I'm telling this person 14 that we had spied on this woman. And now in 1995, I'm 15 saying: You know what? That wasn't right. It wasn't 16 right. 17 THE COURT: And if you saw that woman, you 18 would apologize. 19 THE WITNESS: I would apologize to her. 20 And I went on to say that I had had a 21 tremendous amount of trouble over the past five years. 22 This is -- now we're getting into major trauma, and -- 23 MR. DANDAR: Take some water. Or do you 24 want to take a little break? 25 THE COURT: Do you want to take a little KANABAY COURT REPORTERS Volume 1, Page 69 1 break? 2 THE WITNESS: No. 3 THE COURT: All right. 4 THE WITNESS: Not yet. But then I might. 5 And then I had worked at trying to get this 6 resolved for myself. And I just wanted to go back to 7 feeling like I used to feel before I was a spy for 8 Scientology in OSA and was exposed to all these 9 different things that kind of jumbled my mind, you 10 know, in terms of right, wrong. You know what I mean? 11 And she offered help there -- 12 BY MR. DANDAR: 13 Q Who offered help? 14 A Two women at OSA Int. One's name is Donna, and 15 the other one is Kirsten. And they didn't know this other 16 stuff about me. They only knew the e-mail. 17 THE COURT: What is the "other stuff"? What 18 do you mean? 19 THE WITNESS: Well, that I had been in touch 20 with Arnie Lerma. That name might kind of ring a bell 21 for them because they were in the middle of litigation 22 with him and other people. I mean, they didn't know 23 that I was sitting there with this moral dilemma. 24 They only knew that e-mail. 25 THE COURT: You had been in touch with some KANABAY COURT REPORTERS Volume 1, Page 70 1 folks that might be considered critics? 2 THE WITNESS: Exactly. 3 THE COURT: And they knew you had been in 4 touch with them. 5 THE WITNESS: Exactly. 6 THE COURT: Here was OSA Int offering you 7 help. And you had this dilemma that they didn't 8 know -- 9 THE WITNESS: No, no. I told them. 10 THE COURT: Oh, you did tell them. 11 THE WITNESS: Oh, yes. I did not -- 12 THE COURT: All right. 13 THE WITNESS: I was very upfront about it. 14 THE COURT: Okay. 15 THE WITNESS: And they offered me help, and 16 I was very happy to take that help. 17 BY MR. DANDAR: 18 Q And what help did they offer you? 19 A They offered me some counseling -- 20 Q Okay. 21 A -- to help me sort out, you know, right or wrong 22 or, you know, the feelings of doubt. 23 Q And what happened next? 24 A I went in for counseling. And you also need to 25 understand I had had 20 years of counseling that was good, KANABAY COURT REPORTERS Volume 1, Page 71 1 very good. I had no reason to doubt that this wouldn't be 2 of help. 3 Q Okay. 4 A When you're in this kind of counseling, you are 5 trained -- this is not like a bad thing. 6 (Mr. Dandar handed the witness Kleenexes.) 7 A The auditor, the counselor, sits by the door so 8 you don't leave until the auditor -- the auditor is in 9 control. In other words, you're allowing this person to be 10 in control to help you dig through personal issues. Right? 11 THE COURT: So when you talked about you 12 were counseling in the Church of Scientology, that's 13 auditing? 14 THE WITNESS: Yes. 15 THE COURT: Okay. 16 THE WITNESS: Yes, auditing. 17 THE COURT: So when you go into an auditing 18 session, it's the auditor that controls the session -- 19 THE WITNESS: Absolutely. 20 THE COURT: -- not the -- 21 THE WITNESS: Not the Pre-Clear. 22 THE COURT: -- Pre-Clear. 23 THE WITNESS: And the auditor sits by the 24 door. And -- 25 THE COURT: Can I ask you a question? When KANABAY COURT REPORTERS Volume 1, Page 72 1 you left Sea Org and became a public member, did you 2 lose your Clear status? Or are you still a Clear? 3 THE WITNESS: No, you're still a Clear. 4 THE COURT: Okay. 5 THE WITNESS: I'm still a Clear. 6 THE COURT: I guess in my own head I never 7 understood Lisa McPherson was a Clear and then she 8 wasn't a Clear. She was a Pre-Clear. So I -- 9 MR. WEINBERG: No, no. That -- a Pre-Clear 10 is just something that covers people, you know, that 11 are -- it's a sort of -- with regard to folders. But 12 it can include people anywhere on the bridge. 13 MR. DANDAR: So -- 14 MR. WEINBERG: In other words, lower, upper 15 levels. 16 THE COURT: So she was Clear still. 17 MR. WEINBERG: Yes. 18 MR. DANDAR: Yes. 19 THE COURT: Okay. And you were Clear -- 20 THE WITNESS: Right. 21 THE COURT: -- at this time. 22 THE WITNESS: Correct. 23 THE COURT: So the fact that you would go to 24 Sea Org and become a public member does not stop -- 25 THE WITNESS: Exactly. KANABAY COURT REPORTERS Volume 1, Page 73 1 THE COURT: -- your position on the bridge 2 or -- 3 THE WITNESS: Exactly. 4 THE COURT: -- whatever. 5 THE WITNESS: It just costs you more money. 6 You have to pay for it now. 7 MR. DANDAR: And the fact that you were -- 8 THE COURT: And the reason for that is 9 because, as Sea Org members, you're devoting sort of 10 your life -- 11 THE WITNESS: Exactly. That's your 12 exchange. 13 THE COURT: That's your exchange. And 14 you're getting therefore free -- I guess free. 15 THE WITNESS: Exactly. 16 THE COURT: But you devote your life and 17 work very hard as a staff person. If you're a public, 18 you have to pay for that. 19 THE WITNESS: Right. 20 THE COURT: Okay. 21 BY MR. DANDAR: 22 Q So when you quit Scientology, you're still Clear? 23 A Yes. 24 Q Okay. 25 A I have whatever I got. KANABAY COURT REPORTERS Volume 1, Page 74 1 Q Right, right. And the 20 years of auditing, 2 training courses, in your experience, were all good? 3 A Well, I had bumps in the road. I'm not saying 4 there weren't bumps in the road. But I'm saying overall, 5 it was not a harmful experience for me. It was not. 6 Q Okay. So you weren't -- 7 A It was not. And there was a lot that I still use 8 today, a lot. 9 Q So in January '96, the OSA person sent you to get 10 some auditing? 11 A Correct. 12 Q Okay. And what happened then? 13 A It was not like any kind of auditing I had ever 14 had before. It was invasive. It was -- I mean, there were 15 times when the auditor was standing, screaming at me. And 16 it went on for day after day after day, for hours and hours 17 at a time. 18 And emotionally I was just getting worse. And I 19 knew after day one, after day one, I knew that this was not 20 meant to help me and that it wasn't helping me. But 21 because in Scientology, if I didn't go back in, they would 22 have put me back on that list. I would have lost my job, 23 my association with them -- 24 MR. WEINBERG: Objection, your Honor. 25 A -- as a Scientologist. KANABAY COURT REPORTERS Volume 1, Page 75 1 MR. WEINBERG: What is the relevance of 2 this? How -- I mean, we're in a position now -- 3 Mr. Dandar is having her talk about religious 4 counseling. It's not -- it's not supposed to be a 5 trial about -- about the religion of Scientology, 6 whether or not counseling is good or not good. 7 There is no way that I would or could 8 cross-examine her about this experience. I'm 9 certainly not going to bring an auditor in here. This 10 is a priest-penitent session. And so now he is -- 11 THE COURT: If it is, it's hers to waive. 12 MR. WEINBERG: Well, it may be, but it has 13 nothing to do with this hearing or this trial as to 14 whether this affects her job or anything like that. 15 THE COURT: I would agree with you. He 16 tells us he's going to bring out the relevance. 17 MR. WEINBERG: Well, then maybe I would urge 18 him to do that, because it is -- I think it is 19 inappropriate. 20 MR. DANDAR: It would have been done 21 already. 22 MR. WEINBERG: Could I finish, please? 23 MR. DANDAR: I think we need to stop this. 24 THE COURT: Yes, I do too. I think it's 25 relevant, I guess. He says it's relevant. I'm going KANABAY COURT REPORTERS Volume 1, Page 76 1 to let him go. There's been a lot of stuff that we've 2 let in. This is her privilege. If she wants to waive 3 it, she can waive it. It's not yours to claim. 4 MR. WEINBERG: I understand. Just that last 5 remark, and I'll sit down. 6 MR. LIEBERMAN: Your Honor -- 7 MR. DANDAR: Now we have two. 8 MR. LIEBERMAN: -- it is the Church's to 9 claim. 10 THE COURT: No, it is not the Church's to 11 claim. The priest-penitent privilege can be waived by 12 the penitent at any time. It cannot be waived by the 13 priest. I'm quite clear about that. Sit down. We're 14 moving on. 15 MR. WEINBERG: I'm making another point just 16 for the record, just to comment on the last comment 17 that your Honor made. It is true that a lot has been 18 let in -- I just wanted the record to be clear -- that 19 over our objection there have been many of these 20 things that have to do with the religion of 21 Scientology. 22 THE COURT: That's true. And I believe that 23 what I said was that I would make a ruling on that at 24 some time after we had legal argument. 25 MR. WEINBERG: You had said that "we" had KANABAY COURT REPORTERS Volume 1, Page 77 1 let in. I just wanted to make sure that wasn't -- 2 THE COURT: There's a lot of stuff that I 3 let you let in that I'm going to rule probably at the 4 end of this hearing is absolutely irrelevant to these 5 proceedings, from both sides. I have let in a lot of 6 stuff that I am probably going to determine has 7 nothing to do with the decision that I'm going to 8 make. It's been kind of a wide open hearing. I let 9 it go that way. I'm going to sort it all out. 10 But this is her privilege, and Mr. Dandar 11 said it has some relevance. That's the way I've been 12 ruling. Let it end. If it doesn't have any 13 relevance, I'm going to eliminate it. Thus far -- 14 MR. WEINBERG: Fine. Fine, your Honor. 15 THE COURT: Okay. But go ahead. 16 MR. LIEBERMAN: Your Honor, I just want to 17 say that in California, where I think this took place, 18 the law is that the privilege is both of the Church 19 and the minister, as well as the parishioner. So that 20 it is not hers to waive. 21 THE COURT: This is Florida, Counselor. 22 MR. LIEBERMAN: I know, but the auditing 23 took place in California. 24 THE COURT: This is Florida, and this case 25 is taking place in Florida. And in the State of KANABAY COURT REPORTERS Volume 1, Page 78 1 Florida, the priest-penitent privilege can be waived 2 by the penitent. This is a Florida case. I don't 3 care where the auditing took place. What I care about 4 is where this trial is taking place. 5 MR. LIEBERMAN: Well, your Honor, I think 6 the law in California would govern an auditing session 7 that took place -- 8 THE COURT: Well, then suppose you brief 9 that for me at the end of this hearing, just like 10 you're going to brief all the other religious issues, 11 and I'll make a ruling. But for right now I'd like to 12 move on. 13 BY MR. DANDAR: 14 Q So how long did this different type of auditing 15 take place? 16 THE WITNESS: I just want to make sure here, 17 Judge, that if I say like one thing that happened in 18 that session that I'm not now waiving, that they can 19 go take my 20 years worth of private Pre-Clear -- do 20 you understand what I mean? That they can now freely 21 expose whatever I told them in private. 22 THE COURT: I would not assume that a Church 23 would want to do that. If this has some relevance to 24 this hearing, I would assume you can talk about this. 25 THE WITNESS: Okay. KANABAY COURT REPORTERS Volume 1, Page 79 1 THE COURT: They would be able to fully 2 explore this. 3 THE WITNESS: Okay. Good. 4 THE COURT: I would assume they would not 5 violate the rest of it. 6 THE WITNESS: Okay. Okay. 7 THE COURT: I cannot promise you that, 8 however. 9 MR. WEINBERG: Well, I'll promise you that. 10 THE COURT: Okay. 11 MR. WEINBERG: And I'll promise you that was 12 the reason I stood up and objected in the first place, 13 because it puts us in an untenable and impossible 14 position, because we would never -- I would never 15 take the Pre-Clear information from an audit -- 16 from -- 17 THE COURT: See, you confuse me. Why do you 18 call it Pre-Clear? 19 MR. WEINBERG: Because that's what it's 20 called. 21 MR. MOXON: Your Honor, I can explain. 22 MR. WEINBERG: It's called a PC folder -- 23 remember that PC folder? 24 THE COURT: Right. 25 MR. WEINBERG: That's Pre-Clear. And even KANABAY COURT REPORTERS Volume 1, Page 80 1 though she was at the high level, she is still called 2 a Pre-Clear. 3 MR. MOXON: A Pre-Clear is just a 4 generalized name for someone that's receiving 5 auditing. I mean, a person can be a Clear and still 6 be generically called a Pre-Clear or a -- you could 7 say a counselee. A Pre-Clear would be a counselee if 8 you're looking at it in terms of counseling. So a 9 Pre-Clear folder or a PC folder is just a generic name 10 for a folder -- 11 THE COURT: So a Pre-Clear folder proceeds 12 way past the time the person becomes -- 13 MR. MOXON: Yes. 14 THE COURT: -- Clear, through OT and all 15 that. 16 MR. MOXON: Yes. It's still called a 17 Pre-Clear. 18 THE COURT: Okay. 19 MR. DANDAR: And please note there's been no 20 question nor discussion of the contents of these 21 auditing sessions. 22 THE COURT: The fact of the matter is, 23 Counselor, you would not be violating any privilege to 24 get her folder and look at this particular counseling 25 session. KANABAY COURT REPORTERS Volume 1, Page 81 1 MR. WEINBERG: I understand that. 2 THE COURT: You can cross-examine on it. 3 MR. WEINBERG: I understand. But I -- 4 THE COURT: She hasn't said anything yet -- 5 MR. WEINBERG: No, no -- 6 THE COURT: -- that's any big deal. 7 MR. WEINBERG: But I wanted to respond to 8 what she said -- 9 THE COURT: Okay. 10 MR. WEINBERG: -- her concern. And that is 11 the dilemma that having this kind of testimony would 12 put any lawyer -- and I just wanted to -- to, you 13 know, make that point for the record and tell you that 14 that's not what I intend to do. 15 THE WITNESS: Okay. 16 MR. WEINBERG: And I don't intend to do 17 that. 18 THE WITNESS: I appreciate that. 19 THE COURT: I do -- I want you to understand 20 this, however, that that -- I don't want you to, but 21 maybe -- I don't want to put you in a situation where, 22 because I've said this, that that means that 23 somebody -- I have no idea. This is one lawyer in 24 this case, and it has to do with what his 25 cross-examination is going to be. KANABAY COURT REPORTERS Volume 1, Page 82 1 THE WITNESS: Right. 2 THE COURT: At some other time, would 3 somebody say that you have waived your entire 4 privilege? I would seriously doubt it. 5 THE WITNESS: Okay. Thank you. 6 THE COURT: But I can speak for me and my 7 little, limited knowledge that I've got right now. I 8 would say that what you're about to talk about, this 9 session, that once you talk about it, that any 10 privilege that you have is waived. 11 THE WITNESS: Understood. 12 THE COURT: But as far as other sessions, I 13 would doubt that a judge would say that you have 14 waived that. 15 THE WITNESS: Okay. Good. 16 THE COURT: Okay? 17 THE WITNESS: Good. 18 THE COURT: But I -- I'm just one judge in 19 this courtroom. 20 THE WITNESS: Right. 21 THE COURT: Judges make strange calls. 22 Sometimes judges make calls that I don't agree with. 23 THE WITNESS: Okay. 24 THE COURT: That's what I think would 25 happen, but I'm not allowed to give you legal advice. KANABAY COURT REPORTERS Volume 1, Page 83 1 THE WITNESS: I understand. 2 THE COURT: You need to get a lawyer if 3 you're really concerned about it. 4 BY MR. DANDAR: 5 Q Well, just tell us, how long did this unusual 6 session go on? 7 A It went on for very lengthy times, about five or 8 six hours each day, and it went on for, if I remember 9 correctly, about a week and a half, at the end of which I 10 lost my mind. 11 Q How do you know that? 12 A Because -- if you haven't lost it, you really 13 don't know what it's like, to be perfectly honest with you. 14 It's -- but when you do lose it, you will know. You will 15 know you have lost your mind. 16 Q Well, let me ask you -- 17 THE COURT: Let's go ahead and take a break. 18 It's our morning time. It's 10:25, so it's that time. 19 We'll be in recess until about a quarter of 10:00. 20 MR. DANDAR: Okay. 21 THE BAILIFF: All rise, please. 22 MR. DANDAR: Judge, can we give the witness 23 an instruction, please? 24 THE COURT: Oh, yes, ma'am. Since you're 25 testifying, you're not allowed to talk with anybody, KANABAY COURT REPORTERS Volume 1, Page 84 1 even the lawyers, about your testimony. 2 THE WITNESS: Oh, okay. 3 THE COURT: You can talk about anything 4 else, but about your testimony when you're on the 5 stand, you're precluded from talking to anybody, even 6 lawyers, about it. 7 THE WITNESS: Okay. 8 THE COURT: Okay? 9 MR. DANDAR: Thank you. 10 THE COURT: Mostly the lawyer who called 11 you. In other words, if you speak to Mr. Dandar and 12 you say, "Are you going to be asking --" 13 At this point, he's going to be saying, "I 14 really can't discuss that with you --" 15 THE WITNESS: Okay. 16 THE COURT: "-- while you're testifying." 17 THE WITNESS: Okay. 18 (A break was taken at 10:25 a.m.) 19 (Mr. McGowan came in during the break.) 20 (The proceedings resumed at 10:55 a.m.) 21 THE COURT: Okay. Mr. McGowan came. I gave 22 him those folders. I signed off -- 23 Did I sign off on all of those when I gave 24 them to you? 25 MR. McGOWAN: No, your Honor. There's one KANABAY COURT REPORTERS Volume 1, Page 85 1 you didn't. 2 THE COURT: Okay. 3 MR. McGOWAN: Just the one you reviewed on 4 7/8. 5 THE COURT: Okay. Are those your 6 signatures, by the way, on there? 7 MR. McGOWAN: The one on 7/8 is not. That's 8 Mike Keane's signature. Mine is on the one of 7/9. 9 Neither -- neither me nor Mike Keane is on another one 10 dated 7/8, which says, "Dandar and Greenway, 11 privileges asserted by the Estate." 12 THE COURT: That's the one you and I went 13 through and I showed you -- well, that's the one that 14 I turned over. 15 MR. McGOWAN: You turned that over and you 16 signed it. And that's my handwriting -- 17 THE COURT: Okay. 18 MR. McGOWAN: -- on the envelope. And then, 19 again, there's no signature on the April 26th one. 20 Your Honor has signed it. But that's my handwriting, 21 where it says, "LMT, Scientology, attorney-client." 22 THE COURT: And that's the one where I told 23 you they seemed to be letters written to the Trust and 24 from the Trust. And you and I looked at them, and you 25 thought they were perhaps mislabeled in an envelope or KANABAY COURT REPORTERS Volume 1, Page 86 1 something like that? 2 MR. McGOWAN: That's another envelope, I 3 think. This one is -- says "attorney-client bills." 4 THE COURT: Oh, okay. 5 MR. McGOWAN: One document was something 6 that's already been admitted -- a declaration that's 7 already been admitted. But there is another document 8 that you indicated it was not attorney-client 9 privilege -- not relevant. 10 THE COURT: Right. Okay. The -- that's all 11 being returned to Mr. McGowan. I have instructed 12 him -- and I'm now telling you all -- that I'm 13 instructing him to instruct his client that if in fact 14 any of those are released to one side in this case, 15 they should be released to both sides, the reason 16 being that I've reviewed them and I've elected not to 17 turn them over, thinking that some privilege or 18 whatever applies. 19 So I don't want to be in a position later of 20 saying that I somehow provided one side without the 21 other side. 22 I don't -- you know, it's her business what 23 she wants to do with the documents. But for those 24 documents that I reviewed, if she releases them, I've 25 asked her to ask Mr. McGowan to tell her that if she KANABAY COURT REPORTERS Volume 1, Page 87 1 wants to release them, she should tell him, and he 2 should make a copy for both sides. 3 MR. WEINBERG: All right. 4 MR. McGOWAN: And I will so instruct 5 Ms. Brooks. Thank you, your Honor. 6 THE COURT: Now, the other thing is I had a 7 call -- you can go ahead and go. 8 MR. McGOWAN: Thanks, your Honor. 9 THE COURT: Sure. 10 (Mr. McGowan left.) 11 THE COURT: Nancy, who is one of the jury 12 coordinators, called about the trial for August, and I 13 told her that was off. But we got to talking about it 14 a little bit during the break. 15 They both suggest that, rather than do it 16 during a regular trial week, which I thought I was 17 doing them a favor, it would not be a favor, the 18 reason being the parking situation, for one. And, 19 number two, they don't even have a place to put them. 20 MR. WEINBERG: I was going to say, what 21 parking? 22 THE COURT: Yes, "what parking" is right. 23 They don't have a place to put these people. They can 24 only accommodate like 15 in the jury room. And when 25 you have all four judges in a courtroom, there's no KANABAY COURT REPORTERS Volume 1, Page 88 1 courtroom to put them in. So she suggested I do a 2 non-trial week. So that's fine. 3 She reminded me, the second week -- the next 4 week after the week we had -- the regular trial week 5 is the 16th. She reminded me that Monday is Yom 6 Kippur, which is not only a Jewish holiday but also a 7 court holiday. And I would like to -- I don't ever 8 work on those religious days. 9 So we could, however, start on the 17th, 10 which would be a Tuesday, and go Tuesday, Wednesday, 11 Thursday, Friday. Or we could start the 23rd, on a 12 Monday. 13 So whatever date that I set, I'm going to 14 change it either to the following week, beginning on 15 Tuesday, or September 23rd. 16 MR. WEINBERG: Because, you know, we have 17 asked that it be as far removed as possible. And, you 18 know, I still think that it should be removed further 19 because of the length of this proceeding and what's 20 going on. So -- 21 THE COURT: Well, we're going to finish this 22 proceeding it looks like next week, maybe. 23 MR. WEINBERG: That's true. But all of us 24 have a lot to do, because of this record, to somehow 25 try to get our hands around it for purposes of KANABAY COURT REPORTERS Volume 1, Page 89 1 briefing it for you. 2 THE COURT: I understand that. But luckily 3 on your side, probably one of the other lawyers will 4 write most of the -- 5 MR. WEINBERG: Well, I don't know if that -- 6 that's necessarily the case, your Honor. 7 THE COURT: I'll bet it is. 8 MR. WEINBERG: He might write the legal 9 argument, but I don't think he's going to be making a 10 closing argument. But in any event -- you know, as to 11 the factual -- 12 THE COURT: I'll go ahead and set it then 13 for the week of the 23rd. 14 MR. DANDAR: That would be absolutely 15 excellent. Then I don't have to continue my other 16 trial. 17 THE COURT: Okay. She's also tells me -- 18 this is good news too -- that I do not have to -- in 19 other words, that she will not send out the notices 20 until 30 days before. 21 MR. WEINBERG: Okay. 22 THE COURT: So if it's the 23rd, we have up 23 until August the 23rd. Also, once the notices go out, 24 they're easily cancelled. They tell them to call in 25 to a certain number, and as long as we can call them KANABAY COURT REPORTERS Volume 1, Page 90 1 off -- 2 MR. WEINBERG: And I think that we may be, 3 you know, filing a motion with regard to the trial 4 date, which we will -- but first I want to see when 5 this hearing is over. 6 THE COURT: Right. And that's fine, and 7 I'll hear that. Like I told you, I have got to assume 8 for the work that we need to do that this motion will 9 be denied and it will be tried and I've got to set -- 10 you know, as I said, they're calling me, wanting to 11 know what we're doing here. So I can't just wait 12 until a month or two down the road when I might rule. 13 So anyway, she made another suggestion. And 14 put this in the back of your -- of your heads if we 15 end up in a trial posture. She suggested that we 16 could -- she says that she has been given some 17 statistics which turn out to be pretty accurate. And 18 that is if you have a trial that lasts any length of 19 time, right off the bat you're usually down to about 20 18 to 20 percent of those you summonsed. So if you 21 summons 100 -- not summons, but if you get 100 people 22 here, we'll lose 80 of them just for inability to sit 23 that long. 24 MR. WEINBERG: It's easier to get into 25 Harvard. KANABAY COURT REPORTERS Volume 1, Page 91 1 THE COURT: Pardon me? 2 MR. WEINBERG: It's easier to get into 3 Harvard, I think. 4 THE COURT: Right. So she suggested -- one 5 thing that she's always wanted to try that she hasn't 6 done is summons a group for the morning and a group 7 for the afternoon. 8 And I thought that might work because, 9 frankly, I'd like to narrow the jury pool, if we have 10 a trial on either end of this, to those -- you know, 11 get rid of all of those who can't serve because of 12 length of time, get rid of all those for publicity 13 that need to be removed. 14 Then if there's a questionnaire, we'll let 15 them fill out the questionnaire, you know, if there is 16 a questionnaire, then make them available for the pool 17 to be questioned by the lawyers -- and further 18 questioned by me, quite frankly. 19 And so what I normally would do is I get 20 five or six that are eligible. I tell them to go on 21 home, call in, we'll tell them when to come back. 22 Then we get the next group. And then when I get about 23 50, then we can actually go into voir dire. 24 But what you have before you get those 50, 25 they're all eliminated for work problems and all KANABAY COURT REPORTERS Volume 1, Page 92 1 eliminated for publicity problems. So then you're 2 down to your normal -- and that seems to work pretty 3 well. But that's a thought, that she could bring some 4 in in the morning and some in the afternoon. I don't 5 know why I'm telling you. This is my call. I'll make 6 all these decisions. But I'm just rattling by you all 7 some ideas. 8 So for now I'll set this for the 23rd, and 9 I'll call her back that that is the tentative date. 10 If you have a motion to file, why, certainly we'll 11 hear it. 12 MR. WEINBERG: Okay. 13 THE COURT: Oh, that does remind me, before 14 we finish, I had Judge Beach call. He was at the 15 airport getting ready to fly to Reno. He's going to 16 be on vacation, I believe he told me, this week -- 17 this is Friday -- next week. Naturally, he would be 18 very interesting in flying from Reno to California if 19 any of those depositions could possibly be set the 20 following week. 21 So if you could call whoever those witnesses 22 are and see if any of them are available, it would be 23 nice for him. That's a long flight. So -- 24 MR. DANDAR: What week is that? 25 THE COURT: I don't know. Not next week. KANABAY COURT REPORTERS Volume 1, Page 93 1 The following week, I presume. 2 MR. DANDAR: Okay. 3 THE COURT: So if -- if there's anybody 4 that's available out there, he would love it, because 5 he's there and all he has to do is fly from Reno to 6 San Francisco. So check these people out. 7 I just remembered you all mentioning some 8 depositions were going to be taken in California. If 9 he can be accommodated, I'm sure he would appreciate 10 it. I mean, he didn't insist on it. He'll fly out 11 again. But he just wanted you all to know that. 12 Okay? 13 You may continue. 14 MR. LIEBERMAN: Before we continue, your 15 Honor, I would like to address the last part of the 16 testimony, where the witness is now testifying that, 17 based upon her auditing, she suffered not only severe 18 emotional distress, but she lost her mind. 19 We are now in the process of litigating the 20 Scientology religion and auditing and having testimony 21 that is bad and has negative effects. And this is -- 22 this came up -- there are allegations like this in the 23 complaint in the intentional infliction of emotional 24 distress count. We briefed these. We argued them. 25 You indicated you weren't going to hear those. KANABAY COURT REPORTERS Volume 1, Page 94 1 We now have testimony about this. And it's 2 not sufficient to say, "Well, we'll deal with them 3 later," because if there's a possibility that your 4 Honor -- if this isn't being introduced to convince 5 your Honor of something -- it's not just passing 6 comments. 7 If we have -- if this is an issue in this 8 case, then we have a heresy trial, and then we have to 9 put on evidence that people have different experiences 10 in Scientology. And I submit that that is -- if 11 anything is clear under the First Amendment and RFRA, 12 this kind of testimony is not permissible. 13 THE COURT: Overruled for now. 14 Continue. 15 I'm not going to change horses in the middle 16 of the stream from what I've been doing. 17 MR. DANDAR: Now -- 18 THE COURT: I am happy to seal this if you 19 want to seal it. 20 MR. LIEBERMAN: We would like that at the 21 least, your Honor. But in the meantime, the Church is 22 now in a position -- 23 THE COURT: I don't care. 24 MR. LIEBERMAN: -- of how to respond to 25 this. KANABAY COURT REPORTERS Volume 1, Page 95 1 THE COURT: If you want to respond, bring in 2 30 witnesses. I don't care. This is a hearing. It's 3 your hearing. This is my 32nd day. We are going to 4 finish it. If you want to bring in 30 more days of 5 hearing, do it. 6 Continue. 7 BY MR. DANDAR: 8 Q How many days did this different type of 9 counseling go on? 10 A About -- 11 MR. WEINBERG: It was asked and answered, 12 your Honor. Objection. She already said that. 13 MR. DANDAR: I'm trying to get us to where 14 we left off. 15 MR. WEINBERG: Well, it's in the record. 16 THE COURT: True. 17 THE WITNESS: I lost my mind -- that's where 18 we were -- and how did I know I lost my mind. 19 BY MR. DANDAR: 20 Q Right. 21 A And I said if you ever lose your mind, you'll 22 know. 23 Q Okay. 24 A And it is a most horrible thing to no longer be 25 in this place, to no longer understand the difference KANABAY COURT REPORTERS Volume 1, Page 96 1 between imagination and reality, to no longer tell the 2 difference between a dream or the day. It is a most 3 horrible thing. And it happened after that counseling. 4 Q Where were you? 5 A I was at home. At the time it was very late, 6 around 1 a.m. in the morning. And I felt something shift 7 in my head. And I got up and started -- things started 8 coming out of my mouth. 9 Q Did you report this? 10 A Yes. We called OSA Int. My husband called OSA 11 Int. 12 Q Why did you call OSA Int? 13 A Because they were in charge of my handling at the 14 time and they happened to be up working late. 15 Q And what happened? 16 A Basically they sent me to a Scientology doctor. 17 Q A medical doctor? 18 A A medical doctor. 19 Q Do you remember the name? 20 A Megan Shields. 21 Q Megan Shields? 22 THE COURT: I'm sorry? 23 THE WITNESS: Megan Shields. They sent 24 me -- she was a Scientologist. 25 BY MR. DANDAR: KANABAY COURT REPORTERS Volume 1, Page 97 1 Q And a licensed medical doctor? 2 A Yes, as far as I know. She's a general 3 practitioner. 4 Q Make sure we're clear. You explained to the 5 person at OSA Int what was happening to you? 6 A Yes. 7 Q And that person sent you to Megan Shields. Did 8 they make the appointment or did you? 9 A They did. 10 Q And when did you see Dr. Megan Shields? 11 A Probably the next day or later on that next day. 12 Q Now, she -- is she on staff at OSA Int or -- 13 A No, not at all. But she is a doctor who is a 14 Scientologist. So they use her to get reports and feedback 15 back on medical things of -- because they're not medical 16 doctors. So they rely on other outside medical doctors. 17 Q Okay. 18 A And she gave me some prescriptions, and she gave 19 me some different vitamins to take. 20 Q What prescriptions? 21 A Chloral hydrate and some herbs, valerian root and 22 something else. 23 Q And -- 24 A Melatonin. I was taking melatonin. 25 Q What's that for? KANABAY COURT REPORTERS Volume 1, Page 98 1 A Sleep. 2 Q Okay. 3 A Or at that time it was thought to help sleep. 4 THE COURT: That really isn't a 5 prescription. 6 THE WITNESS: No, no. But she told -- 7 that's what she told me. 8 BY MR. DANDAR: 9 Q Did she tell you to take any vitamins? 10 A She checked that I was already taking vitamins, 11 Cal Mag and Vitamin B-1, a lot of. 12 Q Okay. What happened next? 13 A I deteriorated every day. It got worse and 14 worse. And I would call these people at OSA Int and say, 15 "Help me." Basically it was like being on a Ferris wheel. 16 And as I would come up for air and have these moments of 17 clarity or a time period of clarity, I would call and I 18 would say: "Help me. Do something. I'm just getting 19 worse." 20 And I was just repeatedly told: "They're looking 21 into it. Your folders are on line. It's -- something will 22 happen soon. Just hold on." 23 Q What is that -- 24 A But it went -- 25 Q I'm sorry, what does that mean, your folders -- KANABAY COURT REPORTERS Volume 1, Page 99 1 A Your folders are up line? 2 Q Yes. 3 A It means somebody is looking for what help to 4 give you. They don't know what help to give you. 5 Q Let me interrupt. When -- as a Scientologist, if 6 you see someone who is what's known as PTS Type III, what 7 are you supposed to do? 8 A Isolate them. There is a thing -- but I wasn't 9 at that point. I knew that I had had a break. I knew I 10 was seeing things that weren't there. I knew people that 11 weren't there were talking to me. I mean, I knew -- when I 12 was up at the top of the Ferris wheel, I had clarity that 13 this is not the way it's supposed to be. 14 Q But -- 15 A But -- 16 Q -- in your experience in Scientology, were you -- 17 MR. WEINBERG: Your Honor, could she finish 18 her answer? She was trying to explain. 19 THE COURT: Yes. 20 A I was not expecting an introspection rundown in 21 those early days. I figured -- I'd never had this kind of 22 a bump in the road. Remember, sometimes I said in 23 counseling I would have a bump in the road and they always 24 can fix it. Right? 25 But this was a very mountain in the road, but I KANABAY COURT REPORTERS Volume 1, Page 100 1 still had a lot of trust and a lot of faith that this was 2 going to get repaired, that I was not going to be cuckoo, 3 that just something had technically -- whatever, I don't 4 know, had gone wrong and they could fix it. It wasn't 5 until, as it progressed each day getting worse and I 6 deteriorated worse and worse, that I started to think other 7 thoughts. 8 Q Did they give you -- 9 THE COURT: Can I stop you here for just a 10 minute? 11 Did you say your folders -- I guess that's 12 PC folders? 13 THE WITNESS: Correct. 14 THE COURT: Were on line? 15 THE WITNESS: Up line. 16 THE COURT: What does that mean? 17 THE WITNESS: That means they went to a 18 higher organization. Whenever there is something not 19 at the lower organization that kind of, "God, it 20 didn't go well," it would go up lines for review. 21 THE COURT: So your folder had been at OSA 22 Int? 23 THE WITNESS: Correct. 24 THE COURT: And it was up line from OSA Int? 25 Where would that be? KANABAY COURT REPORTERS Volume 1, Page 101 1 THE WITNESS: I thought RTC, the Watchdog 2 Committee. They had technical flood catch units, 3 where they're meant to correct mistakes and to find 4 mistakes. That's what I assumed. 5 THE COURT: Looking to see what had gone 6 wrong -- 7 THE WITNESS: Exactly. 8 THE COURT: -- and they could fix it? 9 THE WITNESS: Exactly. 10 THE COURT: Okay. 11 BY MR. DANDAR: 12 Q Are you aware of any requirements to report 13 people who are PTS -- 14 THE COURT: Oh, let me ask a question here. 15 While you were at home and all of this you 16 were revealing to us, you were not on any type of 17 program? 18 THE WITNESS: Like a baby watch -- 19 THE COURT: Right. 20 THE WITNESS: -- or vitamins? 21 THE COURT: No. I mean, there was no 22 Scientologist auditor there? 23 THE WITNESS: No, no, there wasn't. 24 THE COURT: You were by yourself? 25 THE WITNESS: Basically, yes. KANABAY COURT REPORTERS Volume 1, Page 102 1 THE COURT: All right. 2 BY MR. DANDAR: 3 Q In your 20 years of Scientology, were you aware 4 of any requirement to report people who are PTS Type III? 5 A Well, yes. It's not a good result. And, yes, it 6 is supposed to be reported so it gets fixed. I mean, 7 that's -- it's not that mistakes don't happen. What's 8 important is that they don't get repeated. 9 Q To whom are you -- 10 A That's what's important. 11 Q To whom are you supposed to report PTS Type III? 12 A When I was in, it would have been Int. And then 13 when this happened to me, it would have been the RTC, who 14 at that point was that senior review organization. 15 Q Okay. Now, did you follow Dr. Shields' advice on 16 what to take? 17 A At that time, yes. 18 Q Okay. And you started to get worse? 19 A I continued to get worse. 20 Q Okay. Did you have any physical problems as -- 21 following those orders or suggestions? 22 A I still wasn't sleeping or eating. I wasn't 23 sleeping or eating. 24 Q And when -- you called OSA Int to let them know 25 that? KANABAY COURT REPORTERS Volume 1, Page 103 1 A I would call them -- now, when I know a little 2 bit more, maybe I did call them a lot. I mean, I was 3 pretty out of it. And I know -- I know that I called every 4 day. I know I called every day and probably was quite 5 annoying and called a lot more than that. 6 Q Did they -- 7 A I -- 8 Q Did they send anyone to help you? 9 A One time people came. And I had -- it was like 10 in A Beautiful Mind, where the guy tries to make everything 11 make sense. And I wasn't getting any help. I mean, there 12 weren't -- so I kind of went, "Well, okay, I'll figure it 13 out." 14 And so I started to pull together different 15 things. I had a dream journal and I had another journal 16 and I found -- I mean, stuff that now doesn't make any 17 sense but at the time it made complete sense, that if they 18 just had this information, then they could help me and get 19 my mind back. 20 And I called them to tell them this. And I said, 21 "And by the way, I found some e-mails from Arnie Lerma," 22 who at that time was the big court case. And they were at 23 my house within 15 minutes. And -- to take the stuff and 24 go back, which I was -- 25 THE COURT: What is this "stuff," ma'am? KANABAY COURT REPORTERS Volume 1, Page 104 1 THE WITNESS: That I gave? It was a journal 2 and a book that I had been reading. I mean, it's just 3 bizarre. When you're crazy, odd things make sense to 4 you. 5 THE COURT: Did they take the e-mails too? 6 THE WITNESS: Absolutely. 7 BY MR. DANDAR: 8 Q Did they stay and watch you? 9 A No. They got the e-mails and they left. 10 Q What happened next? 11 A I continued to deteriorate. And then there was a 12 shift at one time in my mind, where they weren't coming, 13 I'm calling, they keep telling me to wait, and I'm getting 14 worse and it's getting worse. 15 And there was a shift in my mind, because when I 16 had done my spying work, especially for the European 17 contingent -- right? -- Captain Bill was a big promoter 18 that the reason -- I can't even say this with a straight 19 face. The reason why there was a schism in the Church was 20 because the alien race, the Marcabians, had come and taken 21 over David Miscavige and the other people at OSA Int and 22 anybody that was left was really being controlled by 23 aliens. And that was their thought. 24 THE COURT: This was the European -- 25 THE WITNESS: The European squirrels. KANABAY COURT REPORTERS Volume 1, Page 105 1 THE COURT: Okay. 2 THE WITNESS: That's what they thought. 3 That made sense to them. 4 A So at that point -- which this had never made 5 sense to me, okay, ever, until I'm crazy. I'm totally 6 nuts, and it's getting worse. And every time I call, to me 7 it was cold and inhuman. And I went: "Captain Bill was 8 right. They have been taken over by aliens." 9 BY MR. DANDAR: 10 Q Why was it cold and inhuman? 11 A Because there was no -- there was no help. There 12 was no help. 13 Q Did you finally get help? 14 A Yes. 15 Q How? 16 A This day after the aliens -- and then it went 17 into like an "opposite" thing. And it was very 18 complicated, but it all made sense at the time. But I 19 thought that this was the peak or whatever. And I ended up 20 collapsing on the street, totally out of it. 21 Q Where? 22 A In Burbank, not far from my house. 23 Q Okay. 24 A And the ambulance came. And because I wasn't 25 making any sense and I was quite combative because I could KANABAY COURT REPORTERS Volume 1, Page 106 1 see the aliens were taking them and I could see different 2 Sea Org members that were from OSA, they were -- the aliens 3 have really taken over. And they put me in restraints and 4 took me to the hospital. 5 Q Did OSA show up at the hospital? 6 A Yes. 7 Q And what happened? 8 A There's a state law -- I think in California it's 9 called the Baker Act -- and there are certain questions you 10 have to answer. You have to know what day it is, where -- 11 something like that. And I had not -- when my husband 12 showed up at the hospital, I did not recognize him. That's 13 how out of it I was. And I didn't really answer those 14 questions correctly. 15 But my husband said the people from OSA were 16 there so that I didn't get placed in a psychiatric unit. 17 Q Because it was against your religion? 18 A Well, psychiatry was bad. 19 Q Okay. 20 A And during that time, there was a moment -- how 21 OSA found out about it is this prescription drug I had been 22 given. The hospital said, "Are you on --" "Is she on 23 drugs?" to my husband. And he brought the bottle, and they 24 called the doctor. And the doctor called OSA, and then OSA 25 sent a woman straight -- you know, who lived close, and KANABAY COURT REPORTERS Volume 1, Page 107 1 then they got in their car and came. 2 But in my state of mind, when I'm there and I'm 3 in restraints and I'm thinking they're all -- things, there 4 was a nurse in the corner who picked up the little bottle 5 of pills of the chloral hydrate. And I remember she 6 started laughing. 7 MR. WEINBERG: Objection, your Honor. This 8 is hearsay. 9 THE COURT: Sustained. 10 MR. DANDAR: Okay. 11 THE WITNESS: What's the hearsay? 12 MR. DANDAR: You just can't tell us what she 13 said. 14 THE WITNESS: It had a big effect on me. 15 MR. DANDAR: Well, it goes to the state of 16 mind exception then, and I would ask the Court to 17 reconsider. 18 THE COURT: I don't know what she's going to 19 say, but it's certainly a hearsay statement. So I 20 can't -- 21 MR. DANDAR: Okay. 22 THE WITNESS: Okay. 23 BY MR. DANDAR: 24 Q So anyway, as a result of that, did you stay in 25 the hospital or get out? KANABAY COURT REPORTERS Volume 1, Page 108 1 A I got out. 2 Q Okay. And where did you go? 3 A Home. 4 Q All right. Were you ever -- did you ever have an 5 experience of a baby watch? 6 A It was a sort of baby watch. I had people come 7 and stay with me and watch me, but it wasn't one of 8 those -- you know, where they can't talk to you. There was 9 very muzzled talking. 10 Q But they still talked to you? 11 A Yes. 12 Q And these were people who were your friends? 13 A Yes. 14 Q And they were all Scientologists? 15 A Yes, except my husband did get one friend to come 16 stay with me, but I think that was after OSA was involved. 17 Q And were this -- these OSA people, were they -- 18 I'm sorry. 19 A I mean, they weren't OSA; they were 20 Scientologists. 21 Q That's my question. I'm sorry. I'll stop. Were 22 they OSA? 23 A No. 24 Q Okay. But they were Scientologists? 25 A Correct. KANABAY COURT REPORTERS Volume 1, Page 109 1 Q Were they on staff? 2 A No. 3 Q Okay. So they were public like you? 4 A Exactly. 5 Q All right. And how long did that last? 6 A Just a day or two. And then my husband came to 7 me and said -- like really got in there to really 8 communicate to me and said: "We are on our own. There is 9 no help coming. There is no anything, but we will get 10 through this." 11 Q Now -- and I'm asking you questions to try to see 12 if we can go through this right now. 13 A Well, the very next thought that I had, other 14 than the relief of some support, some support -- this was 15 the first feeling of support that had gotten through to me 16 since this all happened. I went: "Oh, my God. I need to 17 do the exact opposite of everything that OSA Int told me to 18 do." 19 And so I stopped the pills. I stopped the 20 vitamins. I stopped, you know, pretty much everything that 21 they said to do. I stopped, because the day that wound me 22 up in the hospital was an "opposite" day. It -- it doesn't 23 make any sense. But at the time when you're crazy, it made 24 total sense, that we would be safe if everything was in 25 opposites. And I went out a window instead of a door, and KANABAY COURT REPORTERS Volume 1, Page 110 1 I, you know, did things as an opposite. 2 So it went into that same theory when he said to 3 me that they are -- there is no help, there is no OSA, 4 there is no Scientology. I went: "Okay. Good. Then he 5 must know they're aliens, and we are going to do the 6 opposite." 7 And I'd like to say that magically I got better, 8 but it wasn't like that. It was horrific. And eventually 9 I got to a point where I would appear normal. I -- I would 10 pretend to be normal. 11 And I used to get up in the morning and read the 12 paper, so I would start to pretend to read the paper. And 13 I would sit there with the paper and figure, okay, this is 14 enough time to turn the page. 15 Q Okay. 16 A And I would do that, figuring that if I just kept 17 creating normalness -- 18 Q How long did it take you to, what you believe, to 19 get over this and get back to being normal? 20 A I will never be normal. You do not ever fully 21 recover from something this traumatic. But it was in June. 22 This happened in January, February. I remember in June -- 23 THE COURT: Of what year, ma'am? 24 THE WITNESS: 1996. 25 MR. DANDAR: '96. KANABAY COURT REPORTERS Volume 1, Page 111 1 A It was in June that I felt -- and I remember the 2 day -- that the walls came back in my mind, meaning like a 3 separation between I would know for sure when I was 4 dreaming and the walls were going to stay there. 5 BY MR. DANDAR: 6 Q When you took the Cal Mag, did it have any effect 7 on you? 8 A None of these vitamins and stuff helped. And it 9 wasn't until later that I felt that they had an impact in 10 my treatment and in my recovery. 11 Q What impact did Cal Mag have? 12 A Well, it is a dehydrating -- I mean, it can 13 dehydrate you, like coffee. It can dehydrate you. 14 Q And what about the Vitamin Bs that you took? 15 A B-1. And I was taking handfuls, because kind of 16 like more is better, right? Actually, it can make it so 17 you don't sleep. I mean, I didn't know this at the time. 18 But it was -- the thing is, back in March, I 19 started to feel a little better. And truthfully, I 20 shouldn't have been driving. But I wasn't letting people 21 know what was going on in my head, so I was driving. 22 And I got a call. And I'm thinking -- and it was 23 from somebody from OSA. 24 Q What month was this? 25 A It would be March. KANABAY COURT REPORTERS Volume 1, Page 112 1 Q Of '96? 2 A '96. 3 Q Now, up until that time, after OSA knew that 4 you're in the hospital, in restraints, and -- 5 A They did send one person to the house after the 6 hospital and restraints. One person came. 7 Q And what did that person do? 8 A Kirsten. 9 Q What did she do? 10 A I mean, I was hallucinating at that time. 11 Q Okay. All right. 12 A I was -- 13 Q Did you ever -- 14 A You interrupted her, Counselor. 15 MR. DANDAR: I'm sorry. 16 THE COURT: You were hallucinating? 17 A I was hallucinating at the time. I mean, she 18 came to just say, you know, that maybe, you know, that -- 19 my husband said I should leave town or go away, and maybe 20 that was a good idea. Maybe that was what I should do. 21 THE COURT: She was there to try to help you 22 or to talk to you? 23 THE WITNESS: Basically, yes -- basically 24 she was there to give me a message. And the message 25 was, "Maybe you should go away." KANABAY COURT REPORTERS Volume 1, Page 113 1 It wasn't like: "We'll help you. We'll 2 send somebody with you." 3 It was like, "Maybe some time at a mountain 4 retreat might be nice." And that was the message. 5 And my husband went, "We're not getting any 6 help from these people, so we're just not going to --" 7 And it went into my -- you know, they're 8 Marcabians anyway, so let's just do the opposite. 9 Around March, I got a phone call from some 10 friends, and they said somebody wanted to interview me 11 and find out what had gone wrong, why there was such a 12 bump in the road and that maybe it might help other 13 people. 14 And I thought: "Of course. They care. 15 They care what happened and why." 16 But I later found out, when I got a call the 17 next day from OSA legal, that what they wanted me to 18 do was sign papers that what happened to me was not 19 their fault. 20 And in one of the papers, they called what 21 happened to me "a stressful incident," in quotation 22 marks. 23 And I said, "What's a stressful incident?" 24 And they said, "Well, that's what we call 25 what happened to you." KANABAY COURT REPORTERS Volume 1, Page 114 1 And I still thought that they had the 2 Marcabian thought police things, machines on top of 3 the building. They're called tepaphones. And I 4 thought that if I signed these papers that they would 5 shut those machines off and stop bothering me. 6 So I signed them. And they somewhat left me 7 alone. I don't remember right offhand exactly how 8 long, but it was months later I got a call out of the 9 blue from some guy at OSA Int saying: "Oh, this is 10 Joe Blow. You didn't get very far in your SEP check. 11 You need to come back in." 12 And I was like, "Do you know what happened 13 to me?" 14 And he said Scientology doesn't give any bad 15 results and that there must be something wrong with 16 me. And at that point, my husband took the phone. 17 For that first year, which is 1990 -- 18 BY MR. DANDAR: 19 Q Six? 20 A I didn't talk about it. I tried not to even 21 think about it, because if I think about it, I could go 22 psycho again. I mean, it was like really hold it together. 23 And after maybe eight months, maybe ten months or 24 whatever, I called Donna at OSA Int, who was the person 25 with the e-mail who brought me in. And I'm thinking -- KANABAY COURT REPORTERS Volume 1, Page 115 1 because when I ended up in the hospital, I got flowers from 2 my non-Scientology friends, and from my -- what was my 3 family at that time, I got legal papers for me to sign. 4 And that really bothered me. 5 And I said to Donna -- I said, well, maybe she 6 just didn't know -- you know, maybe she just didn't know 7 what happened to me. And then I had her on the phone. And 8 I said, "You know, Donna, maybe you just didn't know." 9 She said, "Oh, no, I knew exactly what happened 10 to you, and my advice to you is you should just get over 11 it" and kind of like "just suck it up." 12 And that was a big moment for me with my group, 13 because, you know, I was never a person that needed a lot 14 of help, you know? I was fairly -- what they call a 15 Cadillac PC, you know? It was like I was just, you know, 16 don't do much and I get better, you know? And this was a 17 time I really, really, really needed help, and I did not 18 get it. 19 And during this year when I was pretending -- 20 there's somebody called an FSM, which is your bridge 21 between you and Services Int Organization, and mine's name 22 was Barry. And even during this year he would call me 23 every couple weeks and say, "Hey, Nance, how are you 24 doing?" 25 And I would say, "Okay," because I was in my "be KANABAY COURT REPORTERS Volume 1, Page 116 1 normal" time. 2 And he would say, "Well, call me if you need me," 3 click. 4 THE COURT: I'm sorry, this is a real -- 5 this is a real person? 6 THE WITNESS: Real person. 7 THE COURT: And this is a part of the -- 8 THE WITNESS: Of the services. 9 THE COURT: -- services. 10 THE WITNESS: And he would do this. And 11 this was his job, to make sure I got good service. So 12 finally after about a year of this periodic phone 13 calls and me pretending "Everything is fine, bye," and 14 he says, "Call me if you need me," finally after about 15 a year and a half or a year -- I don't know exactly -- 16 I said, "Barry, when this happened to me" -- because 17 he was one of the people that I called when I was 18 crazy. 19 I said, "You say in these phone calls, you 20 say, 'Call me if you need me,'" and I said, "there was 21 one time that I really needed you and I called you and 22 you were not there." 23 And he told me that he had tried, and OSA 24 Int told him that they had it under control -- 25 MR. WEINBERG: Objection, hearsay, your KANABAY COURT REPORTERS Volume 1, Page 117 1 Honor. 2 THE WITNESS: -- and for him to stay out of 3 it. 4 THE COURT: That objection is overruled. 5 MR. WEINBERG: Because it's not hearsay? 6 THE COURT: Because I overruled it. 7 MR. WEINBERG: I know, but for the record -- 8 THE COURT: Because I don't have to tell you 9 why. I overruled it, Counselor. 10 A He told me that he was told to stay out of it, 11 but then he never called me again after that conversation. 12 BY MR. DANDAR: 13 Q Did anyone ever offer you the introspection 14 rundown? 15 A At one point, I actually packed my bags because I 16 thought I was going to go, you know, to have a formal baby 17 watch. 18 Q Is that what they call an introspection rundown, 19 a baby watch? 20 A Well, a baby watch would be kind of part of it. 21 Q Okay. 22 A Yes, that would be the step for somebody who is 23 hallucinating. You know, you don't do the other steps. 24 Q What's involved in the baby watch? 25 MR. WEINBERG: Personal knowledge, your KANABAY COURT REPORTERS Volume 1, Page 118 1 Honor? Is she -- 2 THE COURT: It's about as personal as it 3 gets, I assume. She was there. 4 MR. WEINBERG: No. She said she wasn't on 5 one. 6 THE WITNESS: Only on a light one, a muzzled 7 one. It wasn't a formal baby watch, no. 8 BY MR. DANDAR: 9 Q Within your 20 years and the highest on the 10 bridge that you can go, do you know what a baby watch is? 11 A Yes. 12 Q And could you tell us what your understanding is. 13 A A baby watch is when -- 14 THE COURT: Who threw that? 15 MR. WEINBERG: I just put it on the desk. 16 THE COURT: Well, I hope it wasn't thrown. 17 MR. WEINBERG: It wasn't thrown. 18 THE COURT: It better not have been. 19 MR. WEINBERG: It was not. 20 THE COURT: All right. 21 A A baby watch is when people are troubled, 22 stressful incidents, and they -- 23 THE COURT: Let me see if I can narrow this 24 into what I might need to know. In the introspection 25 rundown, there are some preliminary steps, part of the KANABAY COURT REPORTERS Volume 1, Page 119 1 rundown perhaps, perhaps not. I perceived it as part 2 of the rundown, okay? That's Step 000, which is 3 rest -- 4 THE WITNESS: Right. 5 THE COURT: -- vitamins -- 6 THE WITNESS: Quiet. 7 THE COURT: -- quiet, preparing one for 8 auditing -- 9 THE WITNESS: Correct. 10 THE COURT: -- which is where the real 11 rundown, I take it, starts. 12 THE WITNESS: Exactly. 13 THE COURT: When you talk in terms of baby 14 watch, are you talking -- 15 THE WITNESS: Those -- 16 THE COURT: -- before 0 -- 17 THE WITNESS: -- steps. 18 THE COURT: You're talking 0 -- 19 THE WITNESS: Right. 20 THE COURT: -- 00. 21 THE WITNESS: Right. 22 THE COURT: So in your mind, you were -- 23 what was going on at your house was not really 000? 24 Or it was? 25 THE WITNESS: No, it wasn't -- KANABAY COURT REPORTERS Volume 1, Page 120 1 THE COURT: Okay. 2 THE WITNESS: -- because -- 3 THE COURT: Because it was not muzzled. 4 THE WITNESS: Well, there was some talking. 5 THE COURT: Right. And in 000, there's no 6 talking. 7 THE WITNESS: Right. 8 THE COURT: So you perceived you were -- it 9 was some -- something not part of the introspection 10 rundown. 11 THE WITNESS: Right. But it's still called 12 baby watch. 13 THE COURT: Okay. 14 THE WITNESS: There's other kinds of baby 15 watches. There's other reasons people would be on 16 baby watch. 17 THE COURT: If you had packed your bags and 18 if they -- it had been determined that you needed the 19 introspection rundown, you would have started with the 20 Step 000. 21 THE WITNESS: Exactly, which was to be 22 isolated. 23 THE COURT: Which was to be isolated, 24 muzzled, rest -- 25 THE WITNESS: Exactly. KANABAY COURT REPORTERS Volume 1, Page 121 1 THE COURT: -- prepared for auditing. 2 THE WITNESS: Exactly. 3 THE COURT: So that's not a baby watch. You 4 would call that part of the introspection rundown 5 or -- 6 THE WITNESS: But when you're watched, it's 7 also called baby watch. 8 THE COURT: Is that a terminology -- 9 THE WITNESS: That's a slang term. 10 THE COURT: Slang term. 11 THE WITNESS: I don't think that "baby 12 watch" is in any of the dictionaries. 13 THE COURT: So 000 is what slangly you call 14 baby watch. 15 THE WITNESS: Correct. 16 THE COURT: When it gets into formal 17 auditing, that's no longer baby watch? 18 THE WITNESS: Right. 19 THE COURT: Okay. 20 BY MR. DANDAR: 21 Q Did -- when you were taking chloral hydrate, did 22 it have any effect on you besides making you go to sleep? 23 A It really didn't totally make me go to sleep, but 24 I learned later that it's a hypnotic drug. The 25 manifestations that I found during it was that there were KANABAY COURT REPORTERS Volume 1, Page 122 1 some sequence of dog barking and then an ambulance siren -- 2 I mean, it just became -- and that would trigger me off 3 into another thing. There were things that -- patterns. I 4 guess sort of like A Beautiful Mind. When you're 5 psychotic, you try and make things into patterns. You try 6 and make things make sense. 7 Q And when you say A Beautiful Mind, you're 8 referring to the movie? 9 A The movie, I'm sorry, yes. 10 Q Okay. And did the chloral hydrate have any 11 effect on your psychosis? 12 A No. I just know when I was taking that stuff I 13 was getting worse every single day, and when I stopped 14 taking it, I started to get better. 15 Q All right. Now -- 16 THE COURT: Did you ever go for any type 17 of -- you were still in the Church at the time this -- 18 THE WITNESS: Absolutely. 19 THE COURT: And at the time of your 20 recovery. 21 THE WITNESS: The initial recovery -- 22 THE COURT: Whatever. 23 THE WITNESS: -- because I was -- right. 24 THE COURT: The March, June -- 25 THE WITNESS: Exactly. KANABAY COURT REPORTERS Volume 1, Page 123 1 THE COURT: -- time frame. All right. So 2 therefore, you never sought any type of psychiatric 3 help -- 4 THE WITNESS: No. 5 THE COURT: -- because that was not -- 6 THE WITNESS: Exactly. 7 THE COURT: -- permitted -- 8 THE WITNESS: Exactly. 9 THE COURT: -- or not believed in. 10 THE WITNESS: Right. 11 THE COURT: So when you say -- 12 THE WITNESS: No, not because it was not 13 believed -- it was feared. But I will tell you in 14 that state of mind if somebody had said, "Here is a 15 pill, and it will make these hallucinations go away," 16 I would have taken it, even though I was not a 17 supporter of psychiatry. 18 THE COURT: You mean like a psychotropic 19 drug -- 20 THE WITNESS: Exactly. 21 THE COURT: -- what a psychiatrist -- 22 THE WITNESS: Exactly. 23 THE COURT: -- might have prescribed. The 24 drugs that -- as I understand them -- that you were 25 given by the doctors were not what I would perceive to KANABAY COURT REPORTERS Volume 1, Page 124 1 be prescription drugs. They were -- 2 THE WITNESS: Chloral hydrate is a 3 prescription drug. 4 THE COURT: Is that a prescription drug? 5 THE WITNESS: Yes. 6 THE COURT: Okay. But the others, like the 7 melatonin is -- 8 THE WITNESS: Vitamin store. 9 THE COURT: Right. I guess I should finish 10 my thought. That's something I could go out to a 11 health store and buy -- 12 THE WITNESS: Exactly. 13 THE COURT: -- supposedly has some sleep 14 help to it. 15 THE WITNESS: Right. 16 THE COURT: I think they also take it for -- 17 I took it one time for a time zone change. 18 THE WITNESS: Right, time drop. 19 THE COURT: Yes. 20 MR. DANDAR: I didn't know that. 21 THE COURT: It does help you sleep too. 22 MR. WEINBERG: Which one was that? 23 THE COURT: Melatonin. 24 THE WITNESS: Melatonin. 25 THE COURT: It's really something a lot of KANABAY COURT REPORTERS Volume 1, Page 125 1 people take every day. I talked to my court 2 administrator about it back when I was chief judge 3 because I found it to have a very good sleep effect. 4 I didn't need that, but it did. I mean, I would take 5 it and I was sleepy. So I told him. He started 6 taking it daily, and he uses it to this very day. A 7 lot of people do. It promotes a sleep habit. 8 Naturally. It's not a drug. It's a natural 9 put-you-to-sleep aid. 10 BY MR. DANDAR: 11 Q Did you -- 12 MR. WEINBERG: I have to try that. 13 THE COURT: Try it. Let me tell you, it 14 takes about a week for it to work, but a lot of people 15 swear by it. If I needed a sleep aid, I'd try it 16 again. 17 MR. WEINBERG: You get it at a vitamin 18 store? 19 THE COURT: Yes. Or I think now you can get 20 it at an Eckerd's. It's become very popular. 21 THE WITNESS: It's very common now. 22 THE COURT: Back when she was talking about 23 it, it was not. 24 THE WITNESS: It was the latest fad. 25 THE COURT: Right, it was the latest fad. KANABAY COURT REPORTERS Volume 1, Page 126 1 Then it became a very popular thing. A lot of people 2 take melatonin. 3 BY MR. DANDAR: 4 Q Before this experience that you just told us 5 about in 1996, had you ever -- were you ever asked to 6 participate in a baby watch? 7 THE COURT: Can we call this an 8 "introspection rundown" in this court, rather than a 9 slang term? 10 THE WITNESS: No, because it was 11 communicated to me as a baby watch, and I don't know 12 if it was an official -- 13 THE COURT: Okay. 14 THE WITNESS: -- introspection rundown. 15 A Yes, I was. It was the last request I had from 16 OSA Int. 17 BY MR. DANDAR: 18 Q When was that? 19 A So that would have been in early 1995. 20 Q Did you participate in one? 21 A No. I was asked to take someone into my home who 22 had been a spy for OSA and had gotten himself kind of 23 tangled up in terms of, you know, his head and that they 24 just wanted him watched, but that they had a -- you know, 25 they would pull him out of it. KANABAY COURT REPORTERS Volume 1, Page 127 1 Q When -- when you were visiting the Fort Harrison 2 Hotel on those three occasions you talked about, did you 3 ever go to the basement? 4 MR. WEINBERG: Excuse me? Which hotel are 5 we talking about? 6 THE COURT: Fort Harrison. 7 MR. WEINBERG: Fort Harrison? 8 A I have been to the basement, yes. 9 BY MR. DANDAR: 10 Q Did you ever see people kept in the basement? 11 A Years ago, yes. 12 Q In the basement of the Fort Harrison? 13 A Yes. I actually was supposed to be sent there 14 once. 15 Q For what reason? 16 A RPFs, RPF. 17 MR. WEINBERG: Your Honor, the relevance of 18 this is what? Because that's not the evidence in this 19 case. 20 THE COURT: I have no idea. I would assume 21 it's not relevant. 22 MR. WEINBERG: Thank you. 23 BY MR. DANDAR: 24 Q Now, did you ever get any type of counseling -- 25 THE COURT: "Counseling" being auditing? KANABAY COURT REPORTERS Volume 1, Page 128 1 BY MR. DANDAR: 2 Q Auditing, any type of program from the Church of 3 Scientology in 1996, '97, '98 -- 4 A After that point? No. 5 Q Did you ever go back as a member of the Church of 6 Scientology? 7 A I didn't -- I didn't leave right away. Like I 8 said, that first year I was just trying to pretend to be 9 normal. I mean, who cared about Scientology and the 10 critics and who was right and who was wrong? I wanted to 11 live. 12 Donna's phone call when she told me to just -- 13 she knew what happened but just get over it. And then I 14 heard about Lisa McPherson. It started to hit the press 15 about a year after what had happened to me. 16 And I remember there was one TV show where some 17 expert witness was saying -- 18 MR. WEINBERG: Objection, your Honor. What 19 does this have to do with anything? She watched a TV 20 show in 19 -- 21 THE COURT: I don't know, but I'm going to 22 let her tell it because I have no idea what she is 23 going to say. It was a TV show that caused her to do 24 something. 25 MR. WEINBERG: Just so Mr. Dandar is not KANABAY COURT REPORTERS Volume 1, Page 129 1 going to ask her to speculate as to Lisa McPherson. 2 THE COURT: Right. 3 THE WITNESS: No. 4 A It caused me to write a letter to David 5 Miscavige. Even what had happened to me -- I mean, even 6 now, last year, I wrote a letter to Mike Rinder. This did 7 not make me become an anti-Scientologist or a major critic, 8 although I am extremely critical of how they handle people 9 in this kind of a state of mind, which is why I'm here. 10 But I wrote to David Miscavige, because my 11 handling happened at OSA Int, so who was -- you know what I 12 mean? It was like go higher. And just told him that like: 13 "Hey, you know, this happened to me and when I took all 14 these -- when I stopped taking all these vitamins, I got 15 better. And you need to know that so that this does not 16 happen to someone else. This might be related. Please 17 look into it." 18 BY MR. DANDAR: 19 Q Did you assist anyone else that this happened to? 20 A Yes. 21 Q Who? 22 THE COURT: Did you write a similar letter 23 to Mr. Rinder? 24 THE WITNESS: My letter to Mr. Rinder was 25 actually right before the similar thing. It was last KANABAY COURT REPORTERS Volume 1, Page 130 1 year. I was trying to think. It was five years since 2 this happened to me, and I wanted to move forward. I 3 was doing a lot better. I knew I didn't want to be a 4 Scientologist, but I wanted to let this go. 5 I had thought about contacting Bernie McCabe 6 when he was doing that trial. And then -- 7 THE COURT: You're talking now about the -- 8 THE WITNESS: The civil -- I mean the 9 criminal case. 10 THE COURT: -- the criminal case? 11 THE WITNESS: Right. And I never could go 12 through with it for a variety of different reasons. I 13 had already processed through the thought. It was 14 like was I going to sue them for damages for myself 15 personally. And -- 16 THE COURT: "Them" meaning the Church of 17 Scientology. 18 THE WITNESS: The Church of Scientology, 19 yes, for what happened to me. And what I came to feel 20 was what I wanted was an apology. And if you have to 21 sue and end up in this kind of a courtroom to get an 22 apology, it doesn't really have a lot of meaning. 23 So five years ago, I went: "Okay. I have 24 to let this go." And I went on a retreat with the 25 purpose of what do I need to totally let this go and KANABAY COURT REPORTERS Volume 1, Page 131 1 just move forward with my life. 2 THE COURT: A retreat. A Scientology 3 retreat -- 4 THE WITNESS: No. 5 THE COURT: -- or your own retreat? 6 THE WITNESS: No. It was a Catholic Church 7 retreat. 8 THE COURT: Okay. 9 THE WITNESS: It was a spiritual retreat. 10 THE COURT: Okay. 11 THE WITNESS: And I did end up at the end 12 with clarity. I'm like, "I just want to talk to 13 somebody." I don't think you intentionally at OSA Int 14 got up in the morning and said, "Today we're going to 15 drive Nancy crazy." I really don't think these people 16 intended that result, although there are some people 17 in my life that differ from me in that regard. But I 18 don't hold that. 19 And I just would like to know what was 20 happening on the other end. I was crazy. What did 21 these people that got these phone calls from me, what 22 were they thinking? Why didn't they come or give 23 help -- I just wanted to know that. And -- 24 THE COURT: This was the purpose of your 25 letters was, number one, to tell them -- KANABAY COURT REPORTERS Volume 1, Page 132 1 THE WITNESS: Exactly. 2 THE COURT: -- what you thought helped you, 3 that maybe they would want to know; and, number two -- 4 THE WITNESS: For me -- 5 THE COURT: -- to say what was going on. 6 THE WITNESS: Exactly. 7 What occurred after that retreat was I had 8 two people come into my life. The other thing was at 9 that time at that retreat all I knew about was Lisa 10 and myself that this had happened to. After that 11 retreat, I contacted -- two people contacted me. 12 One's name is Greg Bashaw, and the other one 13 is a woman in L.A. And I talked with both of them. I 14 had at some point during these earlier years posted on 15 the Internet my story under an assumed name. And 16 these people -- their families read it and got in 17 touch through the anonymous people, because I was 18 really trying to keep myself anonymous, such as like, 19 "Hey, this is what's going on." 20 And so here's two people that I got in touch 21 with that were quite in the same place as me, and Greg 22 was the first one that I talked to. And Greg was very 23 similar to me. 24 MR. WEINBERG: Objection as to hearsay, your 25 Honor. I don't know if she's going to go into the KANABAY COURT REPORTERS Volume 1, Page 133 1 details of some conversation. 2 THE COURT: True. I don't think we need to 3 get into the conversations with other people. 4 BY MR. DANDAR: 5 Q What happened to Greg? 6 A He's dead. 7 Q How? 8 MR. WEINBERG: Judge, I object. I mean, if 9 whatever she's about to say is based on something that 10 she learned from someone else or read, it's hearsay. 11 And beyond that, it's not relevant to this proceeding. 12 THE COURT: It may not be and it probably 13 isn't. However, I certainly don't think that it's 14 hearsay. 15 MR. WEINBERG: It -- 16 MR. DANDAR: Okay. 17 MR. WEINBERG: It's based -- I mean, if 18 she's about to -- 19 THE COURT: If this man was a member of a 20 corporate defendant, there is such a thing called a 21 corporate exception. 22 MR. WEINBERG: He's not, your Honor. He's 23 not a member of any -- 24 THE COURT: Apparently he was. 25 MR. WEINBERG: Greg Bashaw? KANABAY COURT REPORTERS Volume 1, Page 134 1 THE COURT: I guess. 2 MR. WEINBERG: No. 3 THE WITNESS: No. 4 MR. WEINBERG: No. 5 THE WITNESS: He was public. 6 THE COURT: Well, public -- 7 MR. WEINBERG: It's like saying -- I mean, 8 it's like saying there's some Catholic in New York 9 that goes to the Catholic Church and then we're going 10 to let hearsay -- 11 THE COURT: The fact that he's dead can't 12 come into a court of law? 13 MR. WEINBERG: No. He asked -- he asked, 14 How did he die? And I objected. How could she say 15 that? She doesn't have personal knowledge of that, 16 unless she was with him when he died. 17 THE COURT: That seems like a really silly 18 objection. It's overruled. I mean, there's only 19 several ways a person can die. They either die from 20 heart attack -- 21 If that's what you're asking. Is that what 22 you're asking? 23 MR. DANDAR: Yes. 24 THE COURT: All right. 25 BY MR. DANDAR: KANABAY COURT REPORTERS Volume 1, Page 135 1 Q How did he die? 2 A Suicide. 3 Q And the other person you helped, is she alive? 4 A Yes. Yes, she is. 5 Q And did you help her? 6 A Yes, I did. 7 Q Okay. Now, before you had these -- this 8 experience of being -- did you use the word "psychotic"? I 9 don't want to -- 10 A Yes. 11 Q Okay. And you had that experience with this 12 special type of auditing that took -- how many days? 13 THE COURT: I really want -- I really want 14 to ask you if that's true, that you would want -- 15 before somebody in this courtroom could say that 16 somebody died of a suicide, you would want, before it 17 wasn't hearsay, for them to have been present -- 18 MR. WEINBERG: No. 19 THE COURT: -- when they killed themselves. 20 MR. WEINBERG: The testimony has nothing to 21 do with this proceeding. And I don't think -- 22 THE COURT: And I am asking you, Counselor, 23 whether or not you were serious about not allowing 24 somebody to say how somebody died unless they were 25 present. KANABAY COURT REPORTERS Volume 1, Page 136 1 MR. WEINBERG: No. My objection was it 2 would be based on hearsay. 3 THE COURT: Well, it would be. But you know 4 what? I suppose that's true about a lot of causes of 5 death, and normally people are allowed to say -- 6 MR. WEINBERG: I just don't see the 7 relevance. 8 THE COURT: It may not be relevant. I'm not 9 suggesting anything she has said is relevant to this 10 proceeding. But we are going to get through this. 11 MR. WEINBERG: I understand that. I 12 wouldn't think that this man's family would be all 13 that enthusiastic about this testimony. And it 14 doesn't have anything to do with this proceeding. 15 THE COURT: Well -- 16 MR. WEINBERG: And Mr. Dandar knows that. 17 And what he's trying to do is somehow tarnish and put 18 this Church on trial. 19 THE COURT: You know, I think this witness 20 has been one of the more favorable witnesses that 21 Mr. Dandar has put on to the Church. I have heard her 22 say very little -- number one, she said very little 23 about an auditing session -- 24 MR. WEINBERG: I'm not disagreeing with 25 that. But I know -- I don't believe that Mr. Dandar KANABAY COURT REPORTERS Volume 1, Page 137 1 put her on to be favorable to the Church. 2 THE COURT: Maybe he put her on to be a 3 truthful witness, which is what apparently she's been 4 thus far. I'd like to get through this -- I'd like to 5 get through this about as quickly as we can -- 6 MR. DANDAR: I'm almost -- 7 THE COURT: -- because it does have very 8 little to do with this case. However, this lady has 9 come at great expense to this courtroom, and I'm going 10 to let her finish. 11 BY MR. DANDAR: 12 Q I just want to jump back. When you became an 13 officer at -- when you were on the Sea Org and you became 14 that commodore staff aide, Division 6, did you have to sign 15 a resignation letter? 16 A What happened is with certain positions you 17 became automatically on the board of directors of different 18 corporations of the Church of Scientology. 19 Q All right. 20 A And this was the corporate sortout, so this would 21 have been in 1978. So they've changed certain things, but 22 I don't think that this has changed. But it was just 23 common practice when you signed onto the board, you signed 24 an undated resignation letter at the same time so that 25 when -- KANABAY COURT REPORTERS Volume 1, Page 138 1 THE COURT: Any board. This is -- you went 2 on -- 3 THE WITNESS: Corporate boards. 4 THE COURT: -- corporate boards -- 5 THE WITNESS: These are corporate minutes, 6 and you signed your undated resignation at the same 7 time you signed on. 8 THE COURT: Okay. 9 BY MR. DANDAR: 10 Q And what about when you went to RTC? Did you 11 have to do the same thing there? 12 A No. 13 Q You were now a public member, so . . . 14 A No. 15 Q Okay. All right. Now, this -- 16 THE COURT: You were not on the board, I 17 take it. 18 THE WITNESS: No, I wasn't. 19 BY MR. DANDAR: 20 Q Or OSA? 21 A No. 22 Q Because you were public? 23 A Correct. 24 Q Now, this episode that you talked about that 25 happened in January of '96 -- KANABAY COURT REPORTERS Volume 1, Page 139 1 A Yes. 2 Q All right. Did you have an episode of being 3 psychotic or not with it prior to you going to see the OSA 4 Int where they talked about your e-mail to Kim Baker? 5 A No, not at all. 6 Q You only became that way after this special type 7 of handling -- 8 A Exactly. 9 Q -- auditing? 10 A Exactly. 11 Q Now, let me -- 12 A And I also just -- I would like to clarify -- can 13 I clarify something? 14 THE COURT: Sure. 15 A I just want to clarify that my problem is not 16 with the fact that that result happened. It is with the 17 way that I was treated after it happened. 18 BY MR. DANDAR: 19 Q Were you treated? 20 THE COURT: The way that you felt, ma'am, 21 that you should have gotten help and that nobody was 22 helping you. 23 THE WITNESS: Exactly. 24 MR. DANDAR: I wanted to ask that, but that 25 was a leading question. KANABAY COURT REPORTERS Volume 1, Page 140 1 BY MR. DANDAR: 2 Q All right. Now, have you had any association or 3 contact at all with Bob Minton or Stacy Brooks? 4 A Yes. 5 Q And what is that? 6 A With regards to the woman in L.A., I -- 7 THE COURT: If we're getting ready to go 8 into a totally different area here, it seems like it 9 would be a good time to break for lunch. 10 MR. DANDAR: Okay. 11 THE COURT: I've got about -- 12 When is your plane, ma'am? 13 THE WITNESS: Tomorrow morning. 14 THE COURT: Tomorrow morning, okay. 15 Let's go ahead and take our lunch break. 16 We'll be in recess until 1 o'clock. 17 (A lunch break was taken at 11:55 a.m.) 18 ____________________________________ 19 20 21 22 23 24 25 KANABAY COURT REPORTERS Volume 1, Page 141 1 STATE OF FLORIDA 2 COUNTY OF PINELLAS 3 I, Debra S. (Laughbaum) Turner, Registered Diplomate 4 Reporter, certify that I was authorized to and did 5 stenographically report the foregoing proceedings and that 6 the transcript is a true record. 7 WITNESS MY HAND this 12th day of July, 2002, at 8 St. Petersburg, Pinellas County, Florida. 9 10 _________________________________ Debra S. (Laughbaum) Turner, RDR 11 Court Reporter 12 13 14 15 16 17 18 19 20 21 22 23 24 25 KANABAY COURT REPORTERS