||||| Path: uni-berlin.de!fu-berlin.de!newsfeed.stueberl.de!news.glorb.com!news.alt.net!pd7cy2so!pd7cy1no!shaw.ca!pd7tw2no.POSTED!53ab2750!not-for-mail X-Trace-PostClient-IP: 70.70.44.129 From: Gerry Armstrong Newsgroups: alt.religion.scientology,de.soc.weltanschauung.scientology Subject: Reporter's transcript, Vol. 9, 1984-05-10, Scientology v. Armstrong, LASC No. C 420153 Message-ID: X-Newsreader: Forte Agent 1.7/32.534 MIME-Version: 1.0 Content-Type: text/plain; charset=ISO-8859-1 Content-Transfer-Encoding: 8bit Lines: 9262 Date: Thu, 10 Feb 2005 05:10:45 GMT NNTP-Posting-Host: 24.67.253.205 X-Complaints-To: abuse@shaw.ca X-Trace: pd7tw2no 1108012245 24.67.253.205 (Wed, 09 Feb 2005 22:10:45 MST) NNTP-Posting-Date: Wed, 09 Feb 2005 22:10:45 MST Organization: Shaw Residential Internet Xref: uni-berlin.de alt.religion.scientology:1831309 de.soc.weltanschauung.scientology:112465 Webbed at: http://www.gerryarmstrong.org/50grand/legal/a1/rt-1984-05-10.html SUPERIOR COURT OF THE STATE OF CALIFORNIA FOR THE COUNTY OF LOS ANGELES DEPARTMENT NO. 57 HON. PAUL G. BRECKENRIDGE, JR., JUDGE CHURCH OF SCIENTOLOGY OF CALIFORNIA, Plaintiff, vs. GERALD ARMSTRONG, Defendant. _____________________________ MARY SUE HUBBARD, Intervenor. _____________________________ No. C 420153 REPORTERS' TRANSCRIPT OF PROCEEDINGS Thursday, May 10, 1984 APPEARANCES: (See Appearances Page) VOLUME 9 Pages 1389 - 1563 NANCY L. HARRIS, CSR 644 HERBERT CANNON, CSR 1923 Official Reporters [Page Break] APPEARANCES: For the Plaintiff: PETERSON & BRYNAN BY: JOHN G. PETERSON 8530 Wilshire Boulevard Suite 407 Beverly Hills, California 90211 (213) 659-9965 -and- ROBERT N. HARRIS The Oviatt Building 617 South Olive Street Suite 915 Los Angeles, California 90014 (213) 626-3271 For the Intervenor: LITT & STORMER BY: BARRETT S. LITT Paramount Plaza 3550 Wilshire Boulevard Suite 1200 Los Angeles, California 90010 (213) 386-4303 -and- BARRETT S. LITT BY: MICHAEL S. MAGNUSON The Oviatt Building 617 South Olive Street Suite 1000 Los Angeles, California 90014 (213) 623-7511 For the Defendant: CONTOS & BUNCH BY: MICHAEL J. FLYNN -and- JULIA DRAGOJEVIC 5855 Topanga Canyon Boulevard Suite 400 Woodland Hills, California 91367 (213) 716-9400 [Page Break] VOLUME 9 I N D E X Day Date Session Page Thursday May 10, 1984 A.M. 1389 P.M. 1479 ----------------------------------------------------- W I T N E S S E S DEFENDANT'S WITNESSES: DIRECT CROSS REDIRECT RECROSS ARMSTRONG, Gerald 2 [Page Break] E X H I B I T S DEFENDANT'S IDENTIFIED RECEIVED N - Publication PRO News 1393 O - Book, "Dianetics The 1399 Original Thesis P - book "All About Radiation" 1399 Q - Document "My Philosophy" by L. Ron Hubbard 1403 R - Book "Successes of Scientology" 1404 S - Biographical sketch of L. Ron Hubbard 1406 T - "Operation Earth" 1406 T-1 - Page "Advance 7" 1409 U - Bond 1465 V - 1977 W-2 Form 1467 W - Vetting policy write-up 1486 X - (Not described on the record) 1488 Y - Memo from L. Ron Hubbard 1508 Z - L. Ron Hubbard response, 2-8-80 1511 BB - (Not described on the record) 1535 CC - Outline of collection of 1548 documents 1389 LOS ANGELES, CALIFORNIA; THURSDAY, MAY 10, 1984; 9:07 A.M. -o0o- THE COURT: Very well, in the case on trial let the record reflect that counsel and all parties are present. Mr. Flynn, you may proceed. MR. FLYNN: Thank you, Your Honor. Mr. Gerald Armstrong, please. Your Honor, I take it the practice out here is counsel can sit during examination of the witnesses. THE COURT: Yes, you may sit if you desire to. MR. FLYNN: In Massachussetts that would be a real no-no. GERALD ARMSTRONG, the defendant herein, called as a witness in his own behalf, was sworn and testified as follows: THE COURT: Please state your name for the record, sir. THE WITNESS: Gerald Armstrong. 1390 DIRECT EXAMINATION BY MR. FLYNN: Q Where do you live, Mr. Armstrong? A Costa Mesa, California. Q How long have you lived there? A About two years and four months. Q Are you a resident of California? A Yes. Q And are you currently employed? A No. Q What was your last employment? A It was at a law firm. Q What was the name of the firm? A Feldsott, Lee and Van Gemert. Q What was the nature of your duties at that firm? A I was a paralegal for the most part in the accounting department. Q How long did you work for that firm? A For two years. Q And why did you leave? MR. LITT: I object. Is that relevant to this case? THE COURT: It may be. I don't know. Overruled. You may answer. THE WITNESS: I left because this trial was coming up and I had to prepare for the trial and be here during this trial. Q What was the date that you left? 1391 A March 2nd. Q Now, where were you born and brought up, Mr. Armstrong? A In Chilowac, British Columbia, Canada. Q Did you go to high school in British Columbia? A Yes. Q And at the high school did you learn about a franchise of a scientology organization? A Yes. MR. LITT: Objection. Leading. THE COURT: It is a preliminary question. Overruled. Q BY MR. FLYNN: Where was that, Mr. Armstrong? A The franchise was in Vancouver. Q What was it called? A Scientology Little Mountain. Q Was it called a church, or a franchise? A It was a franchise. Q Did you become involved with any activities relating to that franchise of Scientology? A Yea. Q What activities were those? A In the summer of 1969 I attended some lectures. And in September of 1969 I began some courses in Scientology. Q Now, in connection with the commencement of those courses, did you read any materials that were distributed by the Scientology franchise? A During that period or prior to me actually 1392 beginning courses, I read a number of publications, both magazines and books. Q And at some point did you join a group called the Sea Organization? A Yes. Q And when did you join the Sea Organization? A Beginning of 1971. Q And between the time that you became involved in the activities of the franchise and the time you joined the Sea Organization, do you recall any of the publications that you read that were disseminated by Scientology Organizations? A Yes. Q And what do you recall? A Are you referring to the Sea Org ones, or just any? Q Did you read certain publications that induced you to become involved with Scientology organizations? 1393 MR. LITT: Objection. The question is leading. Also, what period of time are we talking about? Are we talking about 1971? Are we talking about 1969? MR. FLYNN: I will withdraw it, Your Honor. THE COURT: All right, you can reframe it. Q BY MR. FLYNN: Between 1969 and the time you joined the Sea Organization did you read various publications disseminated by Scientology organizations that you relied upon in connection with your joining the Sea Organization? A Yes. Q Let see show you this publication. THE COURT: You want to show it to counsel, first? MR. FLYNN: I have a copy for the court. THE COURT: All right. What is your next in order? THE CLERK: N. THE COURT: All right, mark it N for identification. Q BY MR. FLYNN: Do you recognize that document, Mr. Armstrong? A Yes. Q Exhibit N? A Yes. Q And what is it? A It is a publication put out by -- it is called PRO News, and it was a newsletter which was distributed within Scientology during that period. I don't know if it still is. It may be discontinued, but it was in the early days. Q Now, were there any representations in Exhibit N 1394 that you relied upon in connection with your joining the Sea Organization? MR. LITT: Objection, Your Honor. The question as framed is leading. Also, there is no foundation as to even what is being referred to. Let us get where we are in this document. The way of framing these questions, "as relied upon"; one, we contend that this is completely irrelevant. What has that to do with what happened in 1982, what Mr. Armstrong read in 1969? THE COURT: We don't need a speech, Counsel. I know what you are saying. I think the question is very simple. It is probably compound and a little bit leading. Why don't you just ask simple questions, Mr. Flynn, and we will get along with this witness. Counsel is entitled to develop his case as he sees fit and he will be permitted to do so. Let's try to make them simple questions, though. Q BY MR. FLYNN: What representations, if any, did you rely upon that are contained in exhibit N, Mr. Armstrong? A Well, there is a great number of them here. I heard of the Sea Organization within, I don't know, the first short while of becoming involved with Scientology, and I understood from all written and from verbal communications that it was the elite of Scientology. It was the organization which was bringing to the world, and the head of the Sea Organization was L. Ron Hubbard. 1395 MR. HARRIS: May the witness' answer be stricken as non-responsive to the question, Your Honor? THE COURT: I will let it stand. THE WITNESS: And the information in here on L. Ron Hubbard was a great deal of reason which motivated me to become further involved and ultimately to join the Sea Organization, and it was some of the things which were offered here which I felt were attainable or which were promised, and my being more involved offered a greater possibility for me to attain these things, and those things-- some of them are mentioned here, but more particularly, the representations about L. Ron Hubbard, I think, were the most significant factor in my joining the Sea Organization, which was promoted to me as working for him, working with Ron, working for Ron. I saw here that here was a man of remarkable achievements, and I knew that I didn't have particularly remarkable achievements and I felt like I could contribute to what this man was apparently doing and that I could gain those things which mere promised in here. Q BY MR. FLYNN: Now, can you identify specific representations that were made in exhibit N that you relied upon? A Regarding myself and one of the things which was promised was that the intelligence quotient of a person could be raised about one point per hour or processing, a thing which was considered impossible a few years ago and that was something which had a great deal of significance 1396 to me, perhaps because of how I viewed myself at the time. But it was very significant and that was something which I expected throughout the course of my auditing or processing, I guess it is called here, in Scientology. Q With regard to representations about L. Ron Hubbard, can you identify specific representations in exhibit N that you relied upon? MR. LITT: Your Honor, I just want to make clear at this point since we have gotten into it, the questions being asked, in particular Mr. Armstrong's last answer, but this whole line of questioning, we just want to repeat our position on the First Amendment, they are going directly into representations surrounding the joining of a religion and somehow trying to make that a basis of his defense. 1397 We want to make clear that we think this whole thing is barred. I won't stand up each time and say it, but this is the first time it had come up in testimony. So I wanted to make clear our position. This is not permissible under the First Amendment. THE COURT: Very well. Q BY MR. FLYNN: Do you recall the question, Mr. Armstrong. I could -- Do you wish me to read from this, or just to answer from off the top of my head? Q If you could refer to the page and the representation on exhibit N that you relied upon when you joined. A Okay. Here I am reading from the back part of exhibit N. It is called "A brief biography of L. Ron Hubbard." And its pages, I believe, are numbered. I put a great deal of reliance on the representation that L. Ron Hubbard spent several years and traveled around Asia; that he had been in China and India and studied with Llama priests; that is on page 1. That he was a nuclear physicist; although I don't see that in here. It was just that he was a member of the first U.S. course in formal education of what is called today nuclear physics. That he excelled in his subjects. That he headed expeditions to study savage peoples; the fact that he was a member of the Explorers' Club; that he had done considerable movie work. And all of 1398 the war service that this could be sort of capsulized with the fact that he was a hero. I had seen these and other biographical sketches by this time in which he was represented as a commander of a squadron of Corvettes; that he had been wounded in action, blinded. I relied greatly on the claims from that period that Dianetics and Scientology were sciences. And the next section here, 'A science is born" on page 4, there is a statement by L. Ron Hubbard, "It was inevitable that a man who spent his youth in Asia and who studied at the mathematics and physical science of the West would become interested in the mind and any such man combining what he knew would probably have discovered Dianetics and Scientology." Further down, he says, "Scientology is an organized body of scientific research, knowledge concerning life, life sources and the mind and includes practices that improve the intelligence, state and conduct of persons." These were things which I relied upon, the claim that it was a science and was demonstrably true and especially that L. Ron Hubbard had, apparently, spent a great deal of time studying in Asia, studying the wisdom of the Far East and combining it with his knowledge of mathematics and sciences. Q Did you rely on any aspect of Mr. Hubbard's educational background? A Yes. I think I have mentioned something about 1399 that. His claim that he was an atomic physicist; that he had graduated from George Washington University; that he was an engineer. Q And during that period of time did you also read several books written by L. Ron Hubbard? A Yes. Q Let me show you these two books. May they be marked as exhibits O and P respectively, Your Honor? THE COURT: Identify which is O and which is P. MR. FLYNN: "Dianetics, the Original Thesis". "All About Radiation by a Nuclear Physicist and a Medical Doctor" is exhibit P. Q Between 1969 and the time you joined the Sea Organization, did you read those books, Mr. Armstrong? A Yes. Q And what, if any, representations about Mr. Hubbard that were made in those books did you rely upon? A Do you wish me to look at the books? Q Can you recall any without looking at the books? A Well, I think during that period of time each one of the books had either about the author sections or dust jacket material which contained a fairly standard story about Mr. Hubbard. The thing which stuck in my mind through many years was his claim to have been crippled and blinded during the war and that he cured the injuries and the blindness using what he knew of the mind and that this was 1400 the precursor of Dianetics. This was -- to me at the time this is what it was all about. This was the thing it could do. He claimed to have twice been pronounced dead. It was a matter of medical record that he was twice pronounced dead. Again, the war career came up. He claimed to have been a commander of a Corvette squadron, been extensively decorated; saw service in several theaters of war; was obviously in combat. The claims of having studied in the Far East, having studied under Llamas and having combined the wisdom of the Far East with the knowledge of nuclear physics. Most of them claimed that he was a graduate of George Washington University. 1401 Q And in the -- MR. HARRIS: Excuse me, Your Honor. Just so I can get this straight. Is the witness now stating that these are things that he read between 1969 and 1971 when he joined the Sea Organization or is he encapsulating what is in exhibits? THE COURT: Well you can clarify that, Counsel. Q BY MR. FLYNN: Well, what you have just testified to, Mr. Armstrong, is that a summary of what is in exhibits N, O and P? A Yes. Q And in exhibit P, "Dianetics the Original Thesis" does it state that he graduated from Columbian College, part of George Washington University? MR. HARRIS: Objection; leading and suggestive. THE COURT: That is not particularly. Overruled. He asked whether it so states. MR. HARRIS: May the record reflect the witness is reading the book? THE COURT: Well he is looking at it. I don't know if he is reading the entire book, but he is looking at a page, appears to be looking at it or was. Q BY MR. FLYNN: What page in exhibit P contains biographical background of L. Ron Hubbard, Mr. Armstrong? A 158 and 169. Q And did you read that prior to joining the Sea Organization? A Yes. 1402 Q And are there any representations in there about Mr. Hubbard's biographical background that you relied upon? A Yes. Q And would you read them, please? A (Reading): "Much of Hubbard's early youth was spent in the American West and he traveled extensively in Asia, as a young man. He studied sciences and mathematics at George Washington University, graduating from Columbian College. He attended princeton University and obtained a degree as Doctor of Philosophy, Ph.d. from Sequoia University." Q If I can stop you there, is it your understanding that Columbian College is a college of engineering and mathematics at George Washington University? A My understanding is that it is at least the -- MR. LITT: Objection as to what his current under- standing is. Was this his understanding in 1969 to 1971 when he read it and relied on it. THE COURT: Well, I suppose if he knows what it is, it may be a fact which is something that can be testified to as distinguished from what he was relying upon at that time, so I will overrule the objection. THE WITNESS: My understanding was that he graduated from George Washington University, of which Columbian College was a part. Q BY MR. FLYNN: And when you read exhibit O, did 1403 you understand that Mr. Hubbard was a nuclear physicist and a medical doctor? MR. LITT: Objection; leading. MR. FLYNN: Withdraw it, Your Honor. Q What if any understanding did you have with regard to Mr. Hubbard's biographical background when you read exhibit O, Mr. Armstrong? A That he was a nuclear physicist. Q And let me show you a document entitled "My Philosophy" by L. Ron Hubbard. May this be marked, Your Honor, as exhibit Q? THE COURT: So marked as Q. Q BY MR. FLYNN: Did you receive that before joining the Sea Organization? A Yes. Q What, if any, representations did you rely upon about Mr. Hubbard's background in that document, exhibit Q? MR. HARRIS: In joining the Sea Org? Is that the reference, Your Honor? MR. FLYNN: In joining the Sea Organization. THE COURT: All right. THE WITNESS: Again here is the claim of having wandered through Asia; that he had been through a terrible war and suffered terror and pain uneased by a single word of decency or humanity. But he had been blinded with injured optic nerves and lame with physical injuries to hip and back at the end 1404 of world War II; that he faced an almost nonexistent future; that his service record stated, "This officer has no neurotic or psychotic tendencies of any nature whatsoever." That it also stated "permanently disabled physically." That he was abandoned by family and friends as a supposedly hopeless cripple and probable burden upon them for the rest of his days; that he yet worked his way back to fitness and strength in less than two years, using only what he knew and could determine about man and his relationship to the university. That he had no one to help him and that he was studying when he couldn't see. Q And did you believe all those representations at the time? A Yes. Q Let me show you several other publications. Do you recognise a book called "Successes of Scientology," Mr. Armstrong? A Yes. Q And did you read that before joining the Sea Organization? A Yes. MR. LITT: If I can -- it is the page that contains longhand? MR. FLYNN: Correct, with a picture of Mr. Hubbard, and may this be marked, Your Honor, as next in order? THE COURT: Okay. Q BY MR. FLYNN: And did you rely on representations 1405 in there about Mr. Hubbard and his background under his picture? A Yes Q And were those similar representations as to what you have already testified about? A Yes, I believe this is a duplication of one of these that I read. 1406 Q And with regard to this biographical sketch that you now have in front of you, Mr. Armstrong, do you recognize that? A Yes. Q And it bears the caption at the top "L. Ron Hubbard"; is that correct? A Yes. MR. FLYNN: May that be marked next in order, Your Honor? THE COURT: Exhibit S. Q BY MR. FLYNN: Did you read that before joining the Sea Organization? A Yes. Q And were similar representations made by Mr. Hubbard in that document? A Yes. Q Did you rely on those? A Yes. Q And with regard to a document entitled "Advance 7," did you see that before joining the Sea Organization? A Yes. MR. FLYNN: May that be marked as exhibit next in order, Your Honor, entitled "Operation Earth"? THE COURT: That will be exhibit T. MR. LITT: Could we have the names of the publications that R, S and T are from? THE COURT: Give us that again, Mr. Flynn. MR. FLYNN: T is from a publication entitled "Advance 7." THE COURT: Is there a date on it? 1407 MR. FLYNN: I believe it is 19 January, 1970 on the back page. MR. HARRIS: And the church or mission that published it? MR. FLYNN: Advanced Organization, Los Angeles. "Successes of Scientology" is copyrighted 1968 by L. Ron Hubbard; published by Publications Organization Worldwide. MR. LITT: Exhibit S? MR. FLYNN: Exhibit S, Your Honor, is the one-page biographical sketch of L. Ron Hubbard. THE COURT: Yes. 1408 Q It is from a magazine entitled "Scientology The Field Staff Member Magazine" copyright 1968 by L. Ron Hubbard. THE COURT: You are losing us rapidly, Counsel, the way you are doing this. MR: FLYNN: The page, Your Honor, that is from this book is a page that bears at the top "L. Ron Hubbard" in large -- THE COURT: That is exhibit S? MR. FLYNN: Exhibit S. THE COURT: You want the whole book marked S; is that correct? MR. FLYNN: Correct, Your Honor. MR. HARRIS: Do you have a copy of the whole booklet for counsel? MR. FLYNN: I don't. What we are primarily relying upon is that page, Your Honor, but it comes from the book. THE COURT: Okay. Henceforth, I don't know whether you have any more publications, but let's mark the publication and then sub-mark the pages T-1 or T-2 or something like that. MR. FLYNN: That is fine, Your Honor. That is all I have for now. THE COURT: Okay. Q BY MR. FLYNN : What is on exhibit T? THE COURT: Haven't got to T yet. MR. FLYNN: That is that "Operation Earth." THE COURT: Okay, "Operation Earth." 1409 MR. FLYNN: From "Advance 7." THE COURT: Let's mark the book as T and this particular page as T-1. MR. FLYNN: So then "Advance 7" is T and the page will be T-1. THE COURT: "Advance 7" is some new system of numbering. Q BY MR. FLYNN: Now, what in connection with the publication that appears at the top "Operation Earth" did you reply upon, Mr. Armstrong? A Statement here about the Sea Organization, that the Sea Organization was formed to compose a superiorly disciplined, elite group, working directly under Ron to aid the creation of a new civilization on this planet. Q Now, in connection with those publications, in all of the publications you read before joining the Sea Organization, can you summarize the representations about L. Ron Hubbard that you relied upon in joining the Sea Organization? A First of all that he was the head of the Sea Organization and that I would be working for him. That he was a hero, an explorer, a scientist, a nuclear physicist, a mathematician. He was an engineer. That he had studied for a great period of time in Asia and India and China, Mongolia, and that he had combined the wisdom that he learned first hand in the East with the scientific training in western universities, and the result was the science of Scientology, and the Sea Org were the elite 1410 of Scientology who were working directly with him to create a civilization out of barbarism, which is earth. THE COURT: How old were you at this time? THE WITNESS: Twenty-three. Q BY MR. FLYNN: And what was your educational background at that point, Mr. Armstrong? A Well, I had attended high school. I never graduated from high school. I had taken a half a year of university at the University of British Columbia and had dropped out at that time. Q And did you believe that Mr. Hubbard was a highly educated man? A Yes. Q And did you believe that he was a war hero during World War II? A Yes. Q And did you believe that he was a nuclear physicist? A Yes. Q Now would you describe what happened in the circumstances under which you joined this organization called the Sea Organization? A As a result of everything that I had read and attending some lectures given by Sea Org recruiting personnel up in Vancouver, I flew down to Los Angeles. I sold everything I had and put together enough money to go down to Los Angeles, and I signed at that time a billion year contract and 1411 within a few days of that I went on board -- it was called a station ship at that time, a little, former military vessel called the Bollivar which was in Long Beach Harbor, and I was on board the Bollivar for seven days, and then I was flown to Madrid, Spain, and then I was put on a train down to Algeciras and across from Algeciras, Spain to Tangiers, Morocco where the Apollo, which was the flagship of the Sea Organization, was docked at that time, and I went on board the Apollo and I was on board for the next four years or more. Q Now when these lectures were given by a Sea Org recruiter, what was the nature of those lectures? MR. HARRIS: The nature of the lecture is vague. If it is to be a conversation or a lecture, who was present, who was the speaker, et cetera. THE COURT: I don't think that is necessary. I think you can describe generally what it is all about. We don't have to have the speech in its entirety, but you can describe generally what it was all about. THE WITNESS: Well, someone from the Sea Organization, a Sea Org officer or someone involved with recruiting for the Sea Organization came occasionally to the outer franchises and talked to people who would be assembled to listen to the talk, and it had to do with what the Sea Organization was doing, what Ron was doing, what the Sea Organization offered to anyone who joined it, and that was principally what it was. Q BY MR. FLYNN: And were representations made 1412 about Mr. Hubbard during those lectures? A Well, always there was talk of him and the fact that we would be, the Sea Organization worked directly for him, and always there was the talk of how great he was and that sort of thing. I don't recall specific representations at that time that people read from the biographical sketches at that time. That occurred on a regular basis later, but not at that time. Q Now were there representations made about Mr. Hubbard's honesty, integrity and moral character? MR. LITT: In the lecture given by this unnamed Sea Org person? MR. FLYNN: I will withdraw it. Q Prior to you joining the Sea Organization, were there representations disseminated about Mr. Hubbard by Scientology organizations about Mr. Hubbard's honesty, integrity and moral character? A I believe so. The subject of honesty and truth permeated virtually everything that he wrote. It was the major factor which got me into Scientology with the promise of truth and the promise of honesty, and it was in all of his materials. 1413 Q In fact -- A Never could one glean from the material that it was dishonesty which was looked up to by either him or the organization. Q Would you turn to the back page of exhibit N, the long biographical sketch "PRO News"? Is there a reference on the bottom of that in large type, Mr. Armstrong? A Yes. Q And is that under the picture of L. Ron Hubbard? A Yes. Q And under his name? A Yes. Q And what does that say? A "Truth is the exact time, place, form and event. Axiom 38. LRH." Q And did you understand truth to be the underlying basis of all of the Scientology principles? A Yes. Q And that it was Mr. Hubbard that that principle emanated from? Did you understand that? A Yes. Q And was that one of the primary bases for your joining the SEA Organization? MR. LITT: Objection. Leading. THE COURT: Well, he has already testified to that. I'll sustain the objection. Q BY MR. FLYNN: When you arrived on board the 1414 ship in Morroco, would you describe what duties you were assigned to. A Initially, over the first couple of days, I did introductory packs, introductory briefing packs which everyone who came on board had to do. Thereafter I worked for a brief time in the Galley unit of the ship as a storesman. And I was connected with the Galley, washing dishes, that sort of thing, for probably a couple of weeks. Then I became the -- I joined what is called the Deck Project Force. And I learned deck skills. And I principally was painting and chipping the ship for another couple of weeks. Then I became the boat and transport in charge. And during that time I had under me all the ship's life boats, some sleds, motor boats and the vehicles which were on board the ship which we disembarked -- when we came into port, we took them off the ship and the people who had business in port used them. So there was a number of Mopeds. And I was responsible for those. Sometime in mid-April -- Q This is what year, now? A 1971. Sometime in mid-April we took off the ship Hubbard's cars because we were taking them to a villa which he had in Tangier at that time. So we took them off the ship. And one of them was a small Fiat car. And he ordered that I be driver of that car. 1415 So for the next eight or ten months, I guess, until approximately February of '72, I just drove the car. That became my job. And I drove people around who had business in the ports where we visited. So we took the car off the ship whenever we came into port and I drove it for transporting goods and people and put the car back on when we sailed. Q Now, between the time you joined the ship in Morroco and up to the time you completed your duties as a car driver, did you participate in any religious activities? Just yes or no. MR. LITT: Objection. Is this calling for this witness' opinion, or is this -- Scientology is a religion. The court has found that Scientology is a religion. THE COURT: He just asked if he participated in any religious services. What is so difficult about that? MR. LITT: What he is going to say -- THE COURT: I don't know what he is going to say. MR. LITT: He is going to get into a discussion about whether certain activities are religious or not which is not justiciable. He is going to say, "No, I didn't." And we'll say, "Yes, he did." Is the court going to decide which is which? THE COURT: I am not worried about that. I can't see any big problems about that. 1416 MR. HARRIS: Could I give the court a few First Amendment cases? THE COURT: We are not getting into any First Amendment cases. He just asked him if there were religious services. MR. HARRIS: Is that his state of mind, Your Honor? THE COURT: I have no idea what the answer is going to be. THE WITNESS: I believe the answer to your question, if I recall the question correctly, is no. Q BY MR. FLYNN: And during that period of time did you participate in briefings as to who you were working for when you were doing the duties you described, Mr. Armstrong? A Yes. Q And were these regular briefings? A Well, what they were was immediately that someone came on board, they were briefed; they had to do a pack of materials; they had to study these materials and they had to drill the answers to -- before they were allowed off the ship they had to be checked out on the shore story. There was a Shore Story which was originated by Hubbard which was the -- it was what we represented to the local people. Q What did you represent to the local people? A We were to tell them that we were something called "Operations and Transport Corporation," Limited. It is a Panamanian corporation. And it was a business 1417 management company; that the function of our business was to -- we performed two functions. We managed other businesses around the world and we were paid by a percentage of increase in profits of those corporations or businesses which we managed or provided managerial expertise to. The other part of it was that we brought people on board, both OTC personnel and personnel from other corporations around the country -- around the world to train on board. And we received moneys for teaching them this very advanced business technology. Q OTC is Operation and Transport Corporation? A Yes. Q Was that a profit-making corporation? MR. LITT: If you know. Q BY MR. FLYNN: If you know. THE COURT: If you know. THE WITNESS: Yes. I know on both scores. What we were to represent to the local people was that we were a profit-making corporation. And according to the articles of OTC, we were also a profit corporation. Q BY MR. FLYNN: Did you have possession of the Articles of OTC at some point when you were on the ship? A Yes. Q Under what circumstances did you have those articles. Mr. Armstrong? A Well, after I was the ship's driver, I became what was known as the ship's rep, ship's representative. And at that time I was in charge of on board legal 1418 activities. I was the point of contact between the ship and the customs people, the immigration, police, port authorities, ship's agent and any sort of legal dealing which we had of a local nature; for example, with the Panamanian Consul. We were a Panamanian vessel. OTC was a Panamanian corporation. And I occasionally had dealings with the Panamanian Consul, that sort of thing. So to answer your question, it was in the context of being the ship's representative that I had OTC papers. Q From whom did you take your orders when you were the ship's representative? A The chain of command ran basically L. Ron Hubbard; down to the captain. Down to the port captain; down to me. That was when I was the ship's representative. At any point there could be a bypass in the line. So occasionally I took them directly from L. Ron Hubbard or from the captain. But generally, on a day-to-day basis, for most activities I would take them directly from the port captain; sometimes directly from L. Ron Hubbard. 1419 Q And this shore story, as you put it, what does the term "shore story" mean while you were in the position you were in on board the boat? A Well it became obvious to me that it was a cover. A shore story was a cover which was developed in order to present to the local people and the local authorities a different picture from what we really were. Q And did you receive wage vouchers while you were on board the Apollo? A Yes. Q And what type of wage vouchers did you receive? A Well they were basically what was produced, entered into evidence, but these ones had OTC on the top of them. Q And what was your pay, Mr. Armstrong? A It varied between nothing per week up to $17.20 per week. Q And was it your understanding at the time that yu were an employee of OTC, Operation Transport Corporation? A Well, it is a bit confusing. We probably in a legal sense were really employees of OTC, but we weren't really paid as employees of OTC. We weren't paid like normal employees would be paid. However, each person on board the ship had to sign on the -- had to sign the ship's articles as a crew member of the ship, and the reason for that was to circumvent the marine regulations regarding passenger vessels because the ship vas not safe as a passenger vessel. 1420 It would not have passed inspection, so they circumvented that by having everyone sign on as a crewmember, so it then became a yacht. So, there was approximately between 350 and 430 crew on board, and each one in signing ship's articles became in that way an employee of OTC, Operation Transport Corporation Limited, but each person also knew that he was, in fact, a member of the Sea Organization and that fact was kept from the public. Local authorities were not to know that we were the Sea Organization. We were to be a business management corporation, so the local authorities we were to tell them that we were employees of OTC. When the subject of pay came up, we were to either not answer or tell them that, "Oh, yes, we are very paid, but I'd rather not talk about what I get." Q And did you make those representations to numerous people in various ports in connection with the duties on board the ship? A Yes, probably to thousands of people. Q Now you were paid by a business management corporation? A Yes. Q And was everyone on the ship who signed the ship's articles as a crew member drilled to do the same thing? A Yes. MR. HARRIS: How could he possibly know, Your Honor, that everybody on the ship -- THE COURT: Well, I don't know. This is obviously a 1421 belief. You can lay a further foundation as to how he would have that belief. Q BY MR. FLYNN: How do you know that, Mr. Armstrong? A Because it was my duty to brief everyone. Q And when did you assume those duties? A The beginning of 1972. Q And what was your title at that time? A Ship's representative. Q And it was your responsibility to drill these people on these fabrications? A Right. Q And at the time -- MR. LITT: Objection to the term "fabrication", Your Honor. THE COURT: All right, I will sustain the objection. BY MR. FLYNN: Well, at the time that you were drilling these people, Mr. Armstrong, did you understand that these representations were false? A Yes. Q And in what way were they false? A Well each person knew that he was a member of the Sea Organization. Additionally each person who came there from an outer organization to do courses on board or be audited on board knew that he was not a crew member. No one knew before they were coming to the ship that they were going to be OTC. Each person thought that he was coming to do a Scientology course of some description, and the local 1422 authorities were never told about OTC or about Scientology and, in fact, we would deny any connection. Q And were there training manuals to teach you to lie about those facts? A Well, there was packs of material. I guess they could be called training manuals, but the drilling was very extensive. The person had to get the shore story very firmly in his mind, and I myself was trained to ask questions and trip them up and then give them the information which would have them broaden the story sufficiently in their own mind so that they would be able to field any question if asked by local people. Q And who do you know that this was done in part in order to avoid the marine regulations relating to passenger vessels? A Well, because that situation came up a number of times throughout the history of my time on board in which the local port authorities would, because we did not have what is called a SOLAS certificate, safety of life at sea -- there is a SOLAS convention which proscribes what is necessary for safety equipment or standards of the ship for vessels of certain tonnage with certain numbers of people on board. 1422 And our vessel was not safety certificated. And the way we got around that -- because the -- Hubbard did not wish to bring the vessel up to standard. My guess is to save money -- THE COURT: Let's not get involved in guesses. Strike that. THE WITNESS: Okay. Q BY MR. FLYNN: In any event -- A As a result, we signed everyone on board because we ran into that problem on occasion with harbor masters or port authorities in various ports that we visited. Q At any time on board the ship did you learn whether Mr. Hubbard owned Operation Transport Corporation? A Yes. Q And under what circumstances did you learn that? A Well, first of all, there was the original articles of incorporation. And there was some information on shares that were kept in the port captain's office files. Additionally, in 1973, I believe OTC was incorporated, in '67 or '68. But I believe it was '67. In 1973 I was involved in the back-dating of some Board minutes back to either the same day or the day following the day of incorporation. And those Board minutes took Hubbard off the Board of Directors at that time. And I had to get Hubbard's signature authenticated by the Panamanian Consul in Lisbon at that time. I also had authenticated the signatures of the other incorporators or the other original Board so that 1423 their resignations were either the same day or -- Anyway, the first Board minutes in the corporation, but it was six years later. Q How long did you remain on board the ship, the Apollo? A From February '71 through, I guess, September of '75. Q Now, at any time during that period did you understand that you worked for any organization or corporation other than Operation Transport Corporation? A No. Q At some point did you become the port captain? A Yes. Q And when was that, Mr. Armstrong? A That was -- it was just a brief period. And that was in early 1974. Q What were the port captain's duties? A Well, the port captain was over the ship's representative and over the intelligence officer and over some of the PR positions on board. And he was the captain of the ship as far as the port authorities were concerned when the ship was in port. There was another captain who was the actual captain for navigation purposes. But the port captain assumed that role as far as the port authorities were concerned while the ship was in port. Q Now, throughout the period of time that you were on board the ship did you become involved in briefings with 1424 regard to whether Mr. Hubbard was receiving any money from Scientology organizations? A Well, that was part of the -- when I got into the port captain's office, we were briefed on other subjects as well because occasionally it would happen that we would be noticed. The ship had a prior record as being a Scientology ship; additionally, Scientologists would occasionally show up at the ship, hoping to come aboard or to talk to Hubbard or something. So these were Scientologists who were not supposed to be in the area that the ship was in, but they would arrive there. So we had briefing packs in which we were to handle some of the questions which came up about Hubbard or about Scientology. And that subject would come up. And the -- about whether or not Hubbard was getting 10 percent of the income of Scientology organizations. That was a question which arose often in the press. And we were trained to handle those questions, to deny that he received any money from Scientology and to deny any real connection to Scientology; that he had resigned as a director in 1966. Q Now, throughout the period of time that you were on board the ship did you observe Mr. Hubbard's activities with regard to issuing orders to ship's personnel? A Well, I would have seen it, not on a daily basis necessarily, but sometimes for brief periods during a day or sometimes for a great length of time during a particular 1425 day. But I was able to see him probably hundreds of times issuing orders throughout the time I was on board. Q What is your understanding as to who exercised ultimate supervisory authority over the day-to-day activities of the ship while you were on board? A Hubbard. Q And were you taught to deny that that was the fact when you dealt with official agencies at the various ports that you went into? A Yes. Q And were you taught to deny that to people who came to the ship asking questions about the ship or Mr. Hubbard? MR. LITT: Objected to, Your Honor, as leading and suggestive. Asked and answered. THE COURT: Overruled. You can answer. THE WITNESS: Yes. Q BY MR. FLYNN: Throughout the period of time that you were on board the ship did you participate in any religious activities? MR. HARRIS: Is this a characterization, Your Honor? THE COURT: The activities which you believed to be religious; you may answer it in that form. THE WITNESS: There was -- there was one. Q BY MR. FLYNN: And one in how many years? A Four years. All that time, four years and 1426 several months. Q What was that one event? A That is when I was married. I wasn't really married. I should explain. Q What were the circumstances surrounding your marriage? A Well, I was married legally off the ship. We were in Free Port in the Bahamas at that point. And I got married. Just prior to that we were in Nassau, one of the other islands. And I got legally married. Then we had a ceremony on board the ship in which the Scientology wedding ceremony was read. But it wasn't -- it was just a ceremony; it wasn't a marriage. 1427 Q And did Mr. Hubbard participate in your wedding? A Yes. Q And in what way did he participate? A He gave away the bride. Q And what was your wife's name? A Terri, Terri Gillan. Q Do you know what her present name is, Mr. Armstrong? A Yes, Terri Gamboa. Q And do you know whether she presently has a role with any of Mr. Hubbard's organizations? A Yes. Q And what is that? A She is part of what is called ASI, Author Services Incorporated. Q Now throughout the period of time that you were on board the ship were there on-going and continuous representations made to people who came on board the ship about Mr. Hubbard? A Yes. Q And were any of these representations made in any type of a formal way? A Well, yes. Q And in what formal way? A Right. There were briefings on board the ship and, in fact, there was an LRH public relations officer on board the ship who occasionally gave briefings, and the briefings would be about Ron. Much of the material 1428 of the briefings would be what is contained in these exhibits. Additionally, there were during the time on the ship, there were some other biographical sketches created on board and published on board, both mimeograph and I believe notations of this nature. Q Did you see Mr. Hubbard create those biographical sketches? A Not those ones. Q Did you see him create any biographical sketches? A Not the actual creation. I have seen things in his hand which are identical to these materials, so I have seen -- MR. LITT: Which materials? Q BY MR. FLYNN: For example exhibit N, the long biographical sketch of Mr. Hubbard in exhibit N, have you seen Mr. Hubbard's handwritten biographical sketch which was later typed up and made a part of exhibit N? A Yes. MR. HARRIS: Just so I am clear on this, Your Honor, I am not sure for what purpose this is being introduced; in respect to his archives post or as inducement to join the Sea Organization? THE COURT: Well, it goes to developing the total picture as to a course of events that led up to the events in question. Overruled. Q BY MR. FLYNN: Did you see that, Mr. Armstrong? A Yes. Q Do you know where it presently is, the handwritten 1429 version of exhibit N? A It is ---- I can tell where I last saw it. Q Where did you last see it? A It was in the archives in the Cedars Complex. Q Now when you were working on board the ship for the OTC corporation, did you have any understanding as to whether or not you were also working for L. Ron Hubbard? A Yes. Q And what was that understanding? A Well that was the real truth of what we were doing. Each person -- that is who we were working for. He was the Commodore of the Sea Organization. We were all Sea Org members. There was no one senior to him and we all worked for him. THE COURT: Who was the billion year contract, who were the parties to that if you can recall? THE WITNESS: It was just a contract which bound me to the Sea Organization. THE COURT: You were the only person that signed it? THE WITNESS: Yes. THE COURT: Oh. THE WITNESS: I should say there was a witness to my signature, but that's it. THE COURT: All right. Q BY MR. FLYNN: Now, throughout the period you were on board the ship did you have access to public relations material relating to representations about L. Ron Hubbard's background? 1430 A I had access to this kind of material. I had access also to some of what you would call unfavorable material which had appeared in newspapers and magazines and that sort of thing, what the organization called "entheta" so I had seen and had in the port captain's office files of some of that type of material. Q And did your duties as port captain or ship's rep relate in any way to dealing with unfavorable materials? A Well, not a lot directly. We were briefed on it and occasionally, as I say, someone from outer organizations or from what's called the field, some other country would show up at the ship and we would have to handle their questions. In Curacao and actually in Barbados, Trinidad and later in Curacao, and this was in the summer and fall of 1975, a number of questions at that time came up about Hubbard because by this time the cover had been blown regarding OTC and those countries had identified the ship as a Scientology ship and knew that Hubbard was on board. 1431 So at that point I became more intensely drilled in handling Hubbard's representations. Q And did you make any representations about him in response to questions as to whether he was a director from Hollywood? A During that period of time? Q Yes. A Yes. As a matter of fact, because in Curacao, particularly in Curacao and even earlier, we had on board something called the Photo Shoot organization. And part of the PR surrounding the Photo Shoot organization, which was going off the ship into the community and either photographing local cites or photographing staged sets and scenes later to be used in scientology publications, there was the PR surrounding that; that Hubbard was a Hollywood director, former Hollywood director. Q And were there specific movies that you represented to people that he directed? A No, not at that time. Q At a later time? A No, no. I have never heard what he had directed, just that he was a Hollywood director. Q Did you make any representations to people about whether he had written a screenplay of the movie "The Divebomber" at that time? A No. The -- there was a PR -- there was a biographical sketch which was created around that time. And that contained a representation about "The Divebomber." But 1432 I myself did not ever mention "The Divebomber" to anyone until sometime later. Q During the period of time that you were on board the ship did you observe how people who had either made mistakes or had become antagonistic to Mr. Hubbard or anything that he ordered were treated? A Yes. Q And what did you observe? MR. HARRIS: Could we have some specifics as to who these individuals were? THE COURT: I assume that can be developed. You may continue. THE WITNESS: What sticks in my mind is that in the beginning of 1974 Mr. Hubbard created something called RPF, the Rehabilitation Project Force, it was called. And people were ordered by Hubbard, if they had -- if they had what he called counter-intention, CI. And it was counter-intention to his orders, his policies, and any counter-intention to any project that he was involved in, what he wanted to get done. And people were on a daily basis throughout a great deal of 1974 routed into the RPF. And the RPF was a segregated group of people who were -- that were treated as prisoners. They had to perform -- it is something more than menial tasks. It was forced labor under extreme conditions. And they wore black boiler suits. And that is how they stood out from the rest of the crew. 1433 A great number of people were ordered by Hubbard into the RPF which was created at that time. Q Now, did you ever observe anyone locked up in the ship's chain locker during the period you were on board the Apollo? MR. HARRIS: Objection. Leading and suggestive, Your Honor. THE COURT: Overruled. THE WITNESS: during the time I was on board, yes. I saw one little kid. He was a -- that is the only one during that time that I recall. And he was a kid, I guess, about 13 or 14. Q BY MR. FLYNN: How long was he locked in the chain locker? A I don't know exactly how long, but it was -- I'd say at least a day, maybe longer. Q What was the chain locker, Mr. Armstrong? A The chain locker was in the bow of the ship. There was two of them. We had twin anchors up forward. And the chain, which had links about a foot across, when the chain was drawn in and the anchor was lifted up into the haws pipe, the chain fell down into about a four-foot square iron -- steel tube. And that was the chain locker. It had a metal lid on it. Someone assigned to the chain locker would simply sit on this pile of chain links during the time that they were in the chain locker. Q And other than your actual observation of that 1434 one 13-year-old child did you understand that to be a routine punishment? MR. HARRIS: I don't know if we are getting a compilation of hearsay, reputation, or what, Your Honor. This is for his state of mind, not the actuality, I presume? THE COURT: He, apparently, was there for four years. He probably has a pretty good idea of what discipline was involved. MR. LITT: Are we talking about what he knows, what he heard, or what he thinks? THE COURT: What he saw, observed over a period of time. Overruled. You may answer. THE WITNESS: During the time I was on board, it was not a form of punishment which was often used. I heard of someone else being put in during that time. I don't even recall the name at this time. So it was unusual. Q BY MR. FLYNN: What was your mental state while you were on the Apollo, Mr. Armstrong? THE COURT: That covers a lot of time, counsel. I don't know what you have in mind. Four years of mental states? Q BY MR. FLYNN: Is there any particular emotion that you recall, Mr. Armstrong, as being the dominant emotion while you were on board the Apollo? 1435 A Yes. I think that aside from the hours in which I was sleeping and occasionally during moments of relative lightness. I think that I was pretty much in fear the whole time. THE COURT: I think we'll take a 15-minute recess. (Recess.) 1436 THE COURT: All right. In the case on trial let the record reflect that counsel are in place and the witness has retaken the stand. Just state your name again for the record, sir. You are still under oath. THE WITNESS: Gerald Armstrong. THE COURT: You may continue, Counsel. Q BY MR. FLYNN: Now, Mr. Armstrong, do you recall your testimony that you were briefed to state to people inquiring about Mr. Hubbard's status on board the ship that he vas not receiving any money from Scientology Organizations; do you recall that testimony? A Yes. Q Did you know why you were on board the ship whether Mr. Hubbard did or did not receive funds from Scientology Organizations? A I did not know that. Q Now in 1973 did Mr. Hubbard leave the ship for a period of time? A He left actually in the fall of 1972. Q And for how long a period did he leave? A He left -- in the fall of 1972 he moved ashore to his villa in Tangiers. The ship at that point sailed to Lisbon, and we were in dry dock and wet dock in Lisbon. He showed up somewhere around Christmas time 1972, maybe around the 1st of the year, between Christmas and the 1st of the year, and he stayed at that point off the ship in a hotel in Lisbon, and at that point he left and arrived back at the 1437 ship in approximately September 1973. Q Do you know where he went? A Yes. Q Where did he go? A To New York. MR. HARRIS: And is that personal knowledge, Your Honor, or hearsay? Q BY MR. FLYNN: How do you know that, Mr. Armstrong? A I have spoken to the two people who lived with him during the time when he was in New York, and I had a debrief which was written by one of the people who accompanied him, and I have seen photographs which were taken of him and of the area and of the house in Queens, New York where he lived. Q And who were the people who were with him? A Paul Preston and Jim Dincalci. 1438 Q How do you spell "Dincalci"? A D-i-n-c-a-l-c-i. Q And to your knowledge did Mr. Dincalci take those photographs in Queens, New York? A Yes. Q And at a later point in time did those photographs come into your possession? A Some of them, yes. Q And when was that? A It was in April 1982. Q Now, in 1974 were there a lot of inquiries about Mr. Hubbard's background from people who came to the ship? A I -- I don't know. There were not a lot of inquiries that were made of me. Q When you were the ship's representative did you deal with claims from outside sources that the things that were being said about Mr. Hubbard such as are set forth in the various exhibits that have been marked into evidence were untrue? A Let me see if I get your question. Did I deal with the press or anything like that which contradicted the claims in these publications? Q Correct. A Yes. I received a number of those -- of such publications which we called N-Theta during that period. Q At that time did you continue to believe that the representations that are set forth in exhibits N through T were true? 1439 A Yes. Q How did you reconcile in your mind those two conflicting claims, Mr. Armstrong? A Well, first of all, the claims were being made on one hand by Mr. Hubbard who I assumed to be telling me the truth. On the other hand, by people who I viewed at that point as enemies. And we -- we were briefed quite regularly on board about activities of the Guardian's Office. And they were involved at that point in what they called Dead Agent Capers, false report corrections. And they were attempting -- the claim was made -- to clear up false reports which were being spread about Mr. Hubbard in the media and between governmental agencies. Q Did you understand the term "enemy" to have a particular significance in terminology used on board the ship? A An enemy of Scientology was someone who was critical of Scientology, critical of Mr. Hubbard; someone who printed something derogatory about Mr. Hubbard. It was the psychiatrists, psychologists, the medical profession; these were -- the IRS, CIA, FBI; these were the agencies which were the enemies of mankind and the enemies of Scientology. MR. HARRIS: Is this his understanding, Your Honor? I take it it is still going in for that purpose. Because right now there has been utterly no foundation laid. THE COURT: The man was on board the ship for four 1440 years; he was deck captain; it would seem that he would have some familiarity with what was happening and what was being discussed and the things that were going on. You certainly have a right to cross-examine on all of these matters. Q BY MR. FLYNN: In 1974 did you learn that there were policies that related to how to deal with enemies? A Yes. There was a number of -- there were a number of policies which dealt with that. In 19- -- by 1974 I had been the port captain. And I was also in 1974 the intelligence officer on board the ship. And I knew through the intelligence officer policies and intelligence officer hat which was originated by L. Ron Hubbard that there was a certain approach taken to enemies. I also knew that -- prior to that, from briefing packs of materials the existence of something which was called the "Fair Game Doctrine" and that set up the way in which enemies were to be treated, were to be viewed. That is principally it. Q Now, in 1974 did Mr. Hubbard deliver what was called a source briefing? A Yes. Q And what was that, Mr. Armstrong? A A number of people, maybe somewhere between 10 and 20 people on board the ship were chosen to be PRs, public relations personnel. And each one of them was briefed by Hubbard. They were all briefed together. And it was called a source briefing. 1441 Packs of materials was given -- were given to each of these people. And then they were sent out to all of the organizations and missions or franchises internationally. And they gave lectures or talks or briefings to all the people at these centers internationally. 1442 Q And what did Mr. Hubbard say in these briefings relative to his biographical background? MR. LITT: Just a moment. I don't think it has been established whether or not Mr. Armstrong was at these briefings or I guess it is a briefing. THE COURT: You can develop that as to whether he was or he wasn't. Q BY MR. FLYNN: Were you there, Mr. Armstrong? A No. Q Did you at some point receive materials from these briefings? A Yes. Q What materials did you receive? A I received a -- the pack of materials which the various public relations people took with them when they gave the briefings, and I received the transcript of the briefing that Mr. Hubbard gave to all these missionaires before they were sent around the world. Q And where did you receive this pack of materials from or who did you receive it from? A Well, the pack of materials was people on the ship were also the recipients of a source briefing, so one of the people did that and I only caught a part of it, but I did have the pack of materials relating to Mr. Hubbard at that time. So it would be 1974. Later in 1980 when I was actually in Hubbard's PR bureau, I had the pack and I also had the transcript of the briefing. 1443 Q Now in 1974 did you read at least a part of the briefing relating to certain medals that Mr. Hubbard claimed he received in World War II? A 1974? Q Correct. A Well, yes, that is the part that actually sticks out in my mind, and that is because a color plate was made, a big eight by ten color photo of the medals which Mr. Hubbard claimed to have learned during the war. In that photograph there was 21 pedals and palms. A couple of the medals had palms on them, and subsequently I saw in the briefing that he had said, "Well, actually there was 28 and that some of them are missing." He claimed that some he was given in secret and they actually couldn't award it to him, and this had to do with sinking a couple of enemy submarines, and the reason why he could not be awarded those things out in the open was because it would have been embarrassing to the naval command to have had a couple of subs sunk in their own back yard. MR. HARRIS: Just because I am totally unclear about this, the source of this is he hearing Mr. Hubbard saying this or/is he reading something in 1980 or 1974? Very unclear. THE COURT: Okay, will you tell us? THE WITNESS: The first one was in 1974. At that time I saw the color print which was made available. At that time I also knew of the claim that there was more involved there. 1444 Subsequently I had possession of the transcript. This would be in 1980 and I possessed it throughout the course of the biography research and also provided it/to Omar Garrison. So from that point on it sticks in my mind very vividly. Q BY MR. FLYNN: Now, at some point in time did you leave the Apollo, Mr. Armstrong? A Yes. Q And when was that? A In September of 1975. Q And where did you go? A I went on a leave with my wife at the time. Q Who was then Terri Gamboa -- Terri Gamboa Armstrong? A Terri Gillam Armstrong, yes. Q How long was your leave? A About a month. Q And after your leave, where did you go? A To Daytona Beach. Q And did you meet Mr. Hubbard in Daytona Beach? A I just saw him real briefly. Q And did you begin assuming certain duties for any organizations relating to Scientology and Daytona Beach at that time? A At that time -- some time in October, November of '75 I was for perhaps two or three weeks, I was in the Guardian's office in the intelligence bureau. We had a very small guardian's office at --- it was a motel we were occupying under the name United Churches. 1445 Q Were you paid at that time? A Yes. Q And what organization or corporation were you paid by during that period of time? A Well, there was no name on any disbursement voucher at that time and I never asked at that time who I was paid by. Q And were you paid in cash? A Yes. Q And what was your understanding as to what corporation you worked for, if any? A Well, it was unclear at that point because we were told that we were United Churches, United Church of Florida, so it really depended on who I was talking to. The only thing I knew for certain, and this was the only thing which was certain throughout the whole time I was in the Sea Org was that I worked for L. Ron Hubbard. What corporation I was a part of was extremely unclear, and for the most part each one of us involved, and I think at least myself, I knew that I worked for the Sea Organization for L. Ron Hubbard. The rest of it was simply a facade and it was a cover of some sort. So who I worked for back then, I am not sure. Q Now, what were your duties in Daytona Beach? A I had two jobs in Daytona Beach. The first one was in the Guardian`s office, and in the Guardian's office I was principally involved at that point in coding and decoding telexes and gathering local intelligence, and I dealt with the destruction of security materials. 1446 Q And when you say coding and decoding, what did that involve, Mr. Armstrong? A All telexes in and out of the Guardian's office were coded and decoded. We had a number and letter system and a transposition system. And each telex had to be put into a particular code. And when we received a telex which was in a particular code, we had to decode it so that it was then in plain English. Q How many codes were there? A Well, at that point there were two codes in use by my office. And one was the Guardian's office code and one was the office of the controller code. The office of the controller was, in fact, the same office that I was in at this tine. Q Do you know how many codes the Guardian's office used at that time other than the two codes that you were directly involved in? A No -- I should say there was a third code at that time that I knew of. And that was a code between the Guardian's office Ounter Organizations, small organizations; one between GOUS, which was the central Guardian office head- quarters in North America. And then there were the Ounter Guardian's office; for example, New York may have a junior Guardian's office. And they had a particular telex code at that time. So I had actually the three codes, one between GOUS and U and GOWW. Guardian's office worldwide from UK would use the same code. And then there was the controller's 1447 code. Q You mentioned you were involved in the destruction of security documents; what did that involve? A Well, at that time we simply took out whatever was not an active file. And it could be a telex master. It could be that sort of thing. And I took and burned it. We did not have at that small project shredding facilities to amount to anything, not enough to handle the volume that we had. So I went down the coast, Daytona Beach, and in an incinerator burned the stuff. Q Were there instructions on what to destroy and what not to destroy? A Nothing that I was aware of at that time. This was simply material that was given to me by the various people in the office. Q So you were just ordered to destroy it? A Right. Q And what other duties did you have other than those duties in the Guardian's office in Daytona? A I was busted, I guess you would say, from the Guardian's office at that time. The I worked on a project -- this had to do with the move into Clearwater, Florida by the personnel from the ship and by the Guardian's office. And we were part of that. We were like a staging area from which the overall plan was originated and coordinated by Mr. Hubbard. And he operated several missions, probably dozens of missions 1448 at that time. And I was at that time busted to the mimeo unit. So I was printing mission and project orders originated by Mr. Hubbard and on which people would be brief and then fired to Clearwater or to some other location to perform part of their overall move into Clearwater. The ship at that point was in free port in the Bahamas. So it was a major task to bring all the materials from the ship in containers to the base and to establish the various facilities in Clearwater, the Fort Harrison Hotel, the Bank of Clearwater building and other buildings. Q Now, when this move to Clearwater took place as supervised and coordinated by Mr. Hubbard, did the move take place under the name of the Church of Scientology? A No. Q Under what name did it take place? A The property was purchased in the name of Southern Land Development. I believe it was a corporation. The organization then became United Churches of Florida. That was the shore story at the time. And that was the cover which we used up until the beginning of 1976 or a little later. Q Did you know that the cover using the name United Churches of Florida was a lie? A Yes. MR: LITT: Objection. What -- THE COURT: The words of what they are. I don't know what you mean by "a lie." 1449 Q BY MR. FLYNN: In fact, was their organization that existed called United Churches of Florida? THE COURT: If you know. Q BY MR. FLYNN: If you know. A I believe that it was registered or incorporated in this way. Were we in fact United Churches of Florida? No. Q And when you used the term "mission" what did you mean by that term, Mr. Armstrong? A I guess the equivalent would be a military mission, people sent in to perform a particular operation in another location and then brought back to a base of operations. Q Now, at the time of that move did you know Mr. Dincalci? A Yes. 1450 Q And to your knowledge did Mr. Dincalci make a tape recording of orders of L. Ron Hubbard relating to this mission? A Well that is my knowledge now. I did not know about it at the time. MR. LITT: Is that knowledge based on hearsay or personal knowledge? Q BY MR. FLYNN: How did you learn about the tape recording, Mr. Armstrong? A I was given a copy of it by Mr. Dincalci. Q And was it Mr. Dincalci's tape recording? A Yes. Q And during that period of time what term did Mr. Hubbard use to describe a Scientology organization? THE COURT: Well, wait a minute. Are you talking about -- you said "during that time"; is that something that he learned at that time or that he learned now? Q BY MR. FLYNN: During the period of the move to Clearwater in 1975 did Mr. Hubbard use a term in your presence regarding Scientology organizations? A The only thing I can think of is Org. Q At that period of time did you hear the tape- recording? A No. Q At a subsequent time did you hear the tape- recording? A Yes. Q And do you recall hearing the words "the 1451 company" on the tape recording? MR. LITT: Your Honor, this is improper. If Mr. Armstrong is listening to a tape recording provided to him by one Jim Dincalci, which tape recording has not been authenticated in any way, Mr. Dincalci is going to testify. THE COURT: All right, I think you are correct, Counsel. MR. FLYNN: I will withdraw it. Q Did you ever hear Mr. Hubbard use the term "the company" to describe Scientology organizations? THE COURT: Other than on the tape. Q BY MR. FLYNN: Other than on the tape? A I don't believe so. I don't think it ever came up. Q Now, when you were working on the mimeo machine, were you in a particular office of L. Ron Hubbard? A I was not in what was actually called the personal office of L. Ron Hubbard at that time. Q At some time did you move into the personal office of L. Ron Hubbard? A That followed the mimeo machine. Q And when was that? A That was the beginning of December 1975. Q And where was that office located? A Well the personal office -- there were personal office personnel who were with Hubbard in Daytona Beach. He was living at that time in a hotel near, you know, a couple of hundred yards from the motel where all of us were staying who were in Daytona Beach. 1452 At one point I was assigned to the personnel office and I was briefed up in Hubbard's suite of offices by Mike Douglas who was one of Hubbard's personal staff. Following the briefing I was sent to Dunedin, Florida which is about six miles from Clearwater, and it was in Dunedin where I stayed for the next several months in Hubbard's personal office. Q And was Mr. Hubbard there? A Hubbard arrived about four or five days, maybe three or four days after I arrived in Dunedin. I arrived in order to set up the communication lines, the telex machine and mail lines and that sort of thing, and to get the place ready for his arrival, so he arrived a couple of days later. Q Now when you were working in the personnel office of L. Ron Hubbard, what was your understanding as to who you worked for? A L. Ron Hubbard. Q And what did you do in Dunedin? A I was the -- for the first couple of months I was the deputy LRH External Com Aide, and the External Com Aide was Mike Douglas, and I was involved at that point in again coding and decoding telexes, and the receipt and distribution of mail which came to all the people in the personal office who were staying in Dunedin and in the sending, the transmittal of mail from Hubbard and from the others in the personal office out to organizations, either in Clearwater or across the world. Q And what, in general, did this telex traffic -- 1453 is that the term that was used, "telex traffic"? A Yes. Q What in general does the telex traffic relate to? A Well, I had two sets of telex traffic at that time, and I was using two codes at that time. We were at that time called UCE, United Churches Extension, and the reason for that was to get the telex machine established in this -- it was actually a condominium project. 1454 And in order to lease the Telex machine there we used the name United Churches Extension. The traffic related or was for the controller's office or for L. Ron Hubbard. and so we used two codes. One was the controller's code; one was the LRH code. Q Now, did you make any observations at that time as to whether Mr. Hubbard was managing or directing Scientology organizations throughout the world? A Well, yes. Q What observations did you make? A That was that he was. He was -- whatever he cared to look at, he looked at. And whatever he cared to handle, he handled. He was senior to anyone anywhere. Q At that time did you receive wage vouchers in connection with your pay? A Yes. Q And what, if anything, was on the wage vouchers? Q They were blank. Q Were you paid in cash? A Yes. Q After you worked in Dunedin where did you go? A I think approximately May, late May 1976 I took a -- I, along with three other people, we were fired on a mission to establish a staging area for Mr. Hubbard in Culver City here in Los Angeles. And we drove across the country taking with us a Telex machine. Whenever we needed to at that point set up 1455 communication lines within the -- it was an apartment complex in Culver City. And we took three or four days to get across the States. And then I spent another week or so in the Culver area, Culver City staging area, code name Astra, A-s-t-r-a. Q What did you do in Culver City? A I established a -- set up a Telex machine; set up a phonetic coupler line between our Telex machine and the GOUS Telex machine; set up a Telex machine in the Guardian's Office, Telex room in GOUS which was then in the Feifield Manor in Hollywood. We set up a mail and air freight line between our unit and GOUS and between GOUS, which was, again, in Feifield and Clearwater and the UK. Q Did Mr. Hubbard at some point arrive at Astra? A Yes. Q And when was that? A It was about a week after my first arrival there. First Mary Sue arrived. And she was there for a couple of days and then Hubbard arrived. Q Now, were all of these moves, the move into Dunedin and the move to Astra done with great security and under-cover? A Yes. Q What was your understanding as to why that was done, Mr. Armstrong? A Well, at that time in Dunedin or -- Mr. Hubbard 1456 had been identified as living in Dunedin at that time. And also there were a number of situations arising in Clearwater which stemmed from Guardian's Office operations in Clearwater, again, the local officials and also there was a great deal of public upset toward Scientology in Clearwater, principally because of their arrival under a false cover, United Churches. And the press was engaged in what Scientology called an attack on Scientology at that time and on Hubbard. There was a fear at that time that Hubbard was going to be served, either as a witness or as a party in one of the actions which were being brought at that time. And so he fled. And the cover into Astra was very tight. And it was simply to be a staging area from which a personal residence could be set up for Hubbard which would be very secure. 1457 Q Now, when you were at Astra, what was your understanding as to who you worked for? A L. Ron Hubbard. Q Did you consider your work for L. Hon Hubbard to be separate and apart from any Church of Scientology? A In a sense. See, this is two levels of this, you know, working for L. Ron Hubbard.Everyone in the SEA ORG. knew that they were working for L. Ron Hubbard, but additionally, anyone who worked in the personal office worked for him personally, and that had more weight than just someone working broadly. I was in another position again where I was actually living with the man, so I worked for him just in the sense that I was in the SEA Organization. I worked for him by virtue of the fact that I was in the personal office and I worked for him by virtue of the fact that I was living with him and taking all my orders from him. Q When you were in Astra, what year are we in, what month? A May and the beginning of June,1976. Q Now, up to that point in time, did you ever understand that you worked for the Church of Scientology of California? A No. Q After working in Astra, what did you do? A I was ordered by Hubbard to be locked up, and I spent about three weeks under guard in the Fiefield Manor in the GOUS Building. 1458 Q And why were you ordered by Hubbard to be locked up? A Because I had sworn at Mary Sue's communicator and he deemed me at that point a security risk. They had some concern that the cover or the location or Astra might be blown, and so I was, for security reasons, locked up. Q And when you say "locked up," were you actually locked in a room? A Yes. Q And was there actually a guard at the door? A Yes. Q When you say "security risk," what type of a security risk were you? A Well, I wasn't a security risk, but what I -- they were concerned at that point, and Hubbard was very concerned that his location might become known, at which point someone could serve him with papers in one of the actions originating from Clearwater. MR. HARRIS: Just so I am sure. This is the witness talking to Mr. Hubbard about his concern? MR. LITT: Is this based on a statement made by Mr. Hubbard or his state of mind? THE COURT: Gentlemen, let's just one lawyer object at a time. MR. LITT: I apologize. THE COURT: Are you relying now about personal knowledge or what, sir? THE WITNESS: Your Honor, I was told by two people. 1459 One was Mike Douglas who was my direct senior at that time, and the other one was the person who picked me up, and he was the head of the intelligence bureau at that time, Dick Weigand, intelligence bureau in GOUS, and he told me at that time that Hubbard had requested it. I never spoke to Hubbard at that time. Q BY MR. FLYNN: What was the command line? MR. LITT: Well, wait. MR. HARRIS: I take it all of this is apparently being offered for the man's state of mind at this point? Because we are getting multiple hearsay. THE COURT: Well, state of mind. Also shows his relationship to the organization, his contention who he was working for and whatever rights and obligations he had at a later date when all of the events germinated here. MR. HARRIS: Well, as long as we are clear what is hearsay and what is personal knowledge. There's been a lot of vast generalities. THE COURT: Well, there is a statement made by an agent within the scope of his authority as the agent of the principal. There are a lot of things here which seem to be relevant material and competent evidence. So let's go forward. Q BY MR. FLYNN: At that time, Mr. Armstrong, what was the command line within the personal office that you worked in? A L. Ron Hubbard to Mike Douglas to me. Q So it was Michael Douglas and Mr. Weigand personally came and picked you up and locked you up? 1460 A That is correct. Q During the period you were locked up, where did you eat your meals? A In the same room. Q Were you ever allowed to leave the room? A I was taken out every -- after the first approximately ten days, a week to ten days, I was taken out and I was driven on a daily basis to the UCLA Library. Q And what did you do there? A I had to go through the microfilm records to locate and copy any information on -- there was a number of medical doctors and some psychiatrists. There was a list of names. These were people who were all deemed enemies of the organization or people who had been critical of Hubbard. Q Now, after your period of being locked up, where did you go then -- strike that. Were you paid during that period? A No. Q After being locked up, where did you go? A Then during the last couple of days of my being locked up, I was joined by my wife at the time, Terri. And the last couple of days we were both locked up. We were brought a Telex which was from Hubbard which he had sent to GOUS, and it was shown to us and read to us, and it said that we were ordered returned to Clearwater. Hubbard ordered us returned, so we went sent or we were actually accompanied by a B-1 -- B-1 is the intelligence bureau, and Dick Weigand assigned one of the B-1 agents to 1461 accompany us, and we were flown back to Clearwater, Florida. Upon our arrival in Clearwater, we were taken to what is called the bank building, to LRH's personal communicator who at that time was Ken Urquhart, and he showed us and read us a Telex which he had received from Hubbard in which it said that Terri and Gerry are assigned to the RPF, and so I spent the next 17 months in RPF. Q What was the grounds for your being assigned to the RPF? A The way it read was, "Gerry attacked the Guardian's office, and Terri went into agreement with him." And then there was an issue which was brought out subsequently which stated that, and the order stated the charge was insubordination. 1462 Q Now, while in the RPF what did you do? A Well, when -- when Terry and I first entered RPF we were the only people at that time. There were only two people in the RPF. And we began -- we gathered up -- we found a place to stay at that time. We were staying in the -- in one of the bathrooms in the laundry room in the Fort Harrison. And then another few people joined us within a couple of days or weeks and we moved up to a storage room up on the 10th floor of Fort Harrison. And I was at that time, just due to the fact I was first assigned, I was the head of the RPF. Within the RPF I was called the RPF boatswain. And we worked on menial tasks and we assembled the course packs and the materials which are necessary to get out of the RPF. There is a certain course which you have to follow, a certain procedure, certain steps that you have to go through to get out of this condition in which you are assigned. The RPF grew throughout that period up until the point where I left, there was approximately 100 people in it. And I finally got out after -- on December 1st, 1977. Q Now, during that period of time did you make any observations as to the level of paranoia within the organization about security? A Well, security was -- MR. LITT: Your Honor, this is opinion, I take it? THE COURT: Well, this is, you know -- 1463 MR. HARRIS: Unless he is qualified, Your Honor. MR. FLYNN: I'll withdraw it, Your Honor. THE COURT: All right. Q BY MR. FLYNN: While in the RPF did you receive pay? A Yes. Q What did you receive? A $4.30 a week. Q How many hours a week were you working? A I guess 100 or more hours. Q And, incidentally, while you were on the Apollo, on the average how many hours a week did you work, Mr. Armstrong? A 120 hours. Q And while you were in the personal office of L. Ron Hubbard at Dunedin and Astra, on the average how many hours a week did you work? A 100. Q Up to the time that you went into the RPF did you ever have any understanding in your mind that you worked for the Church of Scientology of California? A Huh? Q Did you ever understand that you worked for the Church of Scientology of California? A I'm sorry. I -- THE COURT: We'll take a five-minute recess. (Recess.) 1464 THE COURT: We are back in session. The witness has retaken the stand. State your name again for the record. You are still under oath. THE WITNESS: Gerald Armstrong. Q BY MR. FLYNN: Up to the time you were in the RPF, Mr. Armstrong, did you ever understand that you worked for the Church of Scientology of California? A No. Q And while you were in the RPF was it your understanding that you worked for the Church of Scientology of California? A At this time, during this period, I understood that the cover came up United Churches and at that -- or sometime in there, the organization, that is, all the people in Clearwater, whatever those corporations were, were set in corporately under Church of Scientology of California. I heard about that just in either the rumor line or passing of information back and forth. I don't believe I ever saw any documents to that effect. All I knew for a fact was that I was in the RPF; I was part of the SEA organization and I worked for L. Ron Hubbard. 1465 Q Now, let as show you something. Appears to bear the date of March 18, 1977. MR. LITT: Can we see the document? MR. FLYNN: Here is a copy for you. May this be marked exhibit next in order, Your Honor? I believe it is W. THE COURT: U. Q BY MR. FLYNN: Do you recall that document, Mr. Armstrong? A Yes. Q And do you recall signing it? A I am not totally positive signing it. I signed during that period a number of documents, and I know that there was either one or two or three documents like this, all of which I signed, so I don't recall exactly when I did sign it. I know that I never signed -- I know that I did not sign in front of a notary public, but I did sign a number of such documents. Q And what were the circumstances under which you signed documents? MR. LITT: All documents? This document? Q BY MR. FLYNN: These series of documents that you just testified about. A They were given to us to sign. We were ordered to sign. Everyone in the RPF signed them. Q And did you read them? A I don't believe so. I never understood them. It wouldn't have mattered anyway. 1466 Q If you had been ordered to sign them, you would have signed regardless of what they said; is that your testimony? MR. LITT: Objection; leading. THE COURT: All right. You can rephrase your question. Q BY MR. FLYNN: Would you have signed those documents under any circumstances at that time, Mr. Armstrong? MR. LITT: Same objection. THE COURT: Overruled. THE WITNESS: I would have signed virtually anything at that time. Q BY MR. FLYNN: Did you understand Exhibit U to be a non-disclosure and release bond at the time you signed it? A Frankly, I still don't know exactly what a non- disclosure and release bond was. It may have had that name at the top. It undoubtedly did, but what that means, I definitely wasn't certain then and I still am not. Q Did you understand when you signed this document that you were bound to the Church of Scientology of California to pay the sum of $10,000 if you disclosed any information, data or knowledge about the Church of Scientology? A I believe I heard that at the time, yes. Q You heard that. Was that explained to you? A No, nothing was explained to me, but I have signed probably -- I don't know, seven or eight of such documents to do with various things, and I understood that there was various dollar amounts involved. 1467 Q Now, in 1977, did you receive a W-2 Form from the Church of Scientology of California? A I don't believe so. Q Let me show you a wage and tax statement dated 1977. Did you receive that, Mr. Armstrong? A No, not until it was produced in this case. Q And there is one for 1978; is that true? A Yes. MR. FLYNN: Apparently, Your Honor, I don't have an extra copy. Would you hand that to the Court, Mr. Armstrong, and may that be marked next in order, Your Honor? THE COURT: Okay. V, as in Victor. Q BY MR. FLYNN: Now in the 1977 wage and tax statement, do you see where you were paid some $340 or so? A Yes. Q And do you recall receiving any amounts of cash in 1977? A Everything was cash. Q Were there any wage vouchers that said the Church of Scientology of California on them? A No. Q And in 1978, according to Exhibit W, how much -- THE COURT: You mean V. MR. FLYNN: Pardon me. Exhibit V. Q How much were you paid? A $34.40. Q Now, did you receive any wage or tax statements 1468 from any other organization relating to the Church of Scientology in 1978? A I don't believe so. Q In 1978, did you receive funds greater than $34 from any source for wages? A Yes. Q And how much did you receive greater than the $34 that is reflected on that exhibit? A Maybe $800. Q And where did you receive that money from? A That was -- at that time, I was in La Quinta, California, and I was paid by the treasury in La Quinta. Q Did you receive a wage or tax statement for that $800 that you just testified about? A I don't believe so. Q Do you know whether one exists? A No. 1469 Q When did you arrive at La Quinta? A December 30, 1977. Q And that was after you left the RPF? A Yes, sir. Q And what were you duties as La Quinta? A I was involved for the first six months or so in making movies. I worked in virtually all the departments of the production of movies that was going on at La Quinta. Q Was there a term that described the location or base at La Quinta? A We were called a number of things. We were called "SU" which meant "Special Unit." We were also called during that period -- this was the property known as WHQ, Winter Headquarters. There was supposed to be another one set up so that we could move from place to place. It was going to be Summer Headquarters. Q Who were you working for then? A L. Ron Hubbard. Q What type of movies were you making? A They were movies concerning Scientology. Q And did you have a cover story there? A Yes. Q As to who you were working for? A Yes. Q And did you receive briefings on that cover story? A Yes. 1470 Q What was the cover story? A There were two which developed during that period. The first one was that everyone on the property was there because we were friends of Norton Karno who was, I later found out, Hubbard's tax attorney. The next story had to do with we were making educational movies and they formed a movie company called "Perfect Pictures." So when I was out there was times when I was the location scout. And when I set up various locations for shooting movies, I used the name "Perfect Pictures" and the people involved in the shooting of the movies, many of them had Perfect Picture T-shirts. So it looked like a movie company. Q Was it your understanding that this movie company was under the control and direction of L. Ron Hubbard? A Yes. Q What was your understanding as to -- if any -- whether that company was related to the Church of Scientology? A Well, it was related to the Church of Scientology because everyone who was making movies was a SEA ORG member. Hubbard was the head of the Church of Scientology; the head of SEA ORG. We were all connected through him. 1471 Q Did he control all the details of your work? A Yes. Q Did you personally take directions from him during that period of time? A Yes. Q What were the command lines while you were at the Special Unit at La Quinta? A When -- generally they ran directly from Hubbard via a messenger to me on whatever function that I was doing. The messengers, as ordered by Hubbard, were in control of virtually every aspect of it down to the most minute detail. On some matters I would have an organizational senior who I would either also receive orders from or who would relay the orders from Hubbard or from the messengers. My senior during a great deal of my time was Norman Starky. Q Now, were these messengers referred to at that period of time as "Commodores Messengers"? A Yes. Q What was a Commodores Messenger? A The Commodores Messengers were individuals; they were generally young people who were Hubbard's personal messengers. And they relayed orders from him and relayed information to him. Q Now, did L. Ron Hubbard issue at that time what I believe has been marked as exhibit K, a flag order, 3729 issued under his name as L. Ron Hubbard, Commodore; the 1472 subject of Commodores Messengers? A Yes. Q Now, did the command lines of the Special Unit follow the orders of L. Ron Hubbard as set forth in exhibit K? A Yes. Q And what was the practice or understanding among people at the Special Unit such as yourself as to obedience to an order of a messenger? A Must be obeyed. 1473 Q And was it to be obeyed precisely as an order emanating from L. Ron Hubbard? A Yes. Q Now, during that period of tine did you also receive blank wage vouchers and get paid in cash? A Yes. Q And did you have an understanding as to whether this film unit was the personal film unit of L. Ron Hubbard? A Yes. Q And was it commonly referred to as such by the people working on it? A Yes. Q How long did you work in the special unit, Mr. Armstrong? A The special unit came to be known as both a location and as a sub-group in that location. We changed locations at the end of 1978 during a time when I was again in the RPF. Q And why were you ordered to the RPF at that time? A I was assigned by L. Ron Hubbard for -- he thought that I was joking about a -- about his film production. Q And how long did you spend in the RPF? A Eight months. Q And where was the RPF located at that time? A In La Quinta and then in December we moved to Gilman Hot Springs. 1474 Q And what were your duties or what did you do in the RPF during that period of time? A Principally during that time we had -- during the time that we were in the La Quinta area we worked majorly on L. Ron Hubbard's house which was in La Quinta. We tiled the floors. We painted it. We carpeted it. We cleaned the whole place out. Took out all the insulation, reinsulated all the heat and air ducts, and that is mainly what La Quinta was about. Sometime in early December we moved from La Quinta, the RPF moved from La Quinta to Gilman Hot Springs; and in Gilman Hot Springs again we were working on a house which was being renovated on the Gilman Hot Springs property for Hubbard. Q And how much did you get paid during that period of time? A $8.60 a week. Q And how many hours a week were you working? A Oh, probably 120. Q And did all of that work relate to working on L. Ron Hubbard's house? A Yes. Q Do you know in whose name the property was held that was L. Ron Hubbard's house? A I didn't know at the time. Q Did you subsequently learn? A I obtained a deed for the property from the Riverside County Recorder's Office. 1475 Q And was that as part of your archives duties? A That was subsequent to the -- after I left the organization. Q Did you have any understanding as to whether that property belonged to the Church of Scientology of California when you were working on L. Ron Hubbard's house? A No. Q Was L. Ron Hubbard living in the house that you were working on at the time? A No, the working -- well. I was in the RPF, and this went to approximately April 1979, I worked on the house continually through that period. Then I was able to get out of the RPF, and I continued on working on the house, and we were working day and night at that point in order to make it ready for him. We were expecting him to arrive at the end of April. He never did, in fact, arrive to reside in the house because again the cover for the property was blown; and as a result, sometime later he went into hiding completely, but he did arrive a number of times later in 1979. We had, by the summer of '79, the house was -- even earlier, probably by May, it was habitable and had been fully renovated, but he never came other than the occasional time. There was about a week period when he arrived on a daily basis or actually at night, and he came to the house and then went to -- there was a small studio which had been established in a reservoir, an underground reservoir on 1476 the property, and he came and conducted some still photo- graphy at that time. He came another several times throughout that year, principally to meet with Mary Sue. Q Now, during that period of time, did you receive orders from the Commodore's Messengers that this house was being readied for L. Ron Hubbard? A Yes. Q And, to your knowledge, where did all the funds come from to do all those renovations? A I -- they came from the same place that all other funds came from. Q And where was that? A That was from something called SEA ORG Reserves. Q And in April 1979, did you have a title in connection with your duties involving the house renovation? A To begin with, I was the LRH renovation purchaser, and this was for a couple of months after getting out of RPF. 1477 Then I became LRH's renovations in charge. And I continued on that post up until the end of 1979. Q Now, LRH stands for L. Ron Hubbard? A Yes. Q Was there a term used at that time called "The Household Unit"? A Yes. Q And what was that -- what did that term apply to? A The Household Unit contained the personnel who worked for L. Ron Hubbard directly taking care of personal household needs; that is as opposed to the personal office personnel who took care of needs outside the household, his accountant, so on. The Household Unit contained the LRH cook; LRH steward; LRH driver. I was the LRH renovations in charge. And I was the deputy commanding officer of the Household Unit on the Gilman Hot Springs property. And it contained the COHU, the Commanding Officer of the Household Unit. Q Who was that? A Up until the beginning of 1980, that was Kima Douglas. Q Did you get paid while you were the LRH renovations in charge in the Household Unit? A Yes. Q And who did you get paid by? A Either -- I believe Gary Press was the person at that point who was taking care of disbursements for the CMO 1478 Personal Office staff. Q Were you paid in cash? A Yes. Q Did you receive wage vouchers? A Yes. Q Were they blank? A Yes. THE COURT: We'll take a recess at this time. We'll reconvene at 1:30 (At 11:58 a.m. a recess was taken until 1:30 p.m. of the same day.) 1479 LOS ANGELES, CALIFORNIA; THURSDAY, MAY 10, 1984; 1:32 P.M. ---oOo--- THE COURT: Very well. In the case on trial, let the record reflect that counsel are present. GERALD ARMSTRONG, resumed the stand and testified further as follows: THE COURT: The witness has retaken the stand. Just state your name again for the record, sir. You are still under oath. THE WITNESS: Gerald Armstrong. THE COURT: You may continue, Mr. Flynn. MR. FLYNN: Thank you, Your Honor. DIRECT EXAMINATION (Resumed) BY MR. FLYNN: Q Mr. Armstrong, prior to lunch, do you recall your testimony about the period that you were working at the special unit at La Quinta? A Yes. 1480 Q And what was the date again that you were working at the Special Unit at La Quinta? A From December of 1977, December 30, '77 to the beginning of December 1978. Q Do you recall your testimony that Mr. Hubbard's cover was blown at La Quinta which caused a move to Gilman Hot Springs? Do you recall that? A Yes. Q What were the circumstances under which Mr. Hubbard's cover was blown? A There was an elderly couple named the Hartwells from Las Vegas or somewhere in Nevada. And they had been recruited to come out to the La Quinta property and be involved in a shooting of movies. And they were apparently promised various things which were not delivered. They subsequently left the property and went to the press or the authorities and there was -- the cover was blown through this elderly couple, the Hartwells. Q Now, was there a briefing that took place with regard to security at La Quinta during that period of time? A Well, I was briefed when I arrived at the La Quinta property. Q And what was that briefing? MR. HARRIS: And who gave it if he knows, for foundation, Your Honor. Q BY MR. FLYNN: Why don't you describe the circumstances of the briefing, Mr. Armstrong? A There was a briefing pack of materials which 1481 laid out what the shore story was for the La Quinta property. And I was briefed and checked out on those -- on those materials in what is called the Qualifications Division, INQUAL, in La Quinta in one of the buildings. 1482 Q Now, were there precautions taken with regard to the service of process on Mr. Hubbard at La Quinta? A Yes. Q And what were those precautions? MR. HARRIS: And how did he know, Your Honor? We are getting into -- THE COURT: Well, if you have an objection, counsel, please state it. MR. HARRIS: No foundation and hearsay. THE COURT: If you know, you can state it. If you don't know, you can so state. You, of your own personal knowledge. Counsel may be able to develop it in other ways. We are talking about basically matters that you are capable of responding to of your own personal knowledge. THE WITNESS: All right. I was familiar with the procedure to be followed regarding service of process through two ways. First of all, I was a guard on the property. In addition to the regular duties in connection with shooting the movies, a few times a week for a great deal of that time I had guard duty, and the guard duty -- the guard was stationed on Mr. Hubbard's -- the grounds of his residence; and before assuming guard duty, I was briefed and drilled on how to handle people making inquiries or process servers. But, in addition to that, everyone on the property was briefed at crew briefings, so everyone was briefed on exactly how to handle process servers or anyone like that. 1483 Q BY MR. FLYNN: And how were process servers to be dealt with? A Well, first of all, it was specifically -- if they had asked for anyone, and more particularly Mr. Hubbard, we were to deny that we knew that he was on the property or who he was, and we were not to accept any papers. If they forced them on us, we were to kick them away. Q And were there other precautions taken with regard to Mr. Hubbard's security at that time? A Well, the guard, of which I was one, had a walkie-talkie which had a preset channel which set off an alarm in several locations on the property and several of the buildings. Additionally, if anything -- if we were approached by anyone, we were to first of all push the alarm button on the walkie-talkie and alert the CMO member on duty. There was always a messenger on duty in Mr. Hubbard's house 24 hours a day, and we were to alert them. There was a car kept back of Mr. Hubbard's house which was to be used as a getaway vehicle, and we were to keep whoever it was outside the property until such getaway could be made. Q Now, and you were actually personally guarding L. Ron Hubbard; is that correct? A That is correct. Q And you were being paid at that time in cash with blank wage vouchers? A Yes. Q And I believe you testified this morning that 1484 Mr. Hubbard dictated all the details of your work at the Special Unit at La Quinta? A Yes. Q And what again was the cover story at La Quinta? What was the nature of the organization you were supposedly working for? A Well, we were all to be friends of Norton Karno. Norton Karno, it turned out, was Hubbard's tax attorney. Q Now, was there shredding or vetting or burning of documents at La Quinta that you participated in? A Yes. Q And what did that involve? A There was a couple of times in 1978 while I was on the property that we vetted or shredded materials which at that time showed either a connection to the Guardian's Office, connection to Mary Sue Hubbard or Hubbard's control of Scientology. Those were the criteria set down for vetting of materials. 1485 Q Were you briefed on what -- What is "vetting"? A Vetting is the examination of any document and the cutting out of the portion which, in this case, linked Hubbard in, for example, if he ordered a particular thing and there was an "LR" at the bottom, then the "R" could be cut out and then no one would know who in fact had ordered it. Q You testified earlier this morning about messengers. And you referred to exhibit K with regard to the policies of messengers following Mr. Hubbard's orders; were logs kept of those orders, the oral orders to messengers? A As long as I knew -- and this goes back to the beginning of 1971 -- every order that he ever gave was kept in a messenger log. Q When did you last see any of those messenger logs? A 1978. Q And where did you see them? A They are kept in the Messenger Office over at -- in the same residence in which Mr. Hubbard lived in 1978. Q Do you have any knowledge of the fact that those messenger logs were subsequently buried in concrete bunkers anywhere? A No personal knowledge. Q Now, were you given briefing or briefings on what vetting is? 1486 A Yes. Q And you have just testified about what vetting is; is that correct? A Yes. MR. FLYNN: Your Honor, may this be marked next in order? THE COURT: It will be marked W. Q BY MR. FLYNN: Would you examine exhibit W, Mr. Armstrong? Does that generally relate to the policies in which you were briefed on vetting? MR. HARRIS: Objection, Your Honor. Vague. If he saw this before and he can lay a foundation for it, that is something else. THE COURT: You may proceed in that fashion, counsel. Q BY MR. FLYNN: Have you seen this particular vetting policy, Mr. Armstrong? A Not while in the organization. Q Did you see a vetting policy similar to that? A Yes. Q In what way did the two differ? A This is more extensive. It is longer. The other one was on a single sheet of paper. The instructions on the other one dealt mainly with L. Ron Hubbard and connections to he Guardian's Office. The mentions of the criminal activities were not made in the vetting write-up which I saw. Q At a later point in time did you see this 1487 vetting write-up that has been marked as exhibit W? A Yes. Q When was that? A It would have been some months ago. You showed it to me. Q Now, when you were doing the vetting at the Special Unit did you follow the procedure outlined in that policy? THE COURT: Which policy? Q BY MR. FLYNN: As set forth in exhibit W, of using a razor blade to vet out information from documents? A That is correct. MR. LITT: Your Honor, we won't belabor it, but we believe that all of this is irrelevant and is improper. MR. FLYNN: I'll tie it all in, Your Honor. THE COURT: All right. Q BY MR. FLYNN: You testified this morning that after your duties at the Special Unit which you have described, Mr. Hubbard ordered you to the RPF; is that correct? A Yes. That was during my time in La Quinta. Q And during that period of time were you ordered to undergo security checks? A Yes. Q What is a security check, Mr. Armstrong? A In a security check a person undergoing the security check is made to hold onto the two electrodes of a small device which is similar or operates the same as a lie 1488 detector. And he is interrogated on various subjects and must answer the questions until the appropriate read is obtained on the device called the E-meter. MR. HARRIS: Your Honor, I move to strike unless the witness' expertise in the operation of a polygraph is established. MR. FLYNN: Your Honor -- THE COURT: The witness said similar. I'll overrule the objection. Some of these cases that have been submitted to me and the in-limine motions dealt with an E-meter. So I have some awareness of what has been written up in judicial opinions, for whatever it is worth. MR. FLYNN: Your Honor, may this be marked as next in order? THE COURT: Exhibit X. Q BY MR. FLYNN: when you were working for Mr. Hubbard did you read and were you trained with respect to policies on security checks? A Yes. Q And does the exhibit that is now in front of you constitute the policy that you read and were trained on with respect to security checks? A This is one of many. Q And with respect to your testimony that the device that you described was used as a lie detector, does it so state in that policy? A Yes. 1489 Q And were you generally interrogated in a security check about your intentions or attitudes toward Mary Sue Hubbard and L. Ron Hubbard? A Many times. 1490 Q How many security checks did you undergo while you were working for Mr. Hubbard? A Hundreds. Q Now after the period that you were in the rehabilitation project, you testified this morning that you went to the Gilman Hot Springs property and became the L. Ron Hubbard renovations in charge of the household unit; do you recall that? A Yes. Q What was the cover story with regard to the activities that were being conducted at the Gilman Hot Springs property? A There were a number of cover stories through a period of time. Q And what were they? A The first one was that we were members of the Scottish Highland Quietude Club -- excuse me for laughing. The next one was we were Friends of Richard Hoag. Q And you held yourselves out to the public as being members of the Scottish Highland Quietude Club? A Yes, that was very brief, and then we became Western States Scientific Communications Association. Q And were you drilled to hold yourselves out as such to people outside the property that you were working on? A Yes. Q Now in January of 1980 did you receive a briefing with regard to a potential government raid on the 1491 property at Gilman Hot Springs? A Yes. Q And what was that briefing? A That such a raid may happen and that we were having an all-hands vetting and shredding project. Q Was that briefing done orally or were you given written instructions? A We had a small note of criteria on which to base the shredding, and we were briefed orally. Q And what was the criteria? A Anything which connected L. Ron Hubbard to the Gilman or La Quinta properties; anything which showed any connection to the Guardian's office; anything which showed Hubbard's control of Scientology or Scientology finances; anything which showed any orders being written by Hubbard into the Scientology organizations. Q Who did yon receive that briefing from? A It was from one of the messengers. Q Do you recall which messenger? A I believe it was Shelley Miscavige -- Shelley Barnett. Q Barnett was her maiden name? A Yes. Q And did you in turn give a briefing to the people who were working for you? A Yes. Q And how many people were working for you at the time? 1492 A About six. Q And what generally were their duties? A Each person was to go through his or her respective areas and all documents, all papers in their respective areas and vet or shred. At this point almost everyone involved had done this process before, had gone through and vetted materials in their area. The degree of security had been stepped up so that materials which had previously been vetted; that is, a little section cut out with a razor blade were not be shredded unless they were absolutely essential, so it required that even materials which had been gone through before be now re-evaluated and this time shredded. It was a massive shredding with a much higher degree of security than previously, so I briefed each one of any people, all together actually on what the situation is and on what to look for and what to do. Q Now these five or six people, what were their duties in the household unit? A I had Don something-or-other who was the carpenter, and he was the LRH carpenter. I had Paco Suarez who was the LRH steward. I had Brenda Black. Her title was the LRH gear in charge. Q What did that mean? A She was in charge of all of Mr. Hubbard's materials which were stored on the Gilman Hot Springs property, 1493 and there was someone -- Lucy something-or-other who was in charge of LRH grounds and animals. Q And all of these people worked for -- strike that. All of these people had duties in which they were working in connection with activities for L. Ron Hubbard personally? MR. LITT: Objection; leading. THE COURT: If you know, you can answer. Overruled. THE WITNESS: Yes they were. Q BY MR. FLYNN: At that time, Mr. Armstrong, what were you being paid per week? A My recollection $20. Q And how many hours a week were you working? A Probably a hundred. Q Were you being paid in cash? A Yes. Q And what if anything was stated on the wage vouchers that were given to you when you were paid? A Nothing other than my name. 1494 Q Approximately how many people at the Gilman Hot Springs -- strike that. What was the Gilman Hot Springs property called? Did it have a code name? A It was called SU or some of us called it SHQ. Q Now, approximately how many people at the SU -- is that Special Unit? A Yes. Q Approximately how many people at the Special Unit were involved in the shredding and vetting operation in January, 1980? A Virtually everyone on the property. And that would probably be in excess of 200 people at the time. Q Where did you obtain shredding equipment? A The shredding equipment was rented. It was a very big industrial shredder. And it was rented by a man Sheldon Maysel and brought on to the property by him. Q When you say "a large industrial shredder," can you give us an idea as to its dimensions? A Yes. The -- when I call it an industrial shredder, we had several shredders on the property. It was always procedure to shred things. But the smaller shredders which we had could not handle that kind of volume. this could take in like a quarter of an inch of paper at one time. It was a massive shredder. It was probably three feet square. But the important factor was the amount of -- the motor power, the jaw size. 1495 Q And how were documents brought to the shredder? A In boxes, en masse. Q And how were the shredded pieces of paper removed from the shredding area? A They were packed up and trucked off the property. Q And how big were the trucks? A I believe they are called five ton trucks. Q How long did the shredding operations go on. A At least two weeks. Q And do you have an estimate as to the volume of paper that was shredded? A A million pages. Q In connection with the duties that you and your staff had to shred, what did you do? A The materials which I went through personally had to do with Hubbard's orders regarding the Gilman Hot Springs property. I shredded any order from him regarding work to be done on the property and then anything in which financial records, I cut out any reference to him. I oversaw the work which was being done by all my juniors. Q Now, Brenda Black was one of your juniors? A Right. Q What were her duties in the shredding operation? A She had exactly the same orders; she was to go through the LRH storage area. 1496 Q Where was that located? A Principally in the top floor of a condemned hotel on the property. Q What was the hotel called? A Del Sol. Q Did you instruct her to do that? A Yes. Q Were you generally aware of what was kept on the top floor of the Del Sol Hotel? A Generally, yes. Q What was your understanding? A That it was Mr. Hubbard's personal materials, anything which he owned. Q And at some point in time did Brenda Black come to you with materials that she had retrieved from the top floor of the Del Sol? A Yes. Q When was that? A It was during the same time period. It was one of the first nights of the vetting operation. Q And would you describe what occurred at the time she came to you? A She came to me; I was in the carpenter shop which is where my office was. And she brought in an old box and she asks, she said she had found these things and she wondered whether or not they should be shredded. Q Now, under the criteria that had been established for shredding, should they have been shredded? 1497 A Yes. Q And what decision did you make? A I evaluated that materials which I looked at that point predated Dianetics. And I thought that there could be no reason why the FBI or whoever was going to raid the property could tie Hubbard in via these documents. So -- Q What connection did they have to Hubbard? A Well, the fact they were obviously identifiable as his and they would have identified the fact that his materials were being stored at the property; thus indicating a control. No one else on the property had a whole top floor of the hotel dedicated to their personal belongings. Q So one of the criteria for shredding, namely, the location of property that was connected to Hubbard which was stored at Gilman Hot Springs; under that criteria this box of materials should have been shredded; is that right? MR. LITT: Objection. Leading. THE COURT: He already testified to it. Q BY MR. FLYNN: Under the other criteria you deemed that they predated Dianetics; is that correct? A Right. I made the independent judgment at that point that I recognized the historical value and I saved them for that reason. 1498 Q What did you do with this box? A Well first I questioned Brenda Black as to where she got it. She actually told me right away where it had come from, first from the garage and then up to Del Sol and then going through the materials she discovered it. So I asked her if there was anything more. My recollection is she wasn't sure at the time, but she had already located one other thing and that was a trunk of materials relating to the death of Quentin Hubbard, and I went with her at that time and looked at those materials concerning the death of Quentin Hubbard, and then I took the one box over to one of the buildings on the property, the Massacre Canyon Inn where the L. Ron Hubbard PR Bureau had an office, the reason I did that was because I saw historical value. The materials I saw related to a small diary from the period when Mr. Hubbard was in China, and I thought at that time that here was the proof of these things and that they had value, and that I already was familiar with Laurel Sullivan because we had been very close prior to that. I had been her junior, and I knew at that point of the biography project and I thought that they would have present value for the biography. So I determined to send them to her. Q Now, at that point in time was it your decision not to shred the materials? A Yes. Q What else -- what were the contents of the box other than the China diary that you described? A There were a number of personal letters, principally 1499 between Mr. Hubbard and his first wife. There was a book of handwritten short stories or outlines for stories which appeared to be from Mr. Hubbard's youth. Those are principally what I recall at this time. Q Now, the L. Ron Hubbard China diary, is that currently under seal? A Yes. Q How long of a period of time does the diary cover? A Just a couple of weeks. Q And was Mr. Hubbard in the Boy Scouts at the time -- strike that. Was it part of a YMCA trip to China? A Yes. Q And how long did the trip last according to the diary? A I recall a couple of weeks. It was only -- in China itself it was simply a train ride into China and a visit of the Great Wall and a visit to Peking. Q Now you brought the materials to Laurel Sullivan and what did she do with them if you know? A She had one of the girls who worked for her by the name of Share Karl photocopy them and then they were put into plastic bags and they were then given to a messenger by the name of Karen Clavel, and they were kept under Karen Clavel's bed, the reason being it was still deemed that the FBI could come in and take these documents. 1500 Q Now in addition to the historical value that you have testified about, at that time when you prevented the documents from going to the shredder, did you see any other value in them? A Well, that was principally it. Their values in the creation of a biography was what I immediately saw. There was collective value in addition to that. I was aware to some degree that people were collecting up L. Ron Hubbard memo- rabilia and that such a set of documents would have value. Q Now in connection with the value to the biography project, did you determine that there was value in the truth that could be found in the contents of the documents? A Well, I assumed at that point that with the documents that I found and the documents that I found over the next few days they would be able to put to rest the allegations which had been made in various of the media regarding Hubbard's past. I felt like here we had the documentary proof. Q And at that point in time did you read through very carefully all of the contents of these documents that were in the box and in the trunk? A No. Q You just skimmed them? A I only ascertained what they were, the fact that they were his, and never really got into the contents at that point. Q Now, in your mind at that time. Mr. Armstrong, what was their primary value? 1501 A I think in being able to document the truth of the man and to create the foundation for a biography. Q And after you collected the documents and gave them to Laurel Sullivan, did you then send a petition to Mr. Hubbard? A Yes. 1502 MR. FLYNN: For the record, Your Honor, this has been marked as exhibit F, I believe. THE COURT: All right. Exhibit F. Q BY MR. FLYNN: Do you know what Laurel Sullivan did with the copies of the -- that she made from the contents of the box from the trunk of the van what was buried or -- strike that -- other than what was placed under the bed of the messenger? A I was told at the time by Laurel that they were going to go to the PR Bureau in Clearwater and to the PERS SEC WW in the United Kingdom. MR. LITT: I move to strike on the ground of hearsay, Your Honor. THE COURT: It is evidence of what was told to him, his personal state of mind at that time. Q BY MR. FLYNN: Do you recall the date of your petition, Mr. Armstrong? A Yes. Q And when was the date? A 8 January, 1980. Q And at the time of the petition what essentially were you petitioning for? A To be able to collect up all the records, files of Mr. Hubbard; to assemble them and to do the research for his biography. Q And did you feel that it related to the success of various of Mr. Hubbard's personal undertakings? A Yes. 1503 Q And did you put that in your petition? A Yes. Q And did you feel that it related to the success of the Nobel Prize project? A Yes. Q What was the Nobel Prize project? A Mr. Hubbard had ordered in the end of 1979 that a Nobel Prize be obtained for him for his discovery or creation of the Purification Rundown. It was a series of steps which he felt could eliminate toxins and radio active particles from the body. Q Did you work on that Nobel Prize project? A Yes. Q What did you do? A I did some of the research to find out who the nominating committee was and to see whether or not we could locate anyone in the Scientology network who had a connection into any of the members of the nominating committee. Q And did you petition Mr. Hubbard to collect up the materials for the success of his biography and press legal handling? A Yes. Q And how did you know about the biography at that point in time? A Because I was familiar to some degree with the work that Laurel Sullivan was doing. We had been in RPF together for some months; we had worked together on the LRH renovations project and had 1503-A become familiar with the fact that there had been one planned for several years. 1504 Q What did you mean when you wrote Press/legal handlings? A Well, Mr. Hubbard had been the subject of press criticism for a long period of time. I know about this from -- on the ship. I knew about it from Clearwater. I knew about it from La Quinta, and I knew about it from Gilman Hot Springs, and always the story which was told to the people inside the organization was that these were just rumors and lies being created by the media, and I felt that with the documented proof we could put to rest all the entheta or the lies being spread by the media. Q So you felt that you would alleviate threats to Mr. Hubbard? A Yes. Q And you petitioned for that? A Yes. Q And you felt by doing this project, you could insure his free movement and the free movement of his actions and projects and ideas? A Yes. Q Did you petition to do this project to preserve valuable documents relating to L. Ron Hubbard? Was the box that Brenda Black brought to you when you found it exposed to the weather? A Yes. Q And would you describe in general its condition? A It was in a very beat up, raggedly cardboard box. Q Now, at the time that you made this petition 1505 was anyone also collecting personal documents of L. Ron Hubbard if you knew at the time? A I don't know of anyone at the time, not that I recall. Q And in the petition did you tell Mr. Hubbard that you had found his box of personal papers in the Del Sol? A Yes. Q And did you tell him that they were of immeasurable value to a biography? A I believe so. MR. LITT: Objection, Your Honor. The petition speaks for itself. THE COURT: Yes, it does. Q BY MR. FLYNN: Were they Navy documents that you found in the Del Sol, Mr. Armstrong? A I found a great deal of Navy documents there. Q And did the Navy documents pertain to L. Ron Hubbard? A Yes. Q Now when you petitioned, Mr. Hubbard, did you describe what your duties would be in this project? A Yes. Q And what were those duties that you envisioned? MR. LITT: Is that a question as to what is described in the petition? Q BY MR. FLYNN: What were the duties that you petitioned for? A Do you wish me to read them? 1506 Q Do you recall what they are? A I think principally, yes. THE COURT: Well, the writing is the best evidence of what his request was. Q BY MR. FLYNN: In any event, you did lay out a whole series of the duties in your petition to Mr. Hubbard? A Yes. Q And what did you do with the petition? A I put it in an out-basket and it went to Mr. Hubbard. Q And did these duties include the fact that you were going to collect documents all over the world relating to L. Ron Hubbard? A I believe so, yes. That was the intention of it. Q Do you know whether it went to Mr. Hubbard? A Yes. Q And how do you know? A I received an answer back from Mr. Hubbard approving my petition. Q Now, during your at this point ten years of involvement of working for Mr. Hubbard, had you become aware of the normal procedures for getting communications to and from Mr. Hubbard? A Yes. Q And what generally were those procedures? A It varied according to the time period, but during this time we had on our property the LRH External 1507 Communications Bureau and I knew during this time that Mr. Hubbard vas living in Hemet, and I knew of the procedure of mail drops, so I know that a petition to him during that period could get to him. Q Did you have personal knowledge that he was actually living at Hemet, California on January 8, 1980? A No. Q What knowledge did you have? A I had the knowledge that I received an answer. I received a subsequent answer. I confirmed with the person from whom I -- who typed, whose initials are on the bottom of his response that indeed it came from him and the person told me that yes, -- MR. LITT: Objection: this calls for hearsay. THE COURT: Well it is his state of mind. THE WITNESS: Since the initials on the bottom of it are BD, and they stand for Barbara Decelle, and I spoke to Barbara Decelle and she confirmed that he had indeed dictated the communication and that she had received it, the taped message and had typed it into the dispatch which I received. I knew also from working with Laurel. 1508 Q BY MR. FLYNN: When had you last seen Mr. Hubbard prior to January 8, 1980? A Sometime in late 1979. Q How did you know that he was living at Hemet? A Because I was in the Household Unit at the time and I was involved in drops and pickups of people, transferring them to the Hemet location. Q What are drops and pickups? A No vehicle would drive straight from the Gilman Hot Springs property to the Hemet address. We would simply arrange a drop and both vehicles would arrive there and then a transfer would be made at that point. Q Were these part of the security precautions taken to prevent Mr. Hubbard from being served with process, if you know? A Yes. Q Who was with him at the Hemet property at the time if you know? A I'm aware of a number of people who were there at the time. Q Who are they? A Mike and Kima Douglas; Lola Russo; Paco Suarez -- all of these are during, at least, part of that time -- Pat Nanenbroker. Q And were there routine and regular communications between Mr. Hubbard in Hemet and the Gilman Hot Springs property where you were located? 1509 A There were communications. I don't know how regular they were. There was a regular run, a regular traffic run every day. Q Now at some point in time did you receive an answer to this petition? A Yes. Q And do you recall when that was, Mr. Armstrong? A It was just a few days following this. MR. FLYNN: May that be marked next in order, Your Honor? THE COURT: We are up to Y. Is this two pages, or is it one? MR. FLYNN: I'll try to clarify that with the witness, Your Honor. THE COURT: All right. Q BY MR. FLYNN: What did you first receive in response to your petition, Mr. Armstrong? A I received the document which is the very bad copy here. Q What is the document which is the bad copy? A That is Hubbard's response approving the petition. There is a note on the top saying "Re your petition." There is no date on it that I can see. It appears to be a very bad copy. Q Where did you get this copy? A This was produced by the organization in the 1510 course of this case. Q Now, the copy is very difficult to read; do you recall what it said? A I can read it a little bit. (Reading:) "This sounds like an excellent idea. You'll have to be replaced properly, of course. Get with your senior and EC and get this carried out and let me know what you have worked out. "LR. " Q Now, what did "LR" signify in your experience? A Love, Ron. Q And had you seen numerous documents in your years of involvement with Mr. Hubbard in which communications came back from him in that manner? A Yes. Q And was it generally accepted by people who worked for Mr. Hubbard that that signified communications from him? A Yes. Q And was that the routine procedure in January 1980 with regard to receiving communications from him? MR. FLYNN: Your Honor, maybe that first one should be marked Y and the second one will be marked separately. THE COURT: All right. Q BY MR. FLYNN: Did you receive another communication relating to your petition? 1511 A Yes. Q And what was that communication, Mr. Armstrong? A It was another note from Mr. Hubbard. And it is after the petition was approved. I wrote up what is called a non-existent formula in which I asked people with whom I'll have a relationship while I am working on a post or project, I inform them what I am intending to do and ask them what they need and what from me. It is just a means of briefing people on what I was doing. I, in fact, had created a new post with this thing. It had never been done before. And once I had the petition approved by Mr. Hubbard, I sent various of these no-existent formulas or briefings to people, one of whom was Mr. Hubbard. And this is his response. Q So the collection of Mr. Hubbard's personal documents originated for the first time with you on a new post approved by him; is that correct? A Yes. MR. LITT: Objection. Leading, Your Honor. THE COURT: I'll let the answer stand. Q BY MR. FLYNN: Would you look on the routing of the document dated February 8, 1980 -- Exhibit Z, Your Honor? THE COURT: All right; Z. Q BY MR. FLYNN: -- and describe to the court what that routing means. 1512 A The top left corner is the name "Senior TRO Researcher." That was a post title which I developed so that it was recognizable and correspondence could be sent to and from me via organization communications lines; all the CCs refer to posts of individuals who receive copies of Mr. Hubbard's answer. The "F" at the bottom is simply "to file." That is Mr. Hubbard's file. 1513 Q Now, in your experience with Mr. Hubbard and the Church of Scientology, were any of those posts church posts? A Each one of these people is a person who worked directly for Mr. Hubbard. MR. LITT: Objection; nonresponsive. THE COURT: All right. I will strike it as nonresponsive. If you know, are they church posts? Q BY MR. FLYNN: In your experience -- THE COURT: Let's get an answer, or you withdraw it? MR. FLYNN: I will get to it. Q In your ten years of experience at this point with Mr. Hubbard in Scientology organizations, was a dis- tinction made between working for Mr. Hubbard and working for the Church of Scientology? A Not really, but at a certain level, as I explained before, there was degrees of working for Mr. Hubbard, and I was probably in the ultimate degree at this point. Each one of these people answered only to Mr. Hubbard. They didn't even know about Church of Scientology of California. MR. HARRIS: Is this witness purporting to state what was in the minds of the others, that they didn't know about the Church of Scientology, Your Honor? THE COURT: You want to read the last question and answer. (The record was read.) THE COURT: I will strike the latter portion unless 1514 there is some foundation shown. Q BY MR. FLYNN: What is the basis of your understanding, Mr. Armstrong, that you were working for L. Ron Hubbard in January of 1980? A Well, to begin with, I had been working for him for the last nine years, and I was in the -- at the point I wrote the petition, I was in the household unit and was working only for him. I worked on his house. I took care of his animals, his grounds, his offices. I had no communi- cation whatsoever with the Church of Scientology of California. He was the only one that I answered to, so then when I petitioned, I petitioned him to take possession of his archives and work on his biography, in his PR office, in his personal office. Those were the bases that were in my mind, although it never was a question at that time. It was just obvious to me. Q And at that time were you performing personal services for L. Ron Hubbard? A Yes. Q When you were performing these personal services for L. Ron Hubbard, were you engaged in any type of ecclesiastical or religious activity for the Church of Scientology of California? MR. LITT: Objection; that calls for a conclusion, or are we asking him his opinion? THE COURT: Well, I will overrule the objection. 1515 THE WITNESS: No. Q BY MR. FLYNN: Now, the initial appears in the lower left-hand corner of Exhibit Y, capital R, and then a colon, small bd. What does the R signify? A Ron, and L. Ron Hubbard. Q What does the bd signify? A Barbara Decelle. Q And who was she? A She was at that time the LRH personal secretary on the Gilman Hot Springs property. Q Now, you mentioned a document involving a non- existence formula; is that correct? A Yes. MR. FLYNN: For the record, Your Honor, I believe that's been already marked as Exhibit E. THE WITNESS: No, I believe that is a separate one that I sent to Mary Sue Hubbard. Q BY MR. FLYNN: Okay. Well, let me ask you this: Do you have a copy of the document that you previously described in your testimony as to nonexistence formula? A No. Q Do you know where it is? A It was left in the organization when I left. THE COURT: What is the significance of the words "nonexistence post"? Where did you get that? THE WITNESS: Your Honor, within Scientology there 1516 are various conditions relative to a post or something that one goes up, and nonexistence is at the bottom. I was non- existent at the time that I wrote it. No one knew of the existence of such a post. It was a brand new thing, so I wrote a briefing to each person involved laying out what function I was going to be performing. Hence, I, in that way, get out of nonexistence with those people. 1517 Q BY MR. FLYNN: You left the -- strike that. What was this other document? Was it just a description of what you just told the court? A More or less. In the meantime, a number of things had happened between the point that I had written the petition and the point I wrote the non-existence briefing. I had by that time obtained possession of a great number of the documents from Del Sol. So in addition to the first one or two boxes, I now had about 16 of them. Q 16 boxes? A Right; which I had gone through roughly and laid out in my communication to Mr. Hubbard what they were. I had also transferred -- by that time I had turned over all my records and finances connected with the LRH renovations post and I had moved over and was then working as the Senior PERS PRO researcher. Q How many pages was this document, Mr. Armstrong? A My recollection, it was three pages. Q And its purpose was to inform other individuals of the creation of the new post? A Well, the one I sent to Mr. Hubbard was different from the one I sent to Mrs. Hubbard, a copy of which has been made available to the court. It was a broader description of what I had found up to that point. Q And why did you send a broader description to Mr. Hubbard and a less-broad description to Mrs. Hubbard? A Well, it was Mr. Hubbard's biography that was 1518 being done and Mr. Hubbard's records which were being located and assembled in the PR Bureau. Q Was it your state of mind at the time that these were more personal and confidential to him? A Well, perhaps that was a part of it. They were his. If some of them by that point had been noted as Mrs. Hubbard's, it was very few. But it was his biography that was being done. Q Did you send the petition to -- strike that -- the non-existence formula to Mrs. Hubbard as a matter of protocol? A No. I actually -- I attached to the one I sent to her, my recollection, a copy of the one I had sent to him. It wasn't protocol so much, but the fact that Mary Sue Hubbard, who had been the man's wife, was obviously going to play a part in the biography. I wanted to alert her to what was being done and to -- I requested of her in my non-existent briefing any information on herself which she cared to pass on at that time. That was principally -- I sent these briefings to dozens of people on various posts internationally, asking each one of them to send me whatever they had. Q Did you get responses from these people? A Yes. Q And what responses did you get? 1519 A Well, from Mary Sue, I received a copy of a history of Mary Sue. This was provided by her secretary, Nikki and other people that I communicated with as well; Susan Anderson in the PR Bureau sent me some information. I don't recall any others right now, but various people responded. MR. FLYNN: Your Honor, if this other document exists in the files of the plaintiff or the intervenor, I would request that it be produced. I believe we have tried to get it before and have not been able to do so; namely, the communication to Mr. Hubbard. MR. HARRIS: If we can get a further description of it from Mr. Armstrong. Your Honor, I understood there was one nonexistent formula that is in the court's possession. This is a whole new one. If we could clear it up that there were more than one and the approximate date, we'll certainly look in our files. THE COURT: Can you be more specific as to the date when perhaps this thing was executed? THE WITNESS: It would have been sometime in early February 1980. And it was one which was sent to Mr. Hubbard. My guess is that there were a number of carbon copies. And that is based on the fact that he has carbon copied a lot of people on the return document. I know of the existence of such a thing because on my non-existence formula to Mary Sue, which would be 1520 around the same date, but it would be a few days prior to that, I mentioned in that document that I had sent one to Mr. Hubbard. 1521 Q And, in fact, that notation is made in the top first sentence on the second page of Exhibit E; is that correct, Mr. Armstrong? Namely, that "I have sent my non E formula to R and informed him what I plan to do in the biog." THE COURT: Does that have a specific heading or title or just a letter? THE WITNESS: It would be just like -- it would be something similar to the one sent to Mary Sue in which I wrote, "New post non E formula R biography handling." At that point I said, "Attached is my non- existence formula which I have sent to R and various executives in SU Pac, Flag and the UK." So it was various executives in the Special Unit out in Los Angeles. That is Pac. Flat is Clearwater, and UK. That would be at Saint Hill in the UK, and the top executives in each of those areas. Their files could be checked. The people at Flag would be LRH Personal Communicator, LRH Personal Secretary. At Pac would be LRH Personal Secretary. SU would be all the top SMO Personnel, and the UK would be David Gaiman, Sheila Gaiman, who were the Guardian and Guardian PR. THE COURT: Well, did you ever see any of these copies later on at the Cedars Complex? THE WITNESS: Oh, they were there when I left the organization. 1522 THE COURT: You know where they were physically so you could -- I mean, in what box or series of boxes, what room or whatever? THE WITNESS: Yes, they were in a file cabinet left in the archives area which I believe now has all been moved up to Mr. Vorm. I can't tell you the color of the file cabinet, but it would have been one of the file cabinets, and it would have contained information dealing specifically with the biography. There were various files. There was files to do with Oman Garrison, correspondence between Omar Garrison and various organization personnel; Omar Garrison and Mr. Hubbard, me and Mr. Hubbard, me and Mrs. Hubbard, and a great deal of information relating to the biography project. MR. HARRIS: Your Honor, I have seen within the last week something that is called a "nonexistence formula" written by Mr. Armstrong. However, I am confused because by his testi- mony I understand there to be two such things, and I will produce what I found. THE COURT: Well, produce whatever you found and have Mr. Vorm check further and generally where the witness has indicated, and we will take a 15-minute recess. (Recess.) THE COURT: All right. Let the record show that counsel are present. The witness has retaken the stand. Just state your name again for the record, sir. You are still under oath. 1523 THE WITNESS: Gerald Armstrong. THE COURT: Yes, Mr. Harris? MR. HARRIS: Yes, Your Honor. Though you didn't anticipate that I would be able to obtain it for you over this period of time, in fact, I have. This is the only one I have seen, and I think I have been through about everything there is and I will produce it to Your Honor, and I have given a copy to Mr. Flynn. THE COURT: I don't have any particular need for it unless it is going to be used in the trial. I presume it will be. MR. HARRIS: And I think it is on the defendant's exhibit list, too. Q BY MR. FLYNN: Mr. Armstrong, would you look at what Mr. Harris has referred to that was produced; is that the nonexistence formula that you sent to L. Ron Hubbard that you testified about? A No, it is not. Q What is that? A This was a document from the same time period which was sent to various other people. For Mr. Hubbard there was a different document, more -- a longer document, more detailed than this. MR. FLYNN: May this be marked next in order, Your Honor? THE COURT: Okay. Double-A. Q BY MR. FLYNN: Who did you send this to? 1524 A This was sent to people from whom I requested information. The principal reason was to obtain sources of either documents or data which would be helpful in the biography for the museum project. 1525 Q Now, when you sent communications to Mr. Hubbard, did you use a particular routing formula? A It would have gone via Senior PERS Bureau to messenger on duty to Mr. Hubbard. Q Now, let me show you the routing formula on your petition; would you describe to the court what that routing is? What does the "R" stand for? A That is L. Ron Hubbard. Q And then there is under that a "M on D." What is that? A It is "messenger on duty." Q And then your name? A Yes. Q When you sent the non-existence formular you described to L. Ron Hubbard did you use the same routing? A To my recollection, I would have put via the Senior PERS PRO Laurel Sullivan. Q Does that mean you would have just included her in the routing process? A Right. And I would have used the designation at this point, Senior R PERS Bureau Researcher. And I wouldn't have just used the name Gerry Armstrong. Q When was that? A This would have been in early February 1980. Q What was the purpose of your sending the non- existence formular to Mary Sue Hubbard? A To brief her on the fact that the biography project was being done; that I had located these materials; 1526 that as a result of locating them, we could now proceed with the biography and to elicit from her any information on herself in that she was going to be a -- obviously, a player in the biography; that is, in the book, the substance of the book because she was married to the subject. Q After having secured approval of the project from L. Ron Hubbard did you need any approval of any nature or description from Mary Sue Hubbard in order to proceed with the project and collect documents? A No. Q And when you wrote to her in connection with the non-existence formula did you specifically ask her for her input into the project? MR. LITT: Objection. The document speaks for itself. THE COURT: If you want to highlight something in particular, you may do so. But the letter does speak for itself. Q BY MR. FLYNN: Is there anything in the document which has been marked as 5 February 19780 Non-Existence Formula, exhibit E, in which you specifically elicited a particular type of response from Mary Sue Hubbard? A The majority of the letter is actually concerned with that. But I do ask specifically: ". . .to facilitate immediate data-gathering do you have any biographical data on yourself which you could send me? Geneology, I think, could be very useful, any 1527 data, actually, on any facet of your life, on Ron, the children, family anecdotes, the formative years of Scientology, facts, expansion, et cetera, which you wouldn't mind having known would be wonderful." Q Is that on page 2? A Yes. Q So you were specifically requesting from her biographical data on her for the biography; is that correct? A That is correct. Q And did she respond by letter dated February 11, 1980 which has been marked as exhibit D? A Yes. Q And did you receive that communication in response? A Yes. Q And did Mrs. Hubbard state in response to you: ". . .as regards my part in the book, you'll have to maintain a line with Nikki so that data may be obtained and checked by me"? MR. LITT: Objection. The document speaks for itself. Q BY MR. FLYNN: when you received that, Mr. Armstrong, did you understand that Mrs. Hubbard, per that communication, had to approve your collection of documents for the biography project? A No. Q What did you understand? 1528 A That regarding the biographical information on her, which I requested, she wanted me to get in touch with Nikki, who was her secretary, for the obtaining and her checking of that biographical information. 1529 A Now in your petition to Mr. Hubbard, your initial petition, why did you put your name, your full name in the upper left-hand corner? A Because I was not petitioning from a post but as an individual, so I never had a post title from which to communicate. I was not petitioning as the LRH renovations in charge, which I was at that tine. I was petitioning as Gerry Armstrong, an individual. Q And at any time during the period that you were collecting these documents, did you ever understand that you needed Mary Sue Hubbard's persission to collect documents for the biography project? A No. Q Was it ever an issue, Mr. Armstrong? A No. Q Did you in fact, check with Nikki Merwin to get data on Mary Sue Hubbard? A Yes. Q And what did you do in connection with trying to obtain that data? A I wrote to Nikki and she wrote back and she sent me a biographical piece which she told me had been included in a -- I am not sure of the right name. It was a presentencing report from the criminal case. Q And Nikki Merwin sent you that? A Yes. Q Did she send you any other material? A That was all. 1530 Q then was the next time that you communicated to Mary Sue Hubbard if you presently recall regarding the biography project? A To my recollection there were a few times throughout that period, but there is a couple which stick in my mind. The first was a biography project or program which was written some time in December of 1980, and that was sent to Mary Sue for approval because it was -- she was the senior available person, and there were targets which are steps to be done by people in the Guardian's Office or in the Controller's Office, so she had to approve of this thing because the project itself included Controller's Office and Guardian's Office personnel and targets to be done by these people. Q Who wrote that program up? A Laurel Sullivan and myself. Q How many pages is it? A I believe it is three or four pages. Q And what is it called? A I seem to recall LRH biography project. It is the central office of LRH ED. Q Is it called a COLED? A Yes. Q And what is your best memory as to the date of that COLED? A Some time in the summer of 1980. Q What does the term "COLED" stand for? A Central Office of LRH ED. 1531 Q What does "ED" stand for? A Executive Directive. Q When is the last time you saw that COLED? A Some time in 1981. Q And do you know where it is at the present time? A Inside the organization somewhere. Q Whose name is on it? A I don't recall if it was names. You mean as authors? Q It originated from you and Laurel. Did you both sign it? A Yes, it had both of our -- either our names or our post titles. I believe post titles. Q And who was it routed to? A I don't recall, but there are -- all of the people who had targets received copies. It was a broadly issued document. Q And you know for a fact that that went to Mary Sue Hubbard? A Yes. Q And how do you know that? A Because I know the routing that the originals -- CSW it is called, the request was sent on, a description of what was to be done and the reason for doing it. It was stapled on top of the proposed mimeograph. 1532 And that had to be approved before the -- before the thing which was finally published was in fact published. She was on the approval line. Q You mentioned that she was at that time the senior individual to authorize certain types of activities; what did you mean by that, Mr. Armstrong? A Mary Sue Hubbard was the controller; so she was over top of the Guardian's Office. And to -- she would have had to approve orders coming from us which involved Guardian's Officer personnel. Q And why were you seeking to -- what were you seeking to do with Guardian's Office personnel? A Well, utilize the Guardian's Office PR network and for the tours and that sort of thing to do with the promotion of the biography. Q So basically it was a proposal for that purpose, just COLED; is that correct? A It was an approved plan. The proposal was what was attached to the plan which finally got approved and published. Q When you say "published," what do you mean by that? A Within the Scientology network, it was run off in a mimeograph form so that each part of the complete network would be informed of the project and their respective parts in it. Q So they could assist you? A Right. 1533 Q And did you actually see an approval from Mary Sue Hubbard of this COLED? A Yes. Q And do you have that? A No. Q When did you last see that? A That would have been at the time it was approved. Q Did Laurel Sullivan see that approval? MR. LITT: I object. That calls for hearsay. Q BY MR. FLYNN: If you know. A I don't know. Q Was she in your presence when the approval came back, if you recall? A No, I don't recall that. Q Laurel Sullivan did participate in the preparation of the COLED; is that correct? A Yes. Q When did you next communicate with Mrs. Hubbard if you can recall relative to the biography project? A I sent her a briefing of what had been done, a lot of archives materials which I was finding, some of the situations which I was finding within the process of checking these things and what I was doing with the biography. And that would have been -- I believe it has already been shown to the court; although I am not sure -- sometime in 1980, perhaps August. THE COURT: Where were you stationed now in August, 1534 here in Los Angeles, Gilman, or what? THE WITNESS: In Los Angeles. MR. LITT: Is this in reference to the October 15, 1980 document? MR. FLYNN: Right. Before I get to that, though, I am going to go through this. Q The document that you just referred to, is that in fact dated 15 October 1980, Mr. Armstrong? A Yes. MR. FLYNN: For the record, that has been marked exhibit J. Q Now, before you sent that did you request any type of an order from the Personal Office of L. Ron Hubbard that you could use to collect documents and information? A Yes. Q And what did you do to solicit such a document, Mr. Armstrong? A Well, at that time I was in Los Angeles. And Pat Brice, who was then the LRH PERS SEC, she was called; was also in Los Angeles. And I requested of her at that time, which was just at the time I was planning a trip up to Washington state and Oregon, to locate some of the places where Mr. Hubbard had lived in his pre-Dianetics days and to interview some of his family members who were still living and who lived in that area. It was for that purpose and to give me entry with Mr. Hubbard's family that I requested this of 1535 Miss Brice. MR. FLYNN: May that be marked as the next in order, Your Honor? THE COURT: All right. Double B. Q BY MR. FLYNN: In connection with your request to receive exhibit BB, did you actually send a written communication soliciting exhibit BB? A I don't recall if I did or not. I may have. I spoke to her a number of times. There was a situation at the time I actually wanted such a letter from Mr. Hubbard because that would have been the obvious thing for gaining an entrance in to see the family. She was afraid of obtaining something from Mr. Hubbard because of the attempts at that point to have him served by use of the fact, the claim that he was getting his mail. If he were to sign such a document at that time, it would show that he knew what was going on. And -- MR. LITT: Objection. This is all hearsay, I gather. I assume he is reciting what is purportedly a conversation. THE COURT: I am not sure. Maybe you can clarify it, Mr. Flynn. Q BY MR. FLYNN: Was this the understanding inside the Personal Office of L. Ron Hubbard in regard to whether he could sign documents that could go out to the public? A Right. This is what I got. I knew it to be the case. And it was the reason I ended up with this type of document from the SEC rather than one coming from 1536 Mr. Hubbard. MR. LITT: I'll make the same objection, Your Honor. I don't know whether he is speaking of some collective knowledge, his personal knowledge, or if it is purportedly of his personal knowledge what the foundation of that knowledge is. He is making assertions about what he knew. THE COURT: I'll let it stand. Apparently he obtained this from Miss Pat Brice. Proceed. Q BY MR. FLYNN: Mr. Armstrong, did you have the original of exhibit BB in your possession at some time? A Yes. Q Do you know where it is now? A It was left in the organization. Q And was the original actually signed by Pat Brice? A Yes. Q And on the copy that we have, it is a poor copy. And you can barely make out the signature; is that correct? A Yes. Q Now, you testified that the next communication you sent to Mrs. Hubbard was on 15 October 1980; is that correct? A Yes. Q Now, let me show you what has been marked as exhibit J. 1537 Do you recognize that as the communication that you sent to her? A Yes. 1538 Q How did you route it to her at the time? A From me. I was the senior Pers Pro Researcher. I sent it via senior Pers Bureau who was Laurel, and via Controller Communicator who was Nikki Merwin to the Controller was Mary Sue Hubbard. Q What was the purpose of your sending Mrs. Hubbard exhibit J? A Laurel asked that I send Mary Sue a briefing on what was being done and Laurel expressed to we that in that Mr. Hubbard wasn't around, it was good to keep Mrs. Hubbard briefed. She was very interested in the materials which I have been locating and she had been enthusiastic about the fact that I had located materials which Mr. Hubbard had thought had been stolen in 1953, and Laurel said Mary Sue was very happy about that and she wanted me to just lay out a briefing of my activities and the success I was having at the time. MR. LITT: I assume this is introduced for the background of this communication and not for what Miss Sullivan purportedly said? THE COURT: Yes, as to what happened and the sequence of events and why it happened. Q BY MR. FLYNN: In fact, with regard to the notation that Mr. Hubbard thought his materials had been stolen prior to 1953, do you have any knowledge whether he had communicated that to Omar Garrison which was attached to the subsequent contract that was entered between PDK and Mr. Garrison and Mr. Armstrong? 1539 A Yes, he did. Q Now, were there to your knowledge routine communications in 1980 while you were collecting documents between Laurel Sullivan and Mary Sue Hubbard? A Yes, on practically a daily basis. Q And to your knowledge was Laurel Sullivan personally very close to Mary Sue Hubbard? A Yes, she was. Q And it was Laurel Sullivan that asked you to write a complete briefing to Mary Sue Hubbard of everything that you were doing; is that correct? A Yes. Q And again at that time did you need Mary Sue Hubbard's approval to collect documents from around the world for this project? A No. Q You did it because Laurel Sullivan asked you to? A Yes. Q Now did you tell Mrs. Hubbard that in January there had been a raid threat at the Special Unit which resulted in your collection of the initial set of materials? MR. LITT: Objection. Mr. Flynn is simply reading from the document. The document speaks for itself. THE COURT: It is true. It is not in evidence yet. MR. FLYNN: Well, I'd move it into evidence at this time. THE COURT: Any objection? MR. LITT: Well, yes. 1540 I mean, what is the purpose for which it is introduced, Your Honor? THE COURT: I suppose it is a communication from this witness inferentially to C of 10-15-80. MR. HARRIS: Given the witness' testimony, we have no objection to that going in. THE COURT: All right, it will be received. J is in evidence. Q BY MR. FLYNN: And did you make an effort to list some of the materials you had collected to that point in time? A Yes. Q Now at this point in time in October of 1980 what is your estimate, Mr. Armstrong, as to the quantity of materials that you had collected for the biography of L. Ron Hubbard? A Probably a couple of hundred thousand pages. Q And you told her, did you not, that the list goes on and on; do you recall saying that? A Yes. I don't know quite what the list was I was referring to, but -- at this point. I do recall that statement in the document, though. Q When you left your position collecting documents for the biography of Mr. Hubbard, approximately how many documents had you collected to that point in time? A Maybe five or six hundred thousand. Q And of the documents under seal what is your estimate as to approximately what percentage of the documents 1541 under seal has in relationship to the overall number of documents that you collected? A Maybe one or two percent. Q Now did you tell Mrs. Hubbard that many documents were being lost and destroyed because of their lack of being attended to and collected and you had discovered that fact? MR. HARRIS: Insofar as the question as phrased, "Did you tell Mrs. Hubbard" -- MR. FLYNN: I will withdraw it, Your Honor. Q Did you become concerned, Mr. Armstrong, that in the collection process you were finding that many documents were kept in damp, mildewed, unheated areas and were subject to being lost or destroyed? A Yes. Q And did you find that to be the case? A Yes. Q And where did you find that to be the case? A That was in the case in GOPR Archives WW. Q And did you go to GOPR Archives WW? A Yes. Q And that is Guardian's Office Public Relations Archives at Worldwide? A Yes. Q And that was in England? A Yes. Q And when did you go there? A In about September of 1980. 1542 Q And would you describe how large of a building those archives comprised in September 1980? A It is not a particularly large building. The PR Archives which you saw would have amounted to several hundred thousand pages. 1543 Q Were they all housed in one building? A What I saw of them were all in one building, yes. Q Now, is there anything of particular significance in your communication to Mrs. Hubbard of October 15, 1980? MR. HARRIS: Can we refer to the exhibit as opposed to Mr. Hubbard? It is addressed to Mrs. Hubbard, but that was specific testimony that she didn't receive it, Your Honor. Q BY MR. FLYNN: Referring to exhibit J -- A I'm really not sure what "your communication" means. Q BY MR. FLYNN: It was your purpose, was it not, to keep her fully abreast of what you were doing? A Yes. That is correct. MR. LITT: Objection. Leading, Your Honor. THE COURT: Why did you head this off with "Dear Sir:"? THE WITNESS: Your Honor, in the SEA Organization L. Ron Hubbard is the Commodore and she is the Deputy Commodore. And it is a -- in retrospect, I must admit it is a para-military organization which contains -- MR. LITT: We'll move to strike, Your Honor. THE COURT: I think he is trying to explain. I'll permit him to explain. I have already drawn the conclusion that it is sort of Navy-oriented. I was in the Navy myself at one time. 1544 Go ahead. THE WITNESS: everyone in the SEA Organization has a rank of some kind. I rose to the rank of Ensign. And depending on the situation, senior officers were called "Sir." Mary Sue was a senior officer. And within the SEA Organization, as opposed to within the Guardian's Office, for example -- well, Guardian's Office personnel did not go by the SEA Organization military designations. They went -- they would refer to her as Mary Sue. THE COURT: All right. You may continue, counsel. I didn't mean to interrupt. Q BY MR. FLYNN: Was it common for you to use the term "Dear Sir" in addressing Mary Sue Hubbard in her position as controller? A Yes. Q Was that commonly done by other people in your observation? A Yes. Q Did you receive a response from Mary Sue Hubbard to exhibit J? A Yes. Q And what was the response? A I don't recall in detail, but I definitely got an acknowledgement from her of receipt of this letter. Q And when did you last see that? A In the organization, sometime before I left. 1545 Q Do you know whether Laurel Sullivan received that response? A I don't recall if we discussed it or -- but we probably would have. MR. FLYNN: Your Honor, if that is available, may that be produced together with the COLED and the response, if any, of Mary Sue Hubbard to the COLED? THE COURT: Well, were these noticed to produce, any of these documents at any time? MR. FLYNN: They were, Your Honor. MR. LITT: They were? Can you provide that? MS. DRAGOJEVIC: I believe we received the COLED at one time, Your Honor. We simply can't locate it in our office at this time. We did receive it from the church. We have been looking for it and can't fine it in the office. The other items, I believe, were requested. We don't have our request for production in the court, but I would be willing to go back and look. THE COURT: Well, the only thing that I'm concerned about, I gather there are thousands and thousands of places to look. And I would think that if we can identify where these are likely to be if they are in existence, maybe that would be of assistance here and it wouldn't involve somebody with an order that would require an exercise of thousands of hours of effort here. I don't propose to do that. MR. FLYNN: Well, -- Q Do you know where they were left, Mr. Armstrong? 1546 A Yes. All of that type of communications was in one file cabinet in which were also contained the communications with Omar Garrison relative to the biography and any communications from Mary Sue Hubbard including communications from Omar Garrison and Mary Sue Hubbard and the various copies of my non-existence formulas and any other documents relating to the biography or archives or museum project were all in one file cabinet. Q Where was that file cabinet when you last saw it? A It was alongside of a wall where there was a bank of file cabinets inside the archives room. 1547 Q And were there file folders with headings on them that related to these or that may have contained these particular items; namely, the COLED, the response of Mary Sue Hubbard to the COLD and the response of Mary Sue Hubbard to exhibit J? A They would have all been in a file called "Biography Project." There was a few files which were biography project files which were not archives exactly, but related correspondence and documents relating to archives and to the biography project. THE COURT: Well, I will make an order, Counsel, that personnel make reasonable effort to try to locate those documents and report back. MR. HARRIS: The COLED I am given to understand, Your Honor, has a number on it. Maybe with this witness familiarity he could tell us what the number was or even the hundred or whatever within a hundred of what it was. THE WITNESS: I think if you were to just check the COLEDS which were issued in 1980, that would narrow it down within a hundred. MR. HARRIS: And the next is the alleged approval or acknowledgement of the exhibit J; is it? THE COURT: Yes, by Mary Sue Hubbard. MR. HARRIS: I have looked, Your Honor, and on that I know there is no such thing, and I have looked in the files. But I will check with personnel. THE COURT: All right, see what they can find. 1548 MR. FLYNN: Your Honor, I believe the church or the intervenor did introduce what has been marked as exhibit J, so they might look in the same file where exhibit J was filed. MR. LITT: That has already been looked at, Your Honor, but we will see if it is anyplace else. THE COURT: All right. Q BY MR. FLYNN: Now, from your nonexistence formulas, Mr. Armstrong, I understand that you were creating the LRH biographical archives; is that correct? A Yes. Q And did you prepare an outline of where you were collecting documents from for the biography project? A Yes. MR. FLYNN: And may that be marked as the next exhibit in order, Your Honor? THE COURT: Double C, I believe. Q MR. FLYNN: How, would you explain, Mr. Armstrong, exhibit double C to the court. A This shows the sources of at least the greatest percentage of the materials which were provided to me or made their way into the space which was designated LRH Biographical Archives, and also some of the materials which during that time were provided or went to Controller Archives. Q Now in some instances, for example, you have got an arrow from GOWW Archives directly to Controller Archives, but not over to LRH Biographical Archives; what does that mean, Mr. Armstrong? A Well, GOWW Archives actually was the source 1549 of what became the bulk, at least of the Controller Archives. Q And did you receive directly any documents from GOWW Archives without going through Controller Archives? A No. Q What persons did you deal with to get documents from GOWW Archives? A Well, there were -- I guess I dealt with Tom Vorm. Ultimately it came from his -- his Controller Archives came from there. Q And did you have an understanding when you received those documents from Controller Archives where they had come from? A Only through conversations with Tom Vorm and the fact that I knew of the trunks from when I was on the ship, and I knew roughly at that time the history of the trunks. 1550 Q What did you know about the history of the trunks? A About their being brought to the ship by Wally Burgess. Q What knowledge did you have when you were collecting these documents of how GO-WW archives worked? A I don't believe I had much knowledge of that at all. Q Well, you had been there; is that correct? A We are not talking about GO-PR archives. I never obtained any material during that time from GO-PR archives. They sat during that time in the UK, to the best of my knowledge. GO-WW, something else; they housed at a certain period what became controller archives and they were shipped over. Q Do you know where GO-WW archives were kept in the United Kingdom in England? MR. LITT: What time frame are we talking about? Q BY MR. FLYNN: Did you learn while you were collecting documents where GO-WW archives had been kept prior to the creation of controller archives? A In Saint Hill Manor, the exactly location, I don't know. Q What is your understanding as to when controller archives was created? A It would be in the late '70s. 1551 Q And the LRH Biographical archives was created with your position; is that correct? A That is correct. Q Did you understand or have any understanding that GO-WW archives contained master copies or a master inventory of everything in controller archives? A I wasn't sure if they contained everything. But it seemed likely, having seen GO-WW, that they contained at least the bulk of them. Q Was that your understanding from Mr. Vorm? A Mr. Vorm and I never discussed that. Q How did you arrive at that understanding? MR. LITT: Can we have the understanding clarified, Your Honor? THE COURT: I think it was an assumption or inference that he drew rather than -- he made a comment, "It seemed likely." And I don't -- THE WITNESS: I don't have any first-hand knowledge to be able to answer your question on that. Q BY MR. FLYNN: Well, when you were collecting documents from Mr. Vorm, was that your understanding? MR. LITT: Was what his understanding? MR. FLYNN: That the GO-WW archives were the master archives for the controller archives from which the controller archives were coming. THE WITNESS: I understood that all the controller archives came from there. I don't know that it was master archives. 1552 Q BY MR. FLYNN: Okay. Now, in the creation of the controller archives, there were two other arrows from "PERS COM FLAG N Purchased Items"; what does that mean? A During the course of my work collecting up the biographical archives, I had the files which were designated "PERS COM FLAG files" sent to Los Angeles from Clearwater. Those files covered principally the period of time on board -- while Mr. Hubbard was on board the ship and shortly thereafter in Clearwater and Dunedin. These things were kept off the property in Clearwater in a closet in Clearwater, one of the berthing buildings for the base. I found that in a trip I did to Clearwater in May of 1980 and I made arrangements for these things to be sent to me. When they arrived -- and there was a great number of them, about 30 or 40 boxes -- within the boxes themselves were a number of what we call technical or policy materials. And those were delivered directly to Mr. Vorm. The materials which were not technical and were not originals or carbon copies of policies which Mr. Hubbard had written, I took into my archives, biographical archives area. They could have been to do with any number of subjects. But the technical materials, Mr. Vorm, went to the PERS COM boxes and took out the technical materials himself. And I went through some and delivered them directly to Mr. Vorm. 1553 The purchased items, the reason that the arrow is there is because during the course of my traveling around the country, I would on occasion come across materials which I purchase. And if on -- a lot of times, it was materials that I did not have any interest in, but which I felt Mr. Vorm, in his capacity or the organization may have some interest in. They were not biographical. They were technical materials. So that kind of stuff, I would make arrangements and purchase. For example, there was a number of tapes. Mr. Vorm had the tape archives of all of the tape masters of lectures done by Mr. Hubbard. It was not complete. And Mr. Vorm and others were attempting to obtain the complete list of the complete tape library. So when I located people from the early days of Dianetics or Scientology who had tapes, I compared them with a master list which Mr. Vorm had to see whether or not included in the tapes which the people had were ones which Mr. Vorm did not have. And on those occasions, I purchased the tapes and brought them back to Mr. Vorm. So tapes and on another couple of occasions, I purchased technical originals or original technical writings by Mr. Hubbard which Mr. Vorm did not have. And I brought those back. These were not things which I was going to be needing because Mr. Garrison was not going to -- this was not going to be a book about Dianetics and Scientology; it 1554 was going to be strictly biographical. So I made the decision and sent those things directly to Mr. Vorm. 1555 Q So, is it basically fair to say that the technical items went into the controller archives and personal items relating to L. Ron Hubbard went into the LRH biographical archives? A Yes. Q And was this the understanding of everyone throughout the period of time that you worked on this project that you dealt with? A Yes. MR. HARRIS: To the extent the witness can generalize about the understanding of everyone, Your Honor. THE COURT: Well it was rather conclusionary, but I will let it stand. Q BY MR. FLYNN: Is there anyone that you dealt with in any Scientology organization throughout the period of time that you worked on the biography project, Mr. Armstrong, who refused to give you materials because they were personal records of L. Ron Hubbard? A No. Q And, in fact, you had the letter from Miss Brice; is that correct? A Yes. Q Now, there is a notation "Del Sol storage." Approximately what quantity of materials came from Del Sol storage that went into the biographical archives? A There were 21 or 22 boxes all together, different sizes and different shapes, and I think that the total must have been a hundred to two hundred thousand pages. 1556 Q And that was acquired by you right at the beginning of the collection process; is that correct? A Yes. Q And did Laurel Sullivan know that you had acquired those boxes right at the beginning of the collection process? A Yes. Q And how long thereafter did you continue to collect documents relating to the biographical archives? A Right up to at least the point I left the organization. Q Which was when? A December 12, 1981. Q Now during that period of time did anyone ever tell you to remove the Del Sol storage boxes from the biographical archives? A No. Q Now you have an arrow from the Pers Sec Flag files. Approximately what quantity of materials did you receive from that source for the biographical archives? A I would say another hundred or one hundred fifty thousand pages. Q What in general types of documents were involved in the Pers Sec Flag files? A There was a great deal of correspondence between Mr. Hubbard and friends, family, wives, father, mother, son. A lot of correspondence in those files. 1557 Q Who had possession; what person did you deal with to get possession of those materials that you just described? A Pat Brice. Q And she authorized you to have those materials? A Yes. Q And was she L. Ron Hubbard's personal secretary? A Yes. Q And what in general was the nature of the documents that came from Del Sol storage? A They were documents with -- they were early documents. The majority of them predated Dianetics, so they were pre-1950 documents. There were some documents included in there which went into the '50's, probably up to the mid- 50's. Q You had mentioned the documents pertaining to Quentin Hubbard as coming from Del Sol storage; do you recall that? A Yes. Q Now do you know how those materials got into Del Sol storage? A No. Q Did you ever give materials relating to the death of Quentin Hubbard to Omar Garrison? A Yes. Q What did you give to him? A There was a bunch of materials which was provided by the Intelligence Bureau to Vaughn Young who was then working 1558 with me on the biography project, and Vaughn had access to the Guardian's Office and obtained these things for me to deliver to Omar. Q Where did Vaughn Young obtain these from? A From B-1, Bureau 1 of the GOUS. Q Who is Vaughn Young? A Vaughn Young was at that time a member of the US Guardian's office in the public relations bureau. Q And who was his supervisor? A At that time I don't know. Q Mary Sue Hubbard was the controller over the Guardian's office; is that correct? A Yes. MR. LITT: What period of time are we talking about? THE COURT: Well, what period of time do you have reference to? THE WITNESS: This was in late 19- -- in the fall of 1980. Q BY MR. FLYNN: Now, do you know how these materials got into the Del Sol storage? A No. 1559 Q Do you know where Vaughn Young got his author- ization to get materials from the B-1 files relating to the death of Quentin Hubbard? A No. He did tell me that he got them from B-1. Who there, I'm not sure who made them available. Q What quantity of materials did he get from the Pers Sec WW files? A There was a very large box and a couple of smaller boxes. So I would say maybe 15,000 pages, maybe less. Q What in general was the nature of those materials? A They were Mr. Hubbard's files which had been maintained in the Pers Sec WW area which is inside the Saint Hill manor. They principally dealt with ships, with Hubbard's explorational company, with OTS, with Horticulture, activities in which Mr. Hubbard was involved at Saint Hill in the '60's. Q What is OTS? A Operation and Transport Services. Q And was that a corporation which was the predecessor to OTC? A Yes. Q So the documents relating to the Hubbard explorational company came from the Pers Sec WW files; is that correct? A Not all of them. 1560 MR. HARRIS: Objection. Ambiguous, Your Honor. The files, there has been already testimony from Mr. Vorm and is on an inventory list of a mass of HEC documents. THE COURT: You can reframe the question. Q BY MR. FLYNN: Where did the materials come from, Mr. Armstrong? A They came from either the controller's archives or from the Pers Sec WW files. There was also some in Pers Sec files. Q What is the difference between Pers Sec files and Pers Sec WW files? A Pers Sec Flag. Q There were HEC materials there also. A yes. Q Do you know of any other place where there were Hubbard explorational company files? A I can't say for certain, there is something in my mind when I went through the GO PR Archives at WW in finding files on that subject there. Q But in any event, you are certain HEC Hubbard explorational materials came not only from controller archives but from these other sources too; is that correct? A Yes. 1561 Q And approximately what quantity of materials came from Pers Com Flag for the biographical archives? A That was again probably a couple hundred thousand pages. Q And what is general was the nature of those materials? A Those were principally from the period when Mr. Hubbard was on the ship, and some subsequent from Dunedin, and that was principally it. Q And approximately what quantity of materials came from purchased items for the archives? A Very, very small amount, maybe 300 pages. Q And what was the nature of those items? A There were two main sets which come to mind. The first was from Barbara Snader, who was a girlfriend of Mr. Hubbard's in the early '5Os, and the other set was from a woman by the name of Helen O'Brien, who was the head of Dianetics-Scientology is the U.S. in the early 1950's, 1952. Q And the last category, B-1 files, what quantity of materials came from B-1 files that went into the biographical archives? A I would say there was maybe a thousand pages. Q And what in general was the nature of those materials? A Those referred to Quentin Hubbard, Mr. Hubbard's naval records obtained under the Freedom of Information Act. Maybe these would be 2,000 pages total, and the pack of materials entitled "Estimate and Reader's Digest." 1562 Q Did Vaughn Young give you those? A Yes. Q And do you know whose authority he did it with? A No. Q So there were naval records in the Del Sol storage and naval records in the B-1 files; is that correct? A Yes, at least. Q There were also some naval records in Pers Sec Flag files, but the the most extensive sources were the Del Sol storage and the B-1 files. Q And there were Quentin Hubbard documents in the B-1 files and in the Del storage; is that correct? A Yes. However, the Quentin Hubbard files in Del Sol storage, I believe, were sent off the property in the beginning of 1980. 1563 I went to Laurel and mentioned that they were there. And it was considered at that time that it would be safer to move them off the property. Where they went at that point I am not sure. Q Who made the decision to move them? A Laurel. This is what I got from her. I dropped the subject at that point. Q And did the subject come up at a later point in time? A I don't believe I have ever discussed it with her. MR. FLYNN: Perhaps this would be a good time to break, Your Honor. THE COURT: We'll accept that. We'll recess until 9:00 o'clock tomorrow morning. (At 4:00 p.m. an adjournment was taken until Friday, May 11, 1984 at 9:00 a.m.) ************************************************************* Other documents from Scientology v. Armstrong, LA Superior Court Case No. C 420153 (Armstrong I) webbed at: http://www.gerryarmstrong.org/50grand/legal/a1/index.html © Gerry Armstrong http://www.gerryarmstrong.org