line 18 to 20. Do you see that? 0135:55 8 ""He came pretty -- he pretty often. I would
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page 03:35:54 7 ""How often did he come?
to the -- 03:35:32 22 this citation supported that factual assertion.
its a representation to the court that the 03:35:27 20 Q. No. My -- my only question is in this brief
when a lawyer signs a 0135:26 19 Alessi depo ""-
that's what I'm saying. I would like -- my
you were representing that the factual 03:35:02 5 would says as least four or five times a year.""
maybe I need to -- this is starting to get into
reviewed citations -- I'm going to be asking
that the 03:32:08 15 A. As opposed to somebody else on the legal
attorneys represent victims all the 0312
and I think you know that there are a number of 03:31
00 25 Q. And in any of those background conversations
correct? 03:31:24 22 Q. I'm going to keep going. On the -- this is
but it shouldn't be 03:31:14 15 so you --
it would generally mean that this is 03:31:11 13 take a little -- a little time
but shouldn't attribute it to a 03:30:52 7 Exhibit 2
yes. 013024 3 THE WITNESS: All right. So I'm going to
and I have spoken to 031022 2 communications. You can't reveal that.
but I would -- I think most of the -- what