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Trial of David Westerfield, criminal defense trial San Diego California
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Transcript of David Westerfield preliminary hearing - March 11, 2002
SAN DIEGO, CALIFORNIA; MONDAY, 3-11-02; 10:15 A.M.
WITNESSES:
Lieutenant Jim Collins, Dr. Brian Blackbourne, Dr. Norm Sperber

Page 1
1  
2                            -0-

3   (THE FOLLOWING PROCEEDINGS WERE HELD IN OPEN COURT.)

4       THE COURT:  GOOD MORNING.  THANK YOU FOR YOUR 

5   PATIENCE.  WE HAD SOME LOGISTICS PROBLEMS.  

6   HOPEFULLY, THEY WON'T REOCCUR. 

7            THIS IS THE PEOPLE OF THE STATE OF 

8   CALIFORNIA VERSUS DAVID WESTERFIELD. 

9            WHO IS HERE FOR THE PEOPLE, PLEASE?


10       MR. DUSEK:  JEFF DUSEK FOR THE PEOPLE. 

11       MR. CLARKE:  GEORGE CLARKE FOR THE PEOPLE, YOUR 

12   HONOR.

13       THE COURT:  FOR THE DEFENSE?

14       MR. FELDMAN:  YOUR HONOR, STEVEN FELDMAN 

15   APPEARING ON BEHALF OF DAVID WESTERFIELD, WHO IS 

16   PRESENT AND BEFORE THE COURT. 

17       MR. BOYCE:  ROBERT BOYCE FOR MR. WESTERFIELD, 

18   WHO IS PRESENT, YOUR HONOR.

19       THE COURT:  THANK YOU. 

20            AND WE HAVE AN ATTORNEY FOR THE POLICE 

21   DEPARTMENT, DO WE NOT?

22       MR. COOPER:  PAUL COOPER ON BEHALF OF THE 

23   SAN DIEGO POLICE DEPARTMENT. 

24       THE COURT:  MR. COOPER, WE HAVE THE MOTION THAT 

25   WAS FILED BY THE DEFENSE SOMETIME LATE LAST WEEK 

26   REQUESTING CERTAIN RELIEF.  I'LL APOLOGIZE TO YOU 

27   AHEAD OF TIME, I HAVE NOT SEEN ANY RESPONSIVE 

28   PAPERS. 






Page 2

1            DID YOU FILE ANY?

2       MR. COOPER:  NO, YOUR HONOR.

3       THE COURT:  BY NOT FILING ANY, MAY I ASSUME YOU 

4   HAVE NO OBJECTION TO AN ORDER?

5       MR. COOPER:  NO, NO OBJECTION, YOUR HONOR. 

6       THE COURT:  THEN THE ORDER REQUESTED BY THE 

7   DEFENSE PRECLUDING ANY POLICE DEPARTMENT OFFICERS OR 

8   OFFICIALS OR INVESTIGATORS FROM CONTACTING 

9   MR. WESTERFIELD WITH REGARD TO THIS CASE IS GRANTED. 

10       MR. FELDMAN:  ONE SMALL, MINOR POINT.  THANK YOU 

11   VERY MUCH, YOUR HONOR, FOR THE ORDER.  IN THE CRUX 

12   OF DISCOVERY THAT'S BEEN PROVIDED, WE WERE PROVIDED 

13   AND AT LEAST OBTAINED LATE LAST NIGHT AND REVIEWED 

14   DISCOVERY PAGE 1299.  I'VE ALREADY CALLED THIS TO 

15   THE ATTENTION OF MR. DUSEK AND SHOWN COUNSEL FOR THE 

16   POLICE DEPARTMENT. 

17            IT DOES APPEAR THAT THE DETECTIVES WENT 

18   WITH AN AUDIO TAPE CASSETTE WHICH HAS BEEN CHECKED 

19   INTO EVIDENCE.  WE DO NOT KNOW THE EXTENT TO WHICH 

20   THEIR ILLEGAL ACCESS OR ATTEMPTED ACCESS TO OUR 

21   CLIENT -- WE DON'T KNOW WHETHER OR NOT AND HOW THAT 

22   WAS MEMORIALIZED. 

23            WHAT WE DO KNOW IS THAT THERE WAS AN AUDIO 

24   TAPE.  IT'S CHECKED INTO EVIDENCE WITH THE POLICE 

25   DEPARTMENT AND WE HAVE NOW REQUESTED THAT THAT BE 

26   PRODUCED SO THAT WE CAN ADDRESS THE ISSUE OF WHETHER 

27   OR NOT FURTHER SANCTIONS ARE APPROPRIATE. 

28       THE COURT:  COUNSEL, ISN'T THAT PART OF YOUR 






Page 3

1   NUMEROUS MOTIONS THAT YOU FILED ON THE 11TH?

2       MR. FELDMAN:  I DON'T THINK WE RAISED THE ISSUE 

3   THAT THEY HAD FOUND THE TAPE --

4       THE COURT:  BUT I THOUGHT THAT YOU ASKED FOR 

5   WHATEVER THEY HAD.  AND IF YOU DIDN'T, I WOULD BE 

6   SURPRISED. 

7            NOW, LET ME MAKE THIS SUGGESTION TO YOU:  

8   WE'RE NOT AT THE TRIAL STAGE.  I DON'T SEE THAT 

9   WHATEVER HAPPENED OR DIDN'T HAPPEN IS GOING TO HAVE 

10   ANY EFFECT ON THE PRELIMINARY HEARING.  IT IS MY 

11   SUGGESTION THAT YOU COMMUNICATE WITH THE DISTRICT 

12   ATTORNEY AND THE POLICE DEPARTMENT AND RESOLVE THIS 

13   ISSUE.  I THINK EVERYBODY KNOWS WHAT THE LAW IS.  SO 

14   SEE IF YOU CAN GET IT RESOLVED.  IF FOR SOME REASON 

15   YOU BELIEVE IT'S GOING TO HAVE SOME EFFECT ON THE 

16   PRELIMINARY HEARING, YOU LET ME KNOW.  WE ARE JUST 

17   STARTING.

18       MR. FELDMAN:  THANK YOU, YOUR HONOR. 

19       MR. COOPER:  THANK YOU, YOUR HONOR.

20       THE COURT:  MAY I ASK YOU COOPERATE?  I KNOW YOU 

21   WILL.

22       MR. COOPER:  YES.

23       THE COURT:  AND TALK.  THESE ARE PROFESSIONALS 

24   HERE, SO I'M NOT WORRIED ABOUT THAT.  THANK YOU.

25            I THEN HAVE A SERIES OF MOTIONS THAT WERE 

26   FILED THIS MORNING.  I UNDERSTAND THAT THE DISTRICT 

27   ATTORNEY'S OFFICE WAS SERVED WITH THESE DOCUMENTS.  

28   I DON'T KNOW EXACTLY WHEN. 






Page 4

1       MR. DUSEK:  PROBABLY 15 MINUTES AGO. 

2       THE COURT:  OH, ALL RIGHT.  I WOULD ASSUME, 

3   ALTHOUGH MAYBE I SHOULDN'T, THAT THE DISTRICT 

4   ATTORNEY WOULD LIKE SOME TIME TO AT LEAST READ THEM 

5   BEFORE RESPONDING. 

6            IS THAT FAIR?

7       MR. DUSEK:  ON THESE MOTIONS, YOUR HONOR, I 

8   THINK THEY CAN BE RESOLVED RIGHT NOW.

9       THE COURT:  OKAY.  THAT'S GOOD.

10       MR. FELDMAN:  YOUR HONOR, I DID COMMUNICATE THE 

11   CONTENTS OF THE MOTIONS TO THE D.A. YESTERDAY.

12       THE COURT:  I HAD SOME UNDERSTANDING THAT THAT 

13   WAS GOING ON.  ALL RIGHT.  SO LET'S TAKE THEM UP AND 

14   ONE BY ONE. 

15            COUNSEL?

16       MR. FELDMAN:  YOUR HONOR, WITH REGARD TO 

17   NUMBER ONE, MR. CLARKE THIS MORNING PROVIDED ME WITH 

18   THE REQUESTED INFORMATION FROM THE COUNTY CORONER.  

19   HOWEVER, COUNSEL FOR THE SHERIFF'S DEPARTMENT 

20   ADVISED THAT THEY HAD PROVIDED A RESPONSE TO THE 

21   SUBPOENA, THE COUNTY JAIL RECORDS, BUT WE DON'T KNOW 

22   WHERE THEY ARE IN THE BUILDING.

23       THE COURT:  ALL RIGHT.  WELL, THEY'VE COMPLIED.  

24   BECAUSE THIS PRELIMINARY HEARING, THE LOCATION OF 

25   THIS PRELIMINARY HEARING HAS CHANGED SEVERAL TIMES 

26   TO ACCOMMODATE THE PEOPLE WHO WANT TO SEE THIS IN 

27   THE PRESS, IT MAY BE BETWEEN MY DEPARTMENT AND THE 

28   PRESIDING SUPERVISING CRIMINAL DEPARTMENT.  WE'LL 






Page 5

1   TRY TO SEARCH IT DOWN AND GET IT FOR YOU. 

2            LET ME JUST CORRECT ONE MINOR THING.  WE 

3   ARE IN THE PRESIDING DEPARTMENT.  BUT I HAVEN'T BEEN 

4   ELEVATED.  I AM A TRIAL JUDGE THAT HAPPENS TO BE 

5   SITTING HERE. 

6            ALL RIGHT.  SO THAT TAKES CARE OF 

7   NUMBER ONE; CORRECT?

8       MR. FELDMAN:  YES, YOUR HONOR.

9       THE COURT:  ALL RIGHT.

10       MR. DUSEK:  I MIGHT INDICATE THAT THE DISCOVERY 

11   IS SUPPOSED TO COME THROUGH THE DISTRICT ATTORNEY'S 

12   OFFICE RATHER THAN COUNSEL SEEKING IT ON HIS OWN, AT 

13   LEAST THROUGH THE POLICE AGENCIES AND THE AGENCIES 

14   INVESTIGATING THIS CASE.  WE HAVE COMPLIED AND GIVEN 

15   HIM COPIES OF THE AT LEAST WHAT WE HAVE FROM 

16   DR. SPERBER AND FROM DR. BLACKBOURNE.  AND ALL OTHER 

17   OF THESE TYPES OF DOCUMENTS, THE REQUEST SHOULD BE 

18   MADE THROUGH US RATHER THAN INITIATING ON HIS OWN.

19       THE COURT:  THAT'S PROBABLY A GOOD IDEA.

20       MR. FELDMAN:  WELL, I SENT A 12-PAGE DISCOVERY 

21   REQUEST LETTER THAT WAS FAXED OUT OF MY OFFICE ON 

22   MARCH THE 2ND, YOUR HONOR.  MAYBE I MISSPOKE.  MAYBE 

23   IT'S ONLY 11 PAGES.

24       THE COURT:  COUNSEL, HERE WE ARE --

25       MR. FELDMAN:  NINE.

26       THE COURT:   -- TEN DAYS INTO THIS CASE.  AND I 

27   CAN UNDERSTAND HOW YOU WANT TO COVER ALL BASES.  

28   COUNSEL IS CORRECT. 






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1            OKAY.  THAT TAKES CARE OF ITEMS NUMBER ONE. 

2       MR. FELDMAN:  YES. 

3       THE COURT:  NUMBER TWO, HAVE YOU SPOKEN TO THE 

4   SHERIFF'S DEPARTMENT ABOUT THIS FIRST?

5       MR. FELDMAN:  I SPOKE WITH THE SHERIFF'S LIAISON 

6   OFFICER, YOUR HONOR, MR. SHELBY.

7       THE COURT:  MR. SHELBY I SAW.

8       MR. FELDMAN:  YES.  AND I WAS ADVISED -- 

9       THE COURT:  YOU WERE ADVISED WHAT?

10       MR. FELDMAN:  PROBABLY WOULD BE APPROPRIATE TO 

11   TAKE THIS UP WITH YOUR HONOR.

12       THE COURT:  DO YOU HAVE ANY OBJECTION FOR THIS 

13   ONE TIME?

14       MR. FAIGIN:  YOUR HONOR --

15       THE COURT:  WHO ARE YOU?

16       MR. FAIGIN:  ROBERT FAIGIN PRESENT ON BEHALF OF 

17   THE SHERIFF'S DEPARTMENT. 

18       THE COURT:  OH, I'M SORRY.  GIVE US YOUR NAME 

19   AGAIN, PLEASE.

20       MR. FAIGIN:  ROBERT FAIGIN.

21       THE COURT:  OKAY.

22       MR. FAIGIN:  AND WITH REGARD TO -- WITH REGARD 

23   TO NUMBER TWO, IT'S THE DEPARTMENT'S POSITION THAT 

24   FOR PURPOSES OF SECURITY, THAT WE WOULD PREFER TO 

25   HAVE THE INVESTIGATOR GO THROUGH THE NORMAL 

26   SCREENING PROCESS SO THAT WE CAN ENSURE THE SAFETY 

27   OF ALL OF THE MEMBERS OF THE BENCH AS WELL AS THE 

28   PUBLIC, ET CETERA, IN THE COURTHOUSE. 






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1            OBVIOUSLY, I UNDERSTAND IT'S A MATTER OF 

2   CONVENIENCE; HOWEVER, I DON'T THINK IT'S IMPOSSIBLE 

3   TO ASK THE INVESTIGATOR TO SIMPLY APPEAR A LITTLE 

4   EARLIER TO TRY TO GET THROUGH THE SCREENING PROCESS 

5   A LITTLE BIT QUICKER.

6       THE COURT:  COUNSEL?

7       MR. FELDMAN:  YOUR HONOR, MARION PASAS HAS BEEN 

8   A DEFENSE INVESTIGATOR IN THIS COMMUNITY FOR BETTER 

9   THAN A DECADE OR TWO.  SHE WAS THE INVESTIGATOR IN 

10   THE BRODERICK CASE.  SHE'S BEEN AN INVESTIGATOR FOR 

11   ME IN A NUMBER OF HIGH-PROFILE CASES.  NEVER BEFORE 

12   AND ONLY, FRANKLY, SINCE SEPTEMBER 11TH, HAS THE 

13   SECURITY BEEN SO MAGNIFIED.  SHE HAS PROPER 

14   CREDENTIALS.  SHE REPRESENTS NO SECURITY THREAT.  

15   AND THE IDEA THAT WE SHOULD DELAY OUR ABILITY TO 

16   INVESTIGATE OR DO OUR WORK BECAUSE IT'S MAYBE A 

17   LITTLE BIT EASIER, IT DOESN'T SEEM FAIR.

18       THE COURT:  I UNDERSTAND.  HERE'S MY PROBLEM.  

19   WHEN I FIRST READ THIS, MY GUT REACTION IS WHAT 

20   DIFFERENCE WOULD IT MAKE.  MAKES A LOT OF SENSE TO 

21   ME.  BUT WE ALL KNOW THAT AFTER 9-11 MANY THINGS 

22   HAVE CHANGED. 

23            SO I HAVE NO DOUBT THAT SHE IS AN 

24   UPSTANDING MEMBER OF THIS COMMUNITY AND NO DANGER TO 

25   ANYONE IN THIS COURTHOUSE.  HOWEVER, ONCE WE START 

26   MAKING EXCEPTIONS, I'M GOING TO HAVE ANOTHER 

27   ATTORNEY IN HERE WITH SOME INVESTIGATOR THAT I'VE 

28   KNOWN FOR 30 YEARS ASKING ME TO DO THE SAME THING. 






Page 8

1            SO BECAUSE OF THE 9-11 SITUATION, THE FACT 

2   THAT I TRY TO LEAVE SECURITY TO THE SECURITY PEOPLE, 

3   YOU MAY KNOW THAT I DIDN'T HAVE MUCH TO DO WITH THE 

4   SECURITY ARRANGEMENT FOR TODAY.  I LEFT IT TO THEM.  

5   UNLESS THERE WAS A PROBLEM. 

6            I UNDERSTAND YOUR REQUEST.  I RESPECT YOUR 

7   REQUEST.  I RESPECT YOUR INVESTIGATOR.  BUT BECAUSE 

8   OF THE SECURITY PROBLEMS ENHANCED BY 9-11, I'M GOING 

9   TO DENY THE REQUEST. 

10       MR. FELDMAN:  COULD YOU AT LEAST CONSIDER 

11   ALLOWING HER TO MOVE AHEAD OF THE LINE SO SHE CAN 

12   CLEAR SECURITY WITHOUT UNREASONABLE DELAY?  THE 

13   LINES HAVE DELAYED SOME OF US 15, 20 MINUTES.

14       THE COURT:  I UNDERSTAND.  MAYBE SHE CAN 

15   ACCOMMODATE HERSELF BY GETTING HERE A LITTLE BIT 

16   EARLY.  THANK YOU. 

17            NEXT ONE IS TO ADMONISH WITNESSES AGAINST 

18   DISCUSSING THEIR TESTIMONY.  LET'S JUST START WITH 

19   THAT.  NO ONE DISAGREES WITH THAT.  WE'LL GET THEM 

20   IN HERE.  I'M SURE THAT YOU'VE ALREADY DONE THAT. 

21       MR. DUSEK:  THOSE THAT I'VE SPOKEN TO, I'VE 

22   INFORMED.

23       THE COURT:  DO YOU WANT THEM IN HERE SEPARATELY 

24   SO THAT I CAN ADMONISH THEM? 

25            THERE'S A SECOND PART OF YOUR MOTION.  I 

26   KNOW THAT.  I WASN'T GETTING THERE.  YOU KNOW ME.  

27   YOU BOTH KNOW ME.  I TAKE THINGS ONE STEP AT A TIME.  

28   I TAKE THE EASY THINGS ONE STEP AT A TIME. 






Page 9

1            DO YOU WANT ME TO CALL IN WHATEVER 

2   WITNESSES WE HAVE HERE TODAY AT THE BEGINNING OF 

3   THIS HEARING AND MAKE THE ADMONISHMENT?

4       MR. FELDMAN:  YES. 

5       THE COURT:  OKAY.  LET'S DO THAT. 

6            WELL, LET'S BEFORE WE DO THAT, SO WE DON'T 

7   HAVE THEM COME OUT AND IN.  

8            YOU HAVE A SECOND PART. 

9       MR. FELDMAN:  YES, YOUR HONOR.

10       THE COURT:  WHY DON'T YOU TELL US WHAT THE 

11   SECOND PART OF YOUR REQUEST IS.

12       MR. FELDMAN:  THE SECOND PART RELATES SOLELY TO 

13   THE FACTS AND CIRCUMSTANCES OF THIS CASE, YOUR 

14   HONOR.  IT TURNS OUT, AS WE CAN ALL SEE, WE HAVE GOT 

15   MORE MEDIA THAN ANY OF US I THINK ARE ACCUSTOMED TO.  

16   BECAUSE OF THE SATURATION OF THE MEDIA, I'M 

17   CONCERNED THAT WITNESSES THAT THE COURT ADMONISHES 

18   WILL PICK UP PRECISELY THE SAME INFORMATION BY GOING 

19   HOME AND WATCHING TELEVISION OR LISTENING TO THE 

20   RADIO BECAUSE APPARENTLY THIS IS BEING COVERED LIVE. 

21            SO THE DEFENSE IS REQUESTING THAT THE 

22   COURT, IN ADDITION TO THE STANDARD ADMONITION, 

23   INCREASE THE ADMONITION OR ENHANCE THE ADMONITION TO 

24   DIRECT WITNESSES NOT TO READ NEWSPAPERS THAT 

25   SPECIFICALLY FOCUS ON THE ARTICLE, NOT TO WATCH THE 

26   TELEVISION COVERAGE OF THE CASE BECAUSE THEN THE 

27   ADMONITION BECOMES USELESS, NOR TO LISTEN TO ANY 

28   RADIO COVERAGE.






Page 10

1       THE COURT:  AND YOU'RE TALKING ABOUT PRIOR TO 

2   THEIR TESTIMONY?

3       MR. FELDMAN:  I'M TALKING ABOUT PRIOR TO THEIR 

4   TESTIMONY AND SUBSEQUENT TO THEIR TESTIMONY IF 

5   THEY'RE RELEASED SUBJECT TO RECALL. 

6            AND, FRANKLY, IF I COULD PERSUADE THE 

7   COURT, I'D ASK THE COURT TO -- I DON'T KNOW WHAT 

8   YOU'RE JURISDICTION IS -- INITIATE AN ORDER OR GRANT 

9   AN ORDER THAT WOULD EXTEND THROUGHOUT THE ENTIRE 

10   LITIGATION.

11       THE COURT:  YOU KNOW I'M NOT ABOUT TO DO THAT.

12       MR. FELDMAN:  WE HAVE GOT A GAG ORDER.

13       THE COURT:  YOU KNOW THAT GAG ORDER IS GOOD 

14   UNTIL SOMEBODY CHANGES IT, IF THEY WANT TO CHANGE 

15   IT.  OKAY.  I'M NOT ABOUT TO MAKE ORDERS THAT EXIST 

16   PAST THIS PRELIMINARY HEARING OTHER THAN THE GAG 

17   ORDER, UNLESS THERE'S AN URGENT NEED, AND I'M NOT 

18   ABOUT TO ADDRESS IT.  WHOMEVER THE TRIAL JUDGE IS, 

19   THAT'S A TRIAL JUDGE ISSUE.

20            WHAT'S YOUR POSITION, COUNSEL?

21       MR. DUSEK:  WE HAVE NO OPPOSITION TO THEM BEING 

22   TOLD TO AVOID THE MEDIA COVERAGE OF THIS CASE BEFORE 

23   THEY TESTIFY.  AFTER THEY TESTIFY, LIKE ANYONE ELSE, 

24   THEY SHOULD BE ABLE TO LOOK AT WHATEVER THEY WANT.  

25       THE COURT:  ALL RIGHT.  I AGREE.  I'LL DO THAT. 

26            ALL RIGHT. 

27            NOW, THE NEXT REQUEST IS TO RETAIN 

28   MR. WESTERFIELD AT CENTRAL JAIL DURING THE PENDENCY 






Page 11

1   OF THIS LITIGATION.

2       MR. FELDMAN:  YOUR HONOR, THERE HAVE BEEN 

3   ONGOING DISCUSSIONS BETWEEN OUR OFFICE AND COUNSEL 

4   FOR THE SHERIFF'S DEPARTMENT.  I'D ASK THE COURT AT 

5   THIS TIME TO TAKE IT OFF CALENDAR OR DEFER RULING.  

6   IF IT BECOMES -- IT'S NOT AN ISSUE AT THE MOMENT.  

7   MY CONCERN IS THAT IT WOULD BE AN ISSUE IF THERE'S A 

8   BINDOVER.  WE WILL DISCUSS IT AND IF IT BECOMES 

9   PROBLEMATIC, WE'LL PLAN TO COME BACK WITH YOUR 

10   PERMISSION. 

11       THE COURT:  OKAY.  ONCE THIS PRELIMINARY HEARING 

12   IS OVER --

13       MR. FELDMAN:  WE'VE GOT THIS 15-DAY 

14   JURISDICTIONAL DAY NOTICE.

15       THE COURT:  WE'RE ALL SUPERIOR COURT JUDGES.

16       MR. FELDMAN:  I KNOW THAT. 

17       THE COURT:  SO YOU CAN COME BACK IN.  ALL RIGHT.

18       MR. FELDMAN:  THANK YOU.

19       THE COURT:  JUST ON THAT ISSUE.

20       MR. FELDMAN:  NO.  NO.  NO.  I UNDERSTAND. 

21            THANK YOU VERY MUCH, YOUR HONOR.  I THINK 

22   THAT'S ALL WE HAVE AT THIS POINT.

23       THE COURT:  ALL RIGHT.  I THINK WE'VE TAKEN CARE 

24   OF ALL THOSE MOTIONS. 

25            IS THERE ANYTHING THE DISTRICT ATTORNEY 

26   WANTS TO SPEAK ABOUT IN TERMS OF A PRE-HEARING 

27   ISSUES?

28       MR. DUSEK:  ONE CONCERN, YOUR HONOR.  THAT IS 






Page 12

1   THE QUICKNESS IN WHICH WE ARE GETTING TO THE 

2   PRELIMINARY HEARING, AND THAT THE DEFENSE HAS NOT 

3   WAIVED TIME, WHICH IS THEIR RIGHT.  BUT WE HAVE AT 

4   LAST COUNT TURNED OVER 1,670 PAGES OF DISCOVERY, 

5   ABOUT 42 TAPED INTERVIEWS, AND THREE VIDEOS, I 

6   BELIEVE, ALONG WITH A WHOLE LOT OF PHOTOGRAPHS. 

7            I AM WELL AWARE OF MR. FELDMAN'S REPUTATION 

8   AND MR. BOYCE'S REPUTATION AS BEING EXTREMELY 

9   COMPETENT.  MY CONCERN, THOUGH, IS THAT BY GOING SO 

10   QUICKLY TO THE PRELIMINARY HEARING THAT SOMEONE DOWN 

11   THE ROAD IS LIABLE TO SECOND-GUESS THAT OPINION. 

12            I'M SURE HE HAS TACTICAL REASONS FOR 

13   PURSUING THE PRELIMINARY HEARING AT THIS POINT.  I 

14   DO NOT NEED TO KNOW WHAT THEY ARE, BUT I WOULD ASK 

15   THAT THE COURT TAKE MR. FELDMAN AND MR. BOYCE INTO 

16   CHAMBERS AND HAVE THEM ADVISE THE COURT AS TO THEIR 

17   REASONS FOR DOING IT TO ENSURE A LATER REVIEWING 

18   COURT, IF ONE BECOMES NECESSARY, THAT THERE ARE 

19   LEGITIMATE REASONS FOR DOING THIS THIS QUICKLY.

20       THE COURT:  COUNSEL?

21       MR. FELDMAN:  YOUR HONOR, WELL, I APPRECIATE 

22   COUNSEL'S CONCERNS AND HIS COMPLIMENTS, 

23   MR. WESTERFIELD HAS A STATUTORY RIGHT.  WE'RE JUST 

24   DOING WHAT THE LAW REQUIRES US TO DO, YOUR HONOR.  

25   WE'RE READY TO PROCEED.  THE LAW SAYS TEN DAYS.  THE 

26   PROSECUTION IS READY.  WE'RE READY.  LET'S GO. 

27       THE COURT:  THANK YOU FOR YOUR REQUEST.  IT'S AN 

28   INTERESTING REQUEST, BUT I'M DECLINING TO ACCEPT 






Page 13

1   YOUR INVITATION.  I HAVE CONFIDENCE IN COUNSEL.  I'M 

2   SURE THAT MR. WESTERFIELD HAS BEEN ADVISED THAT HE 

3   HAS A RIGHT TO HAVE A CONTINUANCE OF THIS 

4   PRELIMINARY HEARING IF HIS ATTORNEYS FEEL THEY ARE 

5   NOT PREPARED OR HE WANTS MORE TIME TO CONSIDER THE 

6   EVIDENCE THAT THEY HAVE RECEIVED. 

7            AND WE'LL PROCEED.

8            NOW, YOU WANTED ME TO ADMONISH WITNESSES?

9       MR. FELDMAN:  YES, YOUR HONOR.

10       THE COURT:  OKAY.  CAN WE BRING THOSE WITNESSES 

11   IN.

12       MR. DUSEK:  WE HAVE THREE WITNESSES HERE THIS 

13   MORNING.  LIEUTENANT JIM COLLINS IS IN THE 

14   COURTROOM.  DR. BRIAN BLACKBOURNE AND DR. NORM 

15   SPERBER ARE OUTSIDE.

16       THE COURT:  I THINK WE OUGHT TO GET THEM IN 

17   HERE, AND I'LL ADMONISH ALL OF THEM AT THE SAME 

18   TIME.

19       (THE WITNESSES ENTERED THE COURTROOM.) 

20       THE COURT:  THANK YOU.

21            GENTLEMEN, PLEASE BE ADVISED THAT YOU ARE 

22   ADMONISHED NOT TO DISCUSS YOUR TESTIMONY WITH ANYONE 

23   PRIOR TO YOUR TESTIMONY, OTHER THAN COUNSEL OF 

24   COURSE, NOR ARE YOU TO SPEAK TO OTHER WITNESSES, NOR 

25   ARE YOU TO VIEW ANY MEDIA REPRESENTATION REGARDING 

26   THIS CASE, MEDIA PUBLICATIONS, THAT INCLUDES RADIO, 

27   TV, AND THE PRINT MEDIA, UNTIL YOU'RE RELEASED FROM 

28   THE PRELIMINARY HEARING. 






Page 14

1            UNDERSTOOD? 

2       (ALL THREE WITNESSES RESPONDED AFFIRMATIVELY.) 

3       THE COURT:  THANK YOU VERY MUCH.

4       MR. DUSEK:  THANK YOU.

5       THE COURT:  I WILL TELL YOU THAT, I THINK YOU 

6   ALREADY KNOW THAT THIS IS NOT MY NORMAL DEPARTMENT.  

7   I FEEL COMFORTABLE HERE BUT I DON'T KNOW WHETHER OR 

8   NOT MY VOICE CARRIES.  NORMALLY I DON'T NEED A 

9   MICROPHONE.  APPARENTLY, MY VOICE IS CARRYING ALL 

10   RIGHT.  OKAY, I'M GETTING SOME GRUMBLES FROM THE 

11   BACK.  LET ME SEE.  AS I SAID, THIS IS NOT MY 

12   DEPARTMENT.  OFF THE RECORD.

13       (PAUSE IN PROCEEDINGS.) 

14       THE COURT:  REMEMBER, THIS PRELIMINARY HEARING 

15   IS FOR THE PARTIES.  I'LL DO MY VERY BEST TO KEEP 

16   EVERYONE ELSE IN A RANGE THAT THEY CAN HEAR MY 

17   VOICE. 

18            FIRST WITNESS.

19       MR. DUSEK:  LIEUTENANT JIM COLLINS. 

20   

21                  JAMES CLIFFORD COLLINS,

22   PEOPLE'S WITNESS, HAVING BEEN FIRST DULY SWORN, 

23   TESTIFIED AS FOLLOWS:

24   

25       THE COURT:  PLEASE TAKE THE STAND. 

26            PLEASE TELL US YOUR NAME.

27       THE WITNESS:  JAMES CLIFFORD COLLINS, 

28   C-O-L-L-I-N-S. 






Page 15

1       THE COURT:  THANK YOU. 

2       MR. DUSEK:  IS THE MICROPHONE ON?

3   

4                    DIRECT EXAMINATION

5   BY MR. DUSEK:

6       Q    HOW ARE YOU EMPLOYED, SIR?

7       A    I'M A LIEUTENANT WITH THE SAN DIEGO POLICE 

8   DEPARTMENT. 

9       Q    HOW LONG HAVE YOU BEEN WITH THE POLICE 

10   DEPARTMENT?

11       A    30 YEARS THIS MONTH. 

12       Q    HOW LONG HAVE YOU BEEN A LIEUTENANT?

13       A    12-AND-A-HALF YEARS. 

14       Q    WHAT IS YOUR CURRENT ASSIGNMENT IN THE 

15   POLICE DEPARTMENT?

16       A    I'M IN CHARGE OF THE ROBBERY AND SPECIAL 

17   INVESTIGATIONS UNIT.

18       Q    WHAT'S THE SPECIAL INVESTIGATIONS UNIT?

19       A    HALF OF THE SPECIAL INVESTIGATIONS UNIT IS 

20   ASSOCIATED WITH THE VIOLENT CRIMES TASK FORCE AND 

21   FUGITIVE APPREHENSION.  THE OTHER HALF INVESTIGATES 

22   SPECIAL CRIMES, THINGS LIKE THAT.

23       MR. FELDMAN:  EXCUSE ME, COUNSEL. 

24            I'M SORRY, YOUR HONOR.  I'M HAVING TROUBLE 

25   HEARING THE WITNESS.  I APOLOGIZE.

26       THE COURT:  I'D ASK ONE OF THE BAILIFFS TO COME 

27   UP AND WORK ON THE MICROPHONE, PLEASE. 

28       (PAUSE IN PROCEEDINGS.)






Page 16

1       THE COURT:  I'M ADVISED THERE ARE NO SPEAKERS IN 

2   THIS COURTROOM, EXCEPT IN THE JURY BOX.  AND WE'LL 

3   JUST DO OUR BEST.

4            GO AHEAD.

5   BY MR. DUSEK:

6       Q    TRY TO KEEP YOUR VOICE UP, IF YOU WOULD, 

7   LIEUTENANT. 

8            LET ME DIRECT YOUR ATTENTION BACK TO 

9   FEBRUARY OF THIS YEAR.  DID YOU BECOME INVOLVED IN 

10   THE DANIELLE VAN DAM CASE?

11       A    YES, I DID.

12       Q    WHEN DID YOU FIRST BECOME INVOLVED IN THAT 

13   CASE?

14       A    ON FEBRUARY THE 2ND.

15       Q    ABOUT WHAT TIME?

16       A    MY INVOLVEMENT STARTED AT ABOUT 10:30 IN 

17   THE EVENING. 

18       Q    HOW?

19       A    I WAS WORKING AS A FIELD LIEUTENANT ON A 

20   ROTATIONAL ASSIGNMENT FOR THE AREA SOUTH OF 

21   INTERSTATE 8.  I WAS PAGED BY THE WATCH COMMANDER TO 

22   REPORT TO THE COMMAND CENTER BY CHIEF CREIGHTON. 

23       Q    WHAT'S THE COMMAND CENTER?

24       A    THE COMMAND POST THAT WAS ON MOUNTAIN PASS 

25   DRIVE AT THAT TIME.

26       Q    WHERE IS THAT LOCATED IN OUR CITY?

27       A    IN THE SABRE SPRINGS AREA.

28       Q    WHAT WERE YOU TOLD TO DO?






Page 17

1       A    WHEN I ARRIVED AT THE SCENE, 

2   CHIEF CREIGHTON ASKED ME TO TAKE OVER THE 

3   INVESTIGATION, AS THE ROBBERY LIEUTENANT IN CHARGE 

4   OF KIDNAPPING INVESTIGATIONS. 

5       Q    CAN YOU EXPLAIN TO US WHY A ROBBERY 

6   LIEUTENANT WOULD ASSUME CONTROL OVER A KIDNAPPING 

7   CASE?

8       A    THE ROBBERY SECTION IS IN CHARGE OF 

9   INVESTIGATING ALL CRIMES INVOLVING COMMERCIAL 

10   ROBBERY, RESIDENTIAL ROBBERY, BANK ROBBERIES, AND 

11   KIDNAPPINGS WHERE THE VICTIM IS STILL OUTSTANDING.

12       Q    WHAT DID YOU DO WHEN YOU ARRIVED?

13       A    I GOT A BRIEFING FROM THE PEOPLE THAT HAD 

14   BEEN AT THE COMMAND POST MOST OF THE DAY.

15       Q    DO YOU KNOW HOW LONG THEY'D BEEN THERE?

16       A    SERGEANT SHARON MCNAIR HAD BEEN THERE SINCE 

17   SHORTLY AFTER TEN O'CLOCK IN THE MORNING.

18       Q    AFTER YOU GOT YOUR BRIEFING, WHAT DID YOU 

19   DO?

20       A    I REQUESTED THAT WE HAVE PATROL UNITS FROM 

21   THIRD WATCH COME UP TO THE AREA AND START CONDUCTING 

22   A SEARCH OF DUMPSTERS IN THE AREA, ALONG SCRIPPS 

23   POWAY PARKWAY, ANY COMMERCIAL AREAS IN THE IMMEDIATE 

24   VICINITY.  ALSO ASKED THE SHERIFF'S DEPARTMENT TO DO 

25   LIKE SEARCHES IN THEIR JURISDICTION IN THE POWAY 

26   AREA.

27       Q    WHEN YOU SAY "THIRD WATCH," WHAT DOES THAT 

28   MEAN?






Page 18

1       A    THAT'S THIRD WATCH PATROL.  THEY WORK FROM 

2   NINE O'CLOCK AT NIGHT TO SEVEN O'CLOCK IN THE 

3   MORNING. 

4       Q    DID YOU DIRECT INDIVIDUALS TO SEARCH 

5   VARIOUS AREAS?

6       A    I DIRECTED THOSE OFFICERS TO SEARCH THOSE 

7   AREAS, YES. 

8       Q    WHAT AREAS WERE SEARCHED, TO YOUR 

9   KNOWLEDGE?

10       A    TO MY KNOWLEDGE -- THE ONES THAT I DIRECTED 

11   OR WHAT HAD BEEN DONE EARLIER IN THE DAY?

12       Q    ALL THAT YOU'RE AWARE OF.

13       A    ALL THAT I'M AWARE OF?

14            EARLIER IN THE DAY, PATROL OFFICERS 

15   RESPONDED TO THE CALL ALONG WITH RSVP OFFICERS, 

16   RETIRED SENIOR VOLUNTEER PATROL OFFICERS.  THEY 

17   SEARCHED HOUSE-TO-HOUSE AND THE IMMEDIATE AREA  

18   AROUND THE VICTIM'S RESIDENCE, APPROXIMATELY 200 

19   HOUSES.  WE HAD SHERIFF'S SEARCH AND RESCUE PEOPLE 

20   COME OUT AND SEARCH THE CANYON AREAS AROUND THE 

21   VICTIM'S HOME.  THEY GOT THERE AROUND 7:30 IN THE 

22   EVENING AND SEARCHED UNTIL TWO O'CLOCK IN THE 

23   MORNING. 

24            WE HAD THE POLICE HELICOPTER ABLE COME OUT 25   TO THE AREA.  SHORTLY AFTER THE CALL CAME OUT, AT 

26   TEN O'CLOCK IN THE MORNING, THEY DID A CANYON SEARCH 

27   AND THEY ALSO DID A P.A. ANNOUNCEMENT NOTIFYING 

28   RESIDENTS THAT WE WERE LOOKING FOR A MISSING GIRL 






Page 19

1   AND HER DESCRIPTION.

2       Q    P.A. ANNOUNCEMENT, THAT WOULD BE OUT OF THE 

3   HELICOPTER DIRECTED TO THE GROUND?

4       A    YES.

5       Q    WHAT ELSE?

6       A    WHEN IT GOT DARK, WE HAD THE ABLE 

7   HELICOPTER COME BACK WITH THEIR FORWARD-LOOKING 

8   INFRARED DEVICE TO SEARCH THE CANYON AGAIN TO SEE IF 

9   THEY COULD FIND A PERSON IN THE CANYON BASED ON 

10   THEIR BODY HEAT.

11       Q    WHAT DOES THIS INFRARED CAMERA DO?

12       A    LOCATES OBJECTS BASED ON THE HEAT THE 

13   OBJECT PRODUCES; WHETHER IT'S ROCKS, A HUMAN BEING.  

14   IT'S USED QUITE FREQUENTLY IN SEARCHING FOR 

15   SUSPECTS.

16       Q    WERE THERE OTHER SEARCHES?

17       A    YES.  THERE WERE SEARCHES THAT HAD BEEN 

18   DONE FOR WEEKS AFTER THAT. 

19       Q    WHERE?

20       A    OUT IN THE DESERT AREA.  WE DID SOME 

21   SEARCHING OUT THERE AROUND GLAMIS WITH THE POLICE 

22   OFFICERS AND SHERIFF'S PERSONNEL.  THERE WERE A LOT 

23   OF VOLUNTEERS THAT SEARCH THE DESERT AREA, THE 

24   AMERICAN SAND ASSOCIATES DID SEARCHES AT LEAST THREE 

25   WEEKENDS, AS MANY AS 500 PEOPLE ON A WEEKEND 

26   SEARCHING. 

27            THERE WAS A SEARCH DONE BY VOLUNTEERS, THE 

28   LAURA RECOVERY CENTER FROM TEXAS CAME OUT AND 






Page 20

1   CONTACTED THE VAN DAMS AND ASSISTED THEM IN SETTING 

2   UP A SEARCH CENTER OF THEIR OWN CALLED THE DANIELLE 

3   RECOVERY CENTER.  THEY DID SEARCHES AROUND THE POWAY 

4   AREA, THE PENASQUITOS AREA, AND THEN THEY STARTED 

5   FANNING OUT TO OTHER PARTS OF THE COUNTY.

6       Q    WERE THERE ANY CHECKS MADE AT THE BORDER?

7       A    YES. 

8       Q    WHAT?

9       A    WE CHECKED TO SEE IF LICENSE PLATES OF ANY 

10   OF THE PERSONS THAT WE WERE LOOKING FOR OR HAD BEEN 

11   INVOLVED IN THE INVESTIGATION HAD CROSSED INTO 

12   MEXICO OR CAME BACK ACROSS THE BORDER INTO THE 

13   UNITED STATES FROM MEXICO.  THOSE ALL CHECKED 

14   NEGATIVE. 

15            WE ALSO HAD OUR MEXICAN LIAISON UNIT 

16   CONTACT THE MEXICAN AUTHORITIES AND GIVE THEM 

17   INFORMATION ABOUT OUR MISSING PERSON.

18       Q    WERE THERE ANY SEARCHES AT THE SILVER 

19   STRAND?

20       A    YES.

21       Q    WHAT?

22       A    THERE WAS ONE SEARCH DONE INITIALLY JUST 

23   LOOKING FOR WITNESSES.  WE TALKED TO A PARK RANGER 

24   AND PEOPLE THAT HAD BEEN THERE.

25       MR. FELDMAN:  OBJECTION; HEARSAY.  HEARSAY.  

26   MULTIPLE HEARSAY.

27       THE COURT:  COUNSEL?

28       MR. DUSEK:  LET ME REDIRECT THE QUESTION.






Page 21

1       THE COURT:  ALL RIGHT.

2   BY MR. DUSEK:

3       Q    BASED UPON YOUR INFORMATION, DID YOU DIRECT 

4   ANY SEARCHES AT SILVER STRAND?

5       A    YES, I DID.

6       Q    WHAT DID YOU DIRECT THEM TO DO?

7       A    I DIRECTED DETECTIVES TO GO DOWN TO THE 

8   SILVER STRAND AND TRY AND CONTACT ANY WITNESSES THAT 

9   WERE DOWN THERE DURING THE WEEKEND OF FEBRUARY 2ND 

10   AND FEBRUARY 3RD. 

11            AND THEN ALSO ON FEBRUARY 26TH, I DIRECTED 

12   PEOPLE FROM OUR UNIT, DETECTIVES PARGA AND RANDY 

13   ALDRIDGE COORDINATED A SEARCH WITH CHULA VISTA 

14   MOUNTED RESERVES AND THEY DID A SEARCH OF THE STRAND 

15   ON HORSEBACK AND ON FOOT. 

16       Q    HOW LONG DID THE POLICE DEPARTMENT SEARCHES 

17   GO ON?

18       A    WELL, THAT SEARCH WAS ON FEBRUARY 26TH, SO 

19   WE SEARCHED AT LEAST THROUGH THE 26TH, AND AS LEADS 

20   CAME IN, WE WERE FOLLOWING UP ON THAT. 

21       Q    DID YOU RECEIVE ANY TIPS?

22       A    YES, WE DID. 

23       Q    ABOUT HOW MANY?

24       A    IN EXCESS OF 900. 

25       Q    LET ME NOW DIRECT YOUR ATTENTION TO 

26   FEBRUARY 27TH, I BELIEVE IT IS, THE YEAR 2002.  DID 

27   YOU BECOME INVOLVED AT A SCENE IN DEHESA THAT DAY?

28       A    YES, I DID. 






Page 22

1       Q    WHAT WAS YOUR POSITION WITH THIS 

2   INVESTIGATION AT THAT TIME?

3       A    I WAS STILL IN CHARGE OF THE SEARCH EFFORTS 

4   AND FOLLOWING UP ON THE TIPS THAT WERE COMING IN.  

5       Q    AND AT WHAT TIME OF THAT DAY DID YOU 

6   RECEIVE INFORMATION REGARDING DEHESA?

7       A    AT 2:34 P.M.

8       Q    WHAT DID YOU RECEIVE?

9       A    I RECEIVED A PAGE.

10       Q    FROM?

11       A    FROM SUSAN WINTERSTEIN.

12       Q    WHO IS SHE?

13       A    SHE'S A FRIEND OF THE VAN DAM FAMILY AND 

14   SHE WAS ONE OF THE PEOPLE INVOLVED WITH THE LAURA -- 

15   THE DANIELLE RECOVERY CENTER.

16       Q    WHAT DID SHE TELL YOU?

17       A    SHE TOLD ME THE CENTER HAD JUST RECEIVED A 

18   PHONE CALL FROM ONE OF THE SEARCH TEAMS SAYING THAT 

19   THEY HAD FOUND DANIELLE'S BODY ON DEHESA ROAD, 

20   BETWEEN SINGING HILLS GOLF COURSE AND SLOANE CANYON. 

21       Q    DO YOU RECALL WHERE YOU WERE WHEN YOU GOT 

22   THAT INFORMATION?

23       A    I WAS IN THE INVESTIGATIVE COMMAND POST ON 

24   THE FOURTH FLOOR OF THE POLICE HEADQUARTERS 

25   BUILDING.

26       Q    ONCE YOU RECEIVED THAT INFORMATION, WHAT 

27   DID YOU DO?

28       A    I DIRECTED SERGEANTS TIM MURIN, 






Page 23

1   SERGEANT JUDY WOODS, AND SEVERAL OF OUR DETECTIVES 

2   TO GO WITH ME OUT TO THE SCENE TO FOLLOW UP ON THIS 

3   AND MAKE SURE THAT INFORMATION WE WERE GETTING WAS 

4   TRUE.

5       Q    YOU BETTER SPELL TIM MURIN'S NAME SO WE CAN 

6   GET IT RIGHT.

7       A    M-U-R-E-N (SIC). 

8       Q    ALL RIGHT.  WHAT DID YOU DO ONCE YOU 

9   DIRECTED THE OFFICERS TO DO THAT?

10       A    I STARTED OUT TO THE SCENE MYSELF.

11       Q    WHERE DID YOU GO?

12       A    OUT TO DEHESA ROAD, ABOUT THE 3500 BLOCK.

13       Q    TELL US WHERE THAT IS.

14       A    IF YOU GO OUT HIGHWAY 94, AND THEN FOLLOW 

15   THAT TO WILLOW GLEN, WHICH IS BY THE COTTONWOOD GOLF 

16   COURSE, YOU TAKE THAT, IT FOLLOWS -- FLOWS INTO 

17   DEHESA ROAD.  AND AT THE "T" INTERSECTION, YOU MAKE 

18   A RIGHT-HAND TURN THERE AT SINGING HILLS GOLF COURSE 

19   AND GO ABOUT A QUARTER OF A MILE BEYOND THAT.  HALF 

20   MILE MAYBE.

21       Q    THIS IS IN SAN DIEGO COUNTY?

22       A    THIS IS IN SAN DIEGO COUNTY. 

23       Q    DESCRIBE THE AREA WHERE YOU WERE.

24       A    THE AREA TO THE RIGHT, THERE'S A QUARRY OF 

25   SOME SORT ON THE SOUTH SIDE OF THE STREET.  VERY 

26   SECLUDED.  THERE'S NO RESIDENCE IN THE AREA.  A LOT 

27   OF BRUSH ON THE NORTH SIDE OF THE STREET AND GOING 

28   UP A HILL. 






Page 24

1       Q    HOW ABOUT RESIDENCES?  WERE THERE ANY OUT 

2   THERE?

3       A    NO.

4       Q    ANY BUSINESSES?

5       A    JUST THE QUARRY, AND I COULDN'T SEE ANY 

6   SORT OF AN OFFICE FOR THE QUARRY FROM WHERE I WAS 

7   AT.

8       Q    WERE THERE ANY PEOPLE THERE WHEN YOU 

9   ARRIVED?

10       A    YES, THERE WERE. 

11       Q    WHO?

12       A    SHERIFF'S DEPUTIES, MY DETECTIVES, AND THE 

13   VOLUNTEER SEARCHERS. 

14       Q    DESCRIBE WHAT WAS GOING ON.

15       A    THE SHERIFF'S DEPUTIES WERE CLOSING OFF THE 

16   AREA, USING CRIME SCENE TAPE TO STOP TRAFFIC FROM 

17   COMING THROUGH THE AREA.  THE DETECTIVES I DIRECTED 

18   TO INTERVIEW ALL OF THE PEOPLE INVOLVED IN THE 

19   SEARCH.  AND I SPOKE WITH DEPUTY ALSTEAD -- I'M 

20   SORRY.  DEPUTY ALSTON, I BELIEVE HIS NAME IS.

21       Q    WHO IS HE?

22       A    HE'S THE PATROL DEPUTY WHO FIRST ARRIVED ON 

23   THE SCENE. 

24       Q    WHAT DID HE TELL YOU?

25       A    HE TOLD ME THAT HE HAD CONTACTED THE 

26   SEARCHERS.  THEY TOLD HIM THEY FOUND A BODY --

27       MR. FELDMAN:  OBJECTION; MULTIPLE HEARSAY.  

28   MOTION TO STRIKE.






Page 25

1       THE COURT:  THE ANSWER IS STRICKEN.

2   BY MR. DUSEK:
3       Q    REGARDLESS -- REGARDLESS OF WHAT HE TOLD 

4   YOU OTHER PEOPLE SAID, DID HE TELL YOU WHAT HE HAD 

5   DONE?

6       A    YES.

7       Q    WHAT DID HE SAY HE DID?

8       A    HE TOLD ME THAT HE HAD GONE INTO THE BRUSH 

9   AREA BEHIND AN OAK TREE AND FOUND THE BODY OF WHAT 

10   APPEARED TO BE A YOUNG FEMALE.  HE DESCRIBED THE 

11   BODY AS BEING PARTIALLY BURNED AND HE ALSO DESCRIBED 

12   THE VICTIM OF HAVING ON A CHOKER NECKLACE AS THE ONE 

13   HE HAD SEEN IN THE FLYERS FOR DANIELLE VAN DAM. 

14       Q    DID HE SAY WHETHER OR NOT HE HAD DISTURBED 

15   OR MOVED THE BODY?

16       A    HE SAID HE HAD NOT DISTURBED THE BODY. 

17       Q    WHAT DID YOU DO AT THAT POINT?

18       A    I ASKED HIM TO TAKE ME BACK UP TO THE 

19   LOCATION SO I COULD TAKE A LOOK AT THE BODY AND BE 

20   CONFIDENT MYSELF THAT IT WAS DANIELLE VAN DAM OR 

21   HIGH PROBABILITY THAT IT WAS DANIELLE VAN DAM SO I 

22   COULD NOTIFY MY CHAIN OF COMMAND.

23       Q    HAD YOU SEEN PICTURES OF DANIELLE VAN DAM?

24       A    YES, I HAD.

25       Q    DID YOU SEE ANY OF THE FLYERS OR MISSING 

26   PERSONS PHOTOS?

27       A    YES, I DID. 

28       MR. DUSEK:  YOUR HONOR, I'VE HAD MARKED AS 






Page 26

1   COURT'S -- PEOPLE'S EXHIBIT 1, THIS ONE-PAGE 

2   DOCUMENT THAT LOOKS LIKE A MISSING PERSON FLYER WITH 

3   A FEMALE ON IT.

4       (PEOPLE'S EXHIBIT 1 MARKED FOR IDENTIFICATION.)

5   BY MR. DUSEK:

6       Q    DO YOU RECOGNIZE THAT, LIEUTENANT?

7       A    YES, I DO.

8       Q    WHAT IS IT?

9       A    IT'S A MISSING PERSON FLYER FOR DANIELLE 

10   VAN DAM.

11       THE COURT:  I'LL ASSUME THAT ALL OF THE 

12   DOCUMENTS HAVE BEEN SHOWN TO THE DEFENSE.

13       MR. DUSEK:  THEY HAVE BEEN, YOUR HONOR. 

14       THE COURT:  I JUST WANT THAT FOR THE RECORD.  I 

15   KNEW THAT YOU HAD. 

16            GO AHEAD.

17   BY MR. DUSEK:

18       Q    DID YOU GO TO THE SCENE?

19       A    YES, I DID.

20       Q    HOW DID YOU GET THERE?

21       A    I HAD THE DEPUTY FOLLOW THE SAME PATH HE 

22   DID GOING UP THERE AND COMING BACK DOWN.  IT WAS ON 

23   THE WEST SIDE OF THE OAK TREE.  I RAN TO THE NORTH 

24   SIDE OF THE TREE.

25       Q    DID YOU GIVE HIM ANY INSTRUCTIONS AS HE WAS 

26   TAKING YOU UP THERE?

27       A    I TOLD HIM TO WATCH HIS FOOTING, TO TRY AND 

28   WALK IN THE SAME PATH THAT HE WALKED BEFORE, NOT 






Page 27

1   MAKE ANY NEW PATH, ANY NEW PRINTS, AND NOT TO 

2   DISTURB ANY EVIDENCE.

3       Q    WHY DID YOU TELL HIM THAT?

4       A    BECAUSE WE WANTED TO PRESERVE THE SCENE FOR 

5   THE HOMICIDE TEAM.

6       Q    WHERE DID YOU GO?

7       A    WENT TO THE SOUTH SIDE OF THE OAK TREE 

8   AND -- I'M SORRY, THE NORTH SIDE OF THE OAK TREE AND 

9   HE SHOWED ME WHERE THE BODY WAS.

10       Q    WHAT DID YOU SEE?

11       A    SAW THE BODY OF WHAT APPEARED TO BE A YOUNG 

12   FEMALE, A CHILD, ADVANCE STAGES OF DECOMPOSITION.  

13   SHE WAS LYING ON HER BACK.  HER HEAD WAS TOWARDS THE 

14   TREE, WHICH WAS ON THE SOUTH OF ME.  HER FEET WERE 

15   TOWARDS ME POINTING NORTH.  HER HEAD WAS TURNED TO 

16   THE RIGHT OR FACING EAST. 

17            ON HER LOWER TORSO THERE WAS ADVANCED 

18   STAGES OF DECOMPOSITION.  MOST OF THE TISSUE FROM 

19   HER UPPER LEGS WAS GONE.  THE TISSUE AROUND HER NECK 

20   AND MOUTH WAS PRETTY MUCH GONE. 

21       Q    WHEN YOU SAY "DECOMPOSITION," WHAT DO YOU 

22   MEAN BY THAT?

23       A    ONCE THE BODY DIES, THE BODY STARTS TO 

24   DECOMPOSE BASED ON THE ELEMENTS, AND SOME OF THE 

25   CRITTER OR INSECT ACTIVITY. 

26       Q    COULD YOU TELL THE RACE OF THE PERSON WHILE 

27   YOU WERE STANDING THERE?

28       A    YES.  IT WAS A WHITE FEMALE, OR WHITE 






Page 28

1   PERSON.  CAUCASIAN.

2       Q    ANY CLOTHING ON HER?

3       A    NO, THERE WAS NO CLOTHING. 

4       Q    HOW CLOSE DID YOU GET?

5       A    I GOT TO ABOUT TEN FEET. 

6       Q    WHY DIDN'T YOU GET ANY CLOSER?

7       A    I DIDN'T WANT TO DISTURB PHYSICAL EVIDENCE. 

8       Q    WERE ANY PARTS MISSING?

9       A    YES.

10       Q    WHAT?

11       A    ONE OF HER FEET WAS MISSING. 

12       Q    DID YOU SEE ANY JEWELRY?

13       A    YES, I DID. 

14       Q    WHAT DID YOU SEE?

15       A    SHE HAD A PLASTIC BROWN CHOKER AROUND HER 

16   NECK, SIMILAR TO THE ONE I'D SEEN IN THE 

17   MISSING-PERSON FLYER.  THE ONE THAT IS RIGHT HERE. 

18       Q    IS THAT CHOKER IN PEOPLE'S EXHIBIT 1?

19       A    YES, IT IS.

20       Q    COULD YOU HOLD IT UP AND SHOW US.

21       A    THE CHOKER AROUND HER NECK RIGHT HERE. 

22       Q    ALL RIGHT.  THAT WAS STILL ON HER AT THE 

23   SCENE?

24       A    YES, IT WAS. 

25       Q    DID YOU SEE ANY OTHER JEWELRY?

26       A    I SAW AN EARRING IN HER LEFT EAR. 

27       Q    COULD YOU MAKE ANYTHING OF IT FROM THE 

28   DISTANCE YOU WERE?






Page 29

1       A    I COULD SEE THAT IT WAS FLAT.  IT WAS 

2   BASICALLY GOLD.  IT WAS ROUND IN SHAPE AND IT LOOKED 

3   LIKE IT HAD ANOTHER ROUND PART COMING OFF OF IT. 

4       Q    IS THAT SIGNIFICANT TO YOU?

5       A    YES.  IT APPEARED TO ME TO BE A MICKEY 

6   MOUSE EARRING WHICH WAS WHAT WAS DESCRIBED AS BEING 

7   WORN BY DANIELLE VAN DAM AT THE TIME SHE 

8   DISAPPEARED.

9       Q    FROM YOUR VANTAGE POINT, WERE YOU ABLE TO 

10   SEE THE OTHER EAR?

11       A    NO, I WAS NOT. 

12       Q    WHY NOT?

13       A    HER HEAD WAS TURNED TO THE RIGHT SO THAT 

14   EAR WOULD HAVE BEEN DOWN.

15       Q    DID YOU LOOK AT THE SCENE FOR ANY OTHER 

16   OBSERVATIONS AROUND THE BODY?

17       A    I LOOKED AT THE AREA DIRECTLY AROUND THE 

18   BODY.  THE LEAVES WERE DRY.  THERE WAS OBVIOUSLY NO 

19   SIGN OF ANY BURNING.  THE TREE ABOVE THE BODY SEEMED 

20   TO BE OKAY, WITH NO SIGNS OF BURNING.  THERE WERE 

21   SOME DRAG MARKS IN THE LEAVES, COMING FROM THE NORTH 

22   GOING TO THE SOUTH TO WHERE THE BODY WAS RESTING.

23       Q    WHAT DO YOU MEAN BY "DRAG MARKS"?

24       A    LOOKED LIKE SOMEBODY HAD BEEN -- HAD 

25   DRAGGED SOMETHING, WHETHER IT WAS -- IT APPEARED TO 

26   BE THE BODY TO ME, DRAGGING IT INTO THE UNDERBRUSH 

27   UNDER THE TREE. 

28       Q    WHY WAS THAT SIGNIFICANT?






Page 30

1       A    IT SHOWED ME THAT THAT BODY HAD BEEN PLACED 

2   THERE AND THEN DRAGGED INTO THAT LOCATION, WHICH 

3   WOULD INDICATE THAT THE BODY DECOMPOSED IN THE 

4   POSITION THAT IT WAS. 

5       Q    ONCE YOU MADE YOUR OBSERVATIONS THERE, 

6   LIEUTENANT -- WELL, FIRST OF ALL, HOW LONG WOULD YOU 

7   SAY YOU WERE THERE LOOKING AT THE BODY?

8       A    NO MORE THAN TWO MINUTES.

9       Q    THEN WHAT DID YOU DO?

10       A    I EXITED THROUGH THE SAME PATH THAT I CAME 

11   UP TO THE BODY.

12       Q    AND DID DEPUTY ALSTON ALSO GO WITH YOU?

13       A    YES, HE DID. 

14       Q    WHAT HAPPENED AT THAT POINT?

15       A    AT THAT POINT, I TALKED TO THE SHERIFF'S 

16   LIEUTENANT, JERRY LEWIS, HOMICIDE LIEUTENANT.  ON MY 

17   PHONE I ALSO CALLED CAPTAIN RON NEWMAN, MY CAPTAIN, 

18   AND REQUESTED THAT HE HAVE TEAM 4 FROM THE HOMICIDE 

19   SECTION RESPOND TO THE SCENE TO CONDUCT THE SCENE 

20   INVESTIGATION.

21       Q    THIS LOCATION, WAS IT SAN DIEGO 

22   JURISDICTION OR SHERIFF'S JURISDICTION?

23       A    IT WAS SHERIFF'S JURISDICTION. 

24       Q    HOW DID YOU WORK THAT OUT?

25       A    WE HAVE A WORKING RELATIONSHIP WITH THE 

26   SHERIFF'S DEPARTMENT.  I TALKED TO LIEUTENANT LEWIS 

27   AND I TOLD HIM THAT IT APPEARED TO ME THIS WAS GOING 

28   TO BE DANIELLE VAN DAM'S BODY AND THAT OUR TEAM 






Page 31

1   WOULD LIKE TO PROCESS THE SCENE.  HE TOLD ME THAT HE 

2   WAS GOING TO HAVE ONE OF HIS TEAMS RESPOND OUT THERE 

3   AND THAT IF WE DETERMINED IT WAS DANIELLE, OUR TEAM 

4   WOULD CONTINUE WITH THE INVESTIGATION.  IF BY CHANCE 

5   IT TURNED OUT IT WAS NOT DANIELLE VAN DAM, THEN HIS 

6   TEAM WOULD TAKE OVER THE INVESTIGATION.

7       Q    WHAT HOMICIDE TEAM FROM YOUR DEPARTMENT WAS 

8   INVOLVED?

9       A    HOMICIDE TEAM 4.

10       Q    WHO'S ON THAT TEAM?

11       A    SERGEANT BILL HOLMES, DETECTIVE MIKE OTT, 

12   MARK KEYSER, JIM HERGENROEATHER, AND JIM TOMSOVIC.

13       Q    DO YOU KNOW WHERE THEY WERE AT THE TIME OF 

14   THE DISCOVERY OF THE BODY?

15       A    THEY WERE EN ROUTE OUT TO GLAMIS.

16       Q    WERE THEY NOTIFIED?

17       A    YES, THEY WERE.

18       Q    HOW?

19       A    CAPTAIN NEWMAN NOTIFIED PEOPLE THAT --

20       MR. FELDMAN:  OBJECTION; MULTIPLE HEARSAY.  

21   MOTION TO STRIKE.

22       THE COURT:  COUNSEL, THE ANSWER IS STRICKEN. 

23            INSTEAD OF STOPPING EVERY TIME AND GETTING 

24   THE SPELLING OF THESE NAMES FOR MY REPORTER, I'M 

25   SURE SHE DOESN'T KNOW HOW TO SPELL HERGENROEATHER -- 

26       MR. DUSEK:  WE DON'T EITHER.

27       THE COURT:  -- MAY I ASK THAT AFTER THIS HEARING 

28   IS OVER, THEY'RE PREPARING THE TRANSCRIPTS, IF THEY 






Page 32

1   HAVE QUESTIONS AS TO SPELLING, THEY MAY CALL THE 

2   DISTRICT ATTORNEY?  DO YOU HAVE ANY OBJECTION TO 

3   THAT?

4       MR. FELDMAN:  NO, YOUR HONOR.

5       THE COURT:  GOOD IDEA?

6       MR. DUSEK:  GOOD IDEA.

7       THE COURT:  ALL RIGHT.

8   BY MR. DUSEK:

9       Q    DID A HOMICIDE TEAM EVENTUALLY SHOW UP FROM 

10   YOUR DEPARTMENT?

11       A    YES, THEY DID. 

12       Q    ABOUT WHAT TIME?

13       A    I THINK IT WAS ABOUT 5:30 IN THE EVENING. 

14       Q    WHICH TEAM WAS IT?

15       A    HOMICIDE TEAM 4. 

16       Q    WHAT HAPPENED IN THE MEANTIME, FROM YOUR 

17   OBSERVATION OF THE BODY UNTIL THE HOMICIDE TEAM 

18   SHOWED UP?

19       A    THE SHERIFF'S HOMICIDE TEAM CAME OUT TO THE 

20   SCENE, THE SHERIFFS ALSO SENT A COMMAND VAN OUT TO 

21   THE SCENE.  AND BECAUSE IT WAS GETTING DARK SOON AND 

22   THE HOMICIDE TEAM 4 WAS OUT AT THE DESERT, I  

23   REQUESTED ANOTHER EVIDENCE TECH AND CRIME SCENE 

24   DETECTIVE COME OUT TO TAKE SOME OVERALL PHOTOGRAPHS 

25   FIRST BEFORE IT GOT TOO DARK.

26       Q    DID THEY DO THAT?

27       A    THEY ARRIVED SHORTLY BEFORE TEAM 4. 

28       Q    AND WHO WAS THAT?






Page 33

1       A    THAT WAS SERGEANT L.D. MARTIN, 

2   DETECTIVE JOHN TEFFT, AND FORENSIC SPECIALIST LARRY 

3   FREGIA. 

4       Q    ONCE TEAM 4 SHOWED UP, WHAT HAPPENED?

5       A    TEAM 4 ASKED THAT THE OTHER TEAM THAT WAS 

6   ALREADY ON THE SCENE TO STOP WHAT THEY WERE DOING, 

7   COME BACK, DO A BRIEFING WITH TEAM 4, AND THEN 

8   TEAM 4 TOOK OVER THE INVESTIGATION. 

9       Q    HOW LONG DID YOU REMAIN THERE?

10       A    UNTIL JUST AFTER EIGHT O'CLOCK THAT 

11   EVENING.

12       Q    WAS ANYONE FROM THE MEDICAL EXAMINER'S 

13   OFFICE THERE WHEN YOU ARRIVED --

14       A    NO.

15       Q    -- OR WHEN YOU LEFT?

16       A    NO. 

17       Q    DO YOU KNOW IF THEY SHOWED UP THAT EVENING?

18       A    YES, I DO.

19       MR. FELDMAN:  OBJECTION; SPECULATION, NO 

20   FOUNDATION.  MOTION TO STRIKE. 

21       THE COURT:  COUNSEL, I THINK HE'S CORRECT.

22       MR. DUSEK:  I THINK HE IS, TOO.

23       THE COURT:  THE ANSWER IS STRICKEN. 

24       MR. DUSEK:  NO FURTHER QUESTIONS, YOUR HONOR.

25       THE COURT:  ALL RIGHT.

26            COUNSEL?

27       MR. FELDMAN:  JUST THINKING IF YOU HAVE A 

28   PODIUM. 






Page 34

1       THE COURT:  REMEMBER, THIS ISN'T MY HOME.  OKAY. 

2       MR. FELDMAN:  NOR OURS.  THANK YOU. 

3       THE COURT:  BUT YOU KNOW, THAT'S A VERY GOOD 

4   QUESTION.  THERE IS A PODIUM.  AND MAYBE ONE OF THE 

5   BAILIFFS CAN GET IT.

6       MR. FELDMAN:  THANK YOU VERY MUCH. 

7       THE COURT:  AS YOU KNOW, THIS DEPARTMENT IS NOT 

8   USED FOR TRIALS.  IT'S A PRESIDING DEPARTMENT, SO A 

9   PODIUM NORMALLY ISN'T NECESSARY.  BUT IT'S A FAIR 

10   REQUEST. 

11       MR. FELDMAN:  THANK YOU VERY MUCH.

12   

13                     CROSS-EXAMINATION

14   BY MR. FELDMAN:

15       Q    SIR, DID YOU PREPARE ANY REPORTS IN 

16   CONNECTION WITH ANY ASPECT OF YOUR INVESTIGATION?

17       A    JUST A FEW MINOR REPORTS. 

18       Q    WHEN YOU USE THE WORD "FEW," WHAT NUMBER 

19   COMES TO MIND?

20       A    THREE. 

21       Q    WITH REGARD TO THOSE THREE REPORTS, DID YOU 

22   PREPARE THOSE REPORTS AT TIMES WHEN THE EVENTS WERE 

23   FRESHER IN YOUR MIND THAN THEY ARE TODAY?

24       A    YES.

25       Q    DID YOU REVIEW THE REPORTS TO ENSURE THAT 

26   THEY CONTAINED ACCURATE INFORMATION?

27       A    YES, I DID. 

28       Q    DID YOU REVIEW THE REPORTS TO ENSURE THAT 






Page 35

1   THEY CONTAINED DETAILS THAT YOU BELIEVED TO BE 

2   SIGNIFICANT?

3       A    YES.

4       Q    IS IT FAIR TO SAY THOSE REPORTS, THEN, 

5   CONSTITUTE A FAIR AND ACCURATE REPRESENTATION OF ALL 

6   DETAIL YOU BELIEVE TO BE SIGNIFICANT IN CONNECTION 

7   WITH YOUR PARTICIPATION IN THIS CASE?

8       MR. DUSEK:  OBJECTION; IRRELEVANT, TO ALL 

9   REPORTS.

10       THE COURT:  OVERRULED. 

11       THE WITNESS:  NO.

12   BY MR. FELDMAN:

13       Q    SO ARE THE REPORTS, THEN, JUST PARTIAL 

14   REPORTS THAT DO NOT CONTAIN DETAIL YOU BELIEVE TO BE 

15   SIGNIFICANT?

16       A    I CAN TELL YOU WHAT THE THREE REPORTS WERE. 

17       Q    WELL, PRIOR TO COMING TO COURT, DID YOU 

18   REVIEW THE REPORTS?

19       THE COURT:  COUNSEL, I KNOW, I CAN'T SEE MY 

20   COURT REPORTER'S FACE.  BUT IF I WERE TO LOOK OR 

21   WERE TO BE ABLE TO SEE IT, I KNOW SHE'D BE GIVING ME 

22   LOOKS.  OKAY?  SLOW DOWN JUST A LITTLE BIT.

23       MR. FELDMAN:  YOUR HONOR, JUST SO THAT YOU KNOW, 

24   SHE AND I HAVE HAD A CONVERSATION.  SHE KNOWS ANY 

25   TIME SHE WISHES SHE CAN EITHER RAISE HER HANDS OR 

26   SHOUT, AND I KNOW I GO AT A FAST RATE.

27       THE COURT:  SHE'S NOT GOING TO SHOUT.  I WASN'T 

28   PRIVY TO THAT CONVERSATION.  GO AHEAD.






Page 36

1       MR. FELDMAN:  CAN I HAVE THE LAST QUESTION READ 

2   BACK, PLEASE.  I'M SORRY.

3       (THE RECORD WAS READ BACK BY THE REPORTER.)

4   BY MR. FELDMAN:

5       Q    PRIOR TO COMING TO COURT, SIR, DID YOU 

6   REVIEW THOSE REPORTS FOR THE PURPOSE OF REFRESHING 

7   YOUR RECOLLECTION AND HELPING YOU TESTIFY?

8       A    NO.

9       Q    BEFORE COMING TO COURT, DID YOU DO ANYTHING 

10   FOR THE PURPOSE OF REFRESHING YOUR RECOLLECTION?

11       A    YES, I DID. 

12       Q    WHAT DID YOU DO?

13       A    I REVIEWED SOME OF THE REPORTS THAT HAD 

14   BEEN DONE BY PATROL OFFICERS AND DETECTIVES.

15       Q    WHAT REPORTS DID YOU REVIEW THAT WERE 

16   PREPARED BY PATROL OFFICERS AND DETECTIVES?

17       A    I REVIEWED THE COMMUNICATION PRINTOUT OF 

18   THE CASE.  I REVIEWED SOME REPORTS OF INTERVIEWS 

19   DONE BY WITNESSES, DONE OF WITNESSES. 

20       Q    WHICH REPORTS OF INTERVIEWS OF WITNESSES?

21       A    BRENDA AND DAMON VAN DAM. 

22       Q    OKAY. 

23       A    AND CHRIS MORGAN, CARSTON HEINBERG, BARBARA 

24   EASTON, AND DENISE KEMAL. 

25       Q    DID YOU SPEAK TO ANY OTHER OFFICERS IN 

26   CONNECTION WITH ASSISTING YOURSELF AND REFRESHING 

27   YOUR RECOLLECTION ABOUT THE EVENTS ABOUT WHICH YOU 

28   WERE BEING CALLED TO TESTIFY?






Page 37

1       A    NO. 

2       MR. FELDMAN:  AT THIS TIME, YOUR HONOR, THE 

3   DEFENSE MOVES TO REQUEST EVIDENCE CODE SECTION 721 

4   -- 771, FOR PRODUCTION OF ALL DOCUMENTS THAT THIS 

5   WITNESS UTILIZED FOR PURPOSES OF REFRESHING HIS 

6   RECOLLECTION. 

7       THE COURT:  YOU'RE TALKING ABOUT THE -- FROM 

8   WHAT ME TALKED ABOUT -- COMMUNICATIONS, PRINTOUTS 

9   AND INTERVIEWS OF SEVERAL WITNESSES; CORRECT?

10       MR. FELDMAN:  YES.

11       THE COURT:  WHY DON'T YOU DISCUSS THAT WITH THE 

12   DISTRICT ATTORNEY?

13       MR. DUSEK:  I BELIEVE HE ALREADY HAS THEM.  PART 

14   OF THE DISCOVERY.

15       MR. FELDMAN:  EXCUSE ME, COUNSEL.

16       THE COURT:  I WAS TALKING TO THE DISTRICT 

17   ATTORNEY. 

18            YOUR POSITION IS THAT ALL OF THESE 

19   DOCUMENTS HAVE BEEN TURNED OVER TO THE DEFENSE?

20       MR. DUSEK:  I BELIEVE SO. 

21       THE COURT:  OKAY. 

22       MR. FELDMAN:  I JUST KNOW THAT THE EVIDENCE CODE 

23   PROVIDES AT ANY TIME A WITNESS UTILIZES ANY 

24   DOCUMENTS FOR PURPOSES OF REFRESHING HIS 

25   RECOLLECTION --

26       THE REPORTER:  HOLD ON.  SLOW DOWN, PLEASE.

27       MR. FELDMAN:  AT ANY TIME A WITNESS REFERS TO 

28   ANY DOCUMENTS FOR PURPOSES OF REFRESHING HIS 






Page 38

1   RECOLLECTION, THAT UNDER THE EVIDENCE CODE WE'RE 

2   ENTITLED TO PRODUCTION OF THOSE DOCUMENTS.

3       THE COURT:  YOU'RE CORRECT.  COUNSEL HAS SAID 

4   HE'S ALREADY PRODUCED THEM. 

5       MR. FELDMAN:  WELL, THE PROBLEM IS I HAVE NO 

6   RECOLLECTION OF EVER SEEING ANY REPORT OF ANY KIND 

7   PREPARED BY THIS WITNESS.  AND I'VE READ, I THINK 

8   COUNSEL TOLD US, 1,607 PAGES.   

9       THE COURT:  SO WHAT YOU'RE SAYING TO ME IS, HE 

10   INDICATED THAT HE PREPARED THREE REPORTS AND YOU 

11   HAVEN'T SEEN THOSE REPORTS?

12       MR. FELDMAN:  CERTAINLY NOT THOSE REPORTS, 

13   THAT'S CORRECT, YOUR HONOR. 

14       THE COURT:  WHAT SEEMS TO BE THE PROBLEM?

15       MR. DUSEK:  I DON'T KNOW IF THERE IS A PROBLEM. 

16       THE COURT:  OKAY. 

17       MR. FELDMAN:  I'M NOT MAKING ANY ALLEGATION THAT 

18   THERE'S A PROBLEM.  I'M JUST ASKING FOR THE WITNESS 

19   TO PRODUCE.

20       THE COURT:  SIR, IF YOU HAVEN'T ALREADY PRODUCED 

21   THESE REPORTS, PLEASE DO SO OVER THE NOON HOUR.  

22   OKAY, THE THREE REPORTS THAT YOU INDICATED THAT YOU 

23   MADE. 

24            IF YOU HAVE ALREADY PRODUCED THOSE REPORTS, 

25   THE ATTORNEYS WILL MEET AT NOON AND FIGURE OUT THIS 

26   PROBLEM, AND I'LL STAY OUT OF IT UNLESS I HAVE TO 

27   GET INTO IT. 

28       MR. FELDMAN:  THANK YOU VERY MUCH, YOUR HONOR.  






Page 39

1   BY MR. FELDMAN:

2       Q    SIR, BASICALLY, I THINK YOU TOLD US YOU 

3   WERE THE LAW ENFORCEMENT OFFICER WHO WAS I GUESS 

4   ASSIGNED PRIMARY RESPONSIBILITY IN THE BEGINNING TO 

5   LOCATE DANIELLE VAN DAM; IS THAT CORRECT, SIR?

6       A    NOT IN THE BEGINNING. 

7       Q    AFTER SOME SHORT PERIOD OF TIME; IS THAT 

8   CORRECT?

9       A    AT 10:30 IN THE EVENING. 

10       Q    AND THAT WOULD BE ON WHICH DATE?

11       A    FEBRUARY 2ND. 

12       Q    AND BY THEN DANIELLE HAD BEEN MISSING FOR 

13   HOW LONG?

14       A    SHE'D BEEN DISCOVERED MISSING AT SHORTLY 

15   AFTER NINE O'CLOCK SATURDAY MORNING.  SO THIS WAS 

16   ABOUT 13-AND-A-HALF HOURS AFTER SHE WAS DISCOVERED 

17   MISSING.

18       Q    YOU SAID ON DIRECT EXAMINATION THAT, I 

19   THOUGHT, YOU FIRST LEARNED OF THIS AT 10:00 A.M. 

20            DO YOU RECALL THAT?

21       A    NO. 

22       Q    THEN IT'S FAIR TO SAY, THEN, THE FIRST YOU 

23   LEARNED OF THE MISSING PERSON REPORT WAS AT 9:00 

24   A.M., NOT 10:00 A.M.; IS THAT CORRECT?

25       A    THE FIRST TIME I LEARNED ABOUT THIS WAS 

26   ABOUT SEVEN -- ABOUT FIVE O'CLOCK THAT EVENING. 

27       THE COURT:  "THAT EVENING" BEING WHICH DATE?

28       THE WITNESS:  FEBRUARY 2ND.






Page 40

1       THE COURT:  THANK YOU.  

2   BY MR. FELDMAN:

3       Q    WHEN YOU RECEIVED THE CALL OUT, WAS THAT AT 

4   10:00 A.M.?

5       A    NO.  ABOUT 10:30 P.M.

6       Q    ALL RIGHT.  DID YOU HAVE ANYTHING TO DO 

7   WITH THE SEARCH OF THE VAN DAM RESIDENCE?  OR 

8   SEARCHES, I SHOULD SAY.

9       A    I WAS INVOLVED IN ONE SEARCH OF THE VAN DAM 

10   RESIDENCE.

11       Q    WHICH SEARCH WAS THAT, SIR?

12       A    THAT WAS DONE ABOUT THREE O'CLOCK, THE 

13   MORNING OF FEBRUARY THE 3RD. 

14       Q    AND WAS ONE OF YOUR PURPOSES IN SEARCHING 

15   THE VAN DAM HOUSE TO SEEK TO LOCATE, FOR INSTANCE, 

16   BLOOD THAT MIGHT HAVE BEEN PRESENT AT THE SCENE?

17       A    NO.  MY SEARCH WAS TO DO ANOTHER SEARCH TO 

18   MAKE SURE THAT DANIELLE WAS NOT ANYWHERE IN THAT 

19   HOUSE.

20       Q    ALL RIGHT.  SO YOUR PURPOSE WAS JUST TO 

21   LOOK FOR HUMAN BEINGS AS OPPOSED TO TRACE EVIDENCE; 

22   IS THAT CORRECT?

23       A    THAT'S CORRECT. 

24       Q    SO YOU HADN'T BEEN TOLD, FOR INSTANCE, THAT 

25   ON THE BANNISTER OR THE STAIRWELL THERE APPEARED TO 

26   BE RED SPOTS THAT MIGHT HAVE BEEN BLOOD?  YOU DID 

27   NOT HAVE THAT INFORMATION; IS THAT CORRECT, SIR?

28       MR. DUSEK:  OBJECTION; ASSUMES FACTS NOT IN 






Page 41

1   EVIDENCE.

2   BY MR. FELDMAN:

3       Q    DID YOU HEAR FROM ANY OF THE EVIDENCE --

4       THE REPORTER:  HOLD ON.

5       MR. FELDMAN:  I'M SORRY.

6       THE COURT:  I LEARNED A LONG TIME AGO THAT I GET 

7   TO FULLY RULE AND THEN, LIKE IT OR NOT, THEN YOU GO.  

8   OKAY?

9       THE REPORTER:  WHAT WAS YOUR RULING?

10       THE COURT:  SUSTAINED.  THE OBJECTION IS 

11   SUSTAINED.

12       MR. FELDMAN:  YOUR HONOR, I'D MAKE -- I'M TRYING 

13   TO GET THE ADRENALINE DOWN.

14       THE COURT:  I KNOW YOU ARE.

15            LET'S ASK THE NEXT QUESTION.

16   BY MR. FELDMAN:

17       Q    WITH REGARD TO THE ASSIGNMENTS THAT YOU 

18   ENGAGED IN -- LET ME WITHDRAW THAT. 

19            DID YOU DIRECT ANY EVIDENCE TECHS, 

20   CRIMINALIST OR LABORATORY PERSONNEL TO EFFECT ANY 

21   KIND OF INSPECTION OF THE VAN DAM HOUSE AT ANY TIME?

22       A    NO. 

23       Q    WHOSE RESPONSIBILITY, THEN, WOULD IT HAVE 

24   BEEN TO DIRECT THE FORENSIC TEAMS OF INDIVIDUALS TO 

25   EVALUATE OR INVESTIGATE THE VAN DAM RESIDENCE?

26       A    THAT WAS DONE PRIOR TO MY ARRIVAL ON THE 

27   SCENE THAT NIGHT. 

28       Q    "THAT NIGHT" REFERRING TO THE 2ND OF 






Page 42

1   FEBRUARY?

2       A    THE 2ND OF FEBRUARY, YES.

3       Q    BUT YOU TOLD US ON THE 3RD OF FEBRUARY YOU 

4   ALSO WENT IN; IS THAT CORRECT?

5       A    AT THREE O'CLOCK IN THE MORNING.

6       Q    ALL RIGHT.  SO IS IT FAIR TO SAY THAT FIRST 

7   THE FORENSIC TEAMS WENT IN, EARLIER THAN YOU, AND 

8   THEN AT 3:00 A.M. IN THE MORNING YOU WENT IN?

9       A    YES. 

10       Q    NOW, SINCE THE FORENSIC TEAM HAD ALREADY 

11   BEEN INSIDE -- STRIKE THAT. 

12            THE FORENSIC TEAM, ONCE IT HAD CONCLUDED 

13   ITS WORK, DID IT REPORT IT HAD FOUND NO BODIES, NO 

14   INDIVIDUALS?

15       MR. DUSEK:  OBJECTION; HEARSAY.

16       THE COURT:  OVERRULED. 

17       THE WITNESS:  THEY DIDN'T REPORT THAT THEY HAD 

18   NOT FOUND ANY BODY, BUT I ASSUME IF THEY HAD THAT 

19   THEY WOULD HAVE NOTIFIED ME.

20   BY MR. FELDMAN:

21       Q    SO WHAT WAS THE PURPOSE OF YOU GOING IN FOR 

22   THE PURPOSE OF ATTEMPTING TO LOCATE SOMEONE?

23       A    BECAUSE WE WERE CHECKING AREAS OTHER THAN 

24   WHAT THE FORENSIC TEAM WAS LOOKING IN.

25       Q    SORRY, YOU JUST USED THE WORD "WE."  WHO'S 

26   "WE"?

27       A    MYSELF, FBI AGENT MATT BROWN, AND CHILD 

28   ABUSE SERGEANT ERNIE HERBERT.






Page 43

1       Q    WITH REGARD TO FBI AGENT MATT BROWN, DID 

2   YOU SEE ANY DOCUMENTS THAT HE PREPARED PRIOR TO YOUR 

3   COMING TO COURT TODAY?

4       A    NO. 

5       Q    HAVE YOU DISCUSSED WITH AGENT BROWN ANY OF 

6   THE SUBSEQUENT OBSERVATIONS YOU MADE IN CONNECTION 

7   WITH YOUR PARTICIPATION IN THIS CASE?

8       A    NO. 

9       Q    IS THE ONLY CONTACT YOU HAD WITH FBI AGENT 

10   MATT BROWN THAT WHICH OCCURRED AT 3:00 A.M. ON OR 

11   ABOUT 2-2?

12       A    NO. 

13       Q    WHAT SUBSEQUENT CONTACTS DID YOU HAVE WITH 

14   AGENT BROWN, SIR?

15       A    HE WAS PART OF THE INVESTIGATIVE TEAM FOR 

16   THE FIRST WEEK.

17       Q    ALL RIGHT.  DID YOU WORK WITH HIM AND THE 

18   FBI IN CONNECTION WITH YOUR EFFORTS TO LOCATE 

19   DANIELLE VAN DAM?

20       A    YES. 

21       Q    WELL, YOU SAID THAT ONE OF THE TEAM MEMBERS 

22   WAS ERNIE HERBERT OF CHILD ABUSE; IS THAT CORRECT?

23       A    THAT'S CORRECT. 

24       Q    NOW, ONE OF THE JOBS THAT THE CHILD ABUSE 

25   UNIT DOES WITH THE P.D. IS TO DETERMINE WHETHER OR 

26   NOT KIDS HAVE BEEN ABUSED; IS THAT CORRECT?

27       A    THAT'S CORRECT.

28       Q    ONE OF THE SYMPTOMS OF ABUSE WOULD BE 






Page 44

1   BLOOD; ISN'T THAT CORRECT?

2       A    THAT'S CORRECT. 

3       Q    SO IS IT FAIR TO SAY THAT AT LEAST 

4   INDIVIDUALS WITHIN YOUR, I DON'T KNOW, CHAIN OF 

5   COMMAND, WOULD HAVE BEEN DETERMINED TO ATTEMPT TO 

6   LOCATE TRACE EVIDENCE SUCH AS BLOOD TO ENSURE THAT 

7   THE VAN DAMS WERE NOT RESPONSIBLE FOR ANYTHING 

8   UNTOWARD COMING TO DANIELLE?

9       A    YES. 

10       Q    SINCE, THEN, YOU HAD THE CHILD ABUSE UNIT 

11   WITH YOU, AND THE FBI WHEN YOU WENT IN AT 3:00 IN 

12   THE MORNING ON -- WERE THE LIGHTS ON AT 3:00 IN THE 

13   MORNING?  DID YOU TURN THE LIGHTS ON?

14       A    THEY WERE ON IN THE HOUSE.

15       Q    DID ANYBODY LOOK TO INSPECT THE STAIRWAY 

16   AREA OF THE VAN DAM RESIDENCE? 

17       A    I DON'T KNOW THAT FOR SURE.  I WOULD ASSUME 

18   THE FORENSIC TEAM DID. 

19       Q    HAVE YOU SEEN A FLOOR PLAN OF THE VAN DAM 

20   RESIDENCE?

21       A    I HAVEN'T SEEN THE FLOOR PLAN BUT I'VE BEEN 

22   IN THE HOUSE.

23       Q    DO YOU REMEMBER THAT THERE'S A STAIRWAY?

24       A    YES. 

25       Q    AND WHEN YOU GET TO THE TOP OF THE 

26   STAIRWAY, DO YOU REMEMBER THAT THERE'S SEVERAL 

27   ROOMS?

28       A    YES. 






Page 45

1       Q    WITH REGARD TO THE ROOMS, WHEN YOU FIRST 

2   SAW THE SEVERAL ROOMS, COULD YOU TELL WHOSE ROOM WAS 

3   WHOSE?

4       A    NO. 

5       Q    BECAUSE THERE WAS NOTHING THAT PLAINLY 

6   MARKED, FOR INSTANCE, THAT ONE ROOM BELONGED TO ONE 

7   OF THE VAN DAM CHILDREN, ANOTHER ROOM BELONGED TO 

8   ANOTHER OF THE VAN DAM CHILDREN; CORRECT?

9       A    THAT'S CORRECT. 

10       Q    AND THERE WAS NOTHING THAT PLAINLY 

11   INDICATED, FOR INSTANCE, THAT WHICH WAS THE MASTER 

12   BEDROOM AS OPPOSED TO ANOTHER BEDROOM WHICH WAS DOWN 

13   THE HALL; IS THAT CORRECT?

14       A    NO, I ASSUME THE MASTER BEDROOM WAS THE ONE 

15   THAT WAS AWAY FROM THE OTHER THREE BEDROOMS. 

16       Q    REGARDLESS, THOUGH, WERE YOU SHOWN WHICH OF 

17   THE BEDROOMS IN THE UPSTAIRS AREA WAS DANIELLE 

18   VAN DAM'S?

19       A    YES, I WAS.

20       Q    BY WHOM WERE YOU SHOWN THAT?

21       A    I DON'T RECALL. 

22       Q    YOU DON'T RECALL WHETHER IT'S THE VAN DAMS 

23   OR ONE OF THE OFFICERS THAT WAS WORKING WITH YOU, 

24   SIR?

25       A    IT WAS NOT THE VAN DAMS. 

26       Q    DID YOU ENTER THE ROOM THAT WAS IDENTIFIED 

27   TO YOU AS DANIELLE VAN DAM'S?

28       A    YES, I DID. 






Page 46

1       Q    DID YOU LOOK AROUND THE ROOM FOR THE 

2   PURPOSE OF DETERMINING PRESENCE OR ABSENCE, SAY, OF 

3   BLOOD?

4       A    I LOOKED -- NOT MICROSCOPICALLY, BUT I 

5   LOOKED AROUND, YES.

6       Q    AND THE PURPOSE OF YOU LOOKING AROUND WAS 

7   BECAUSE YOU ARE TRYING TO SOLVE WHAT PERCEIVES TO 

8   YOU TO BE A CRIME; RIGHT?

9       A    THAT'S CORRECT. 

10       Q    AND YOU'RE A PRO AT THIS.  YOU TOLD US 

11   YOU'VE BEEN DOING THIS FOR 30 YEARS OR SO; IS THAT 

12   RIGHT?

13       A    THAT'S CORRECT.

14       Q    AND YOU HAD WITH YOU TEAM MEMBERS WHO ALSO 

15   HAD SIGNIFICANT EXPERIENCE; IS THAT CORRECT?

16       A    THAT'S CORRECT. 

17       Q    AND PRIOR TO YOUR GETTING TO DANIELLE 

18   VAN DAM'S ROOM, YOU HAD A FORENSIC TEAM IN THE HOUSE 

19   LOOKING FOR TRACE EVIDENCE; ISN'T THAT CORRECT?

20       A    THAT'S CORRECT.

21       Q    BECAUSE PART OF YOUR TASK IS TO RULE OUT 

22   ANYONE IN SIGHT, BASICALLY, AS A POTENTIAL SUSPECT 

23   IN A CRIME LIKE THIS; ISN'T THAT CORRECT?

24       A    THAT'S CORRECT. 

25       Q    AND SO INITIALLY, IS IT FAIR TO SAY THAT 

26   YOU SUSPECTED THAT THE VAN DAMS MAY HAVE HAD 

27   SOMETHING TO DO WITH THIS?

28       MR. DUSEK:  OBJECTION; IRRELEVANT.






Page 47

1       THE COURT:  SUSTAINED. 

2       MR. FELDMAN:  YOUR HONOR, YOU SUSTAINED 

3   RELEVANCE.  MAY I MAKE AN OFFER OF WHATEVER THE 

4   COURT WISHES?

5       THE COURT:  NO, I SUSTAINED IT.  NEXT QUESTION.  

6   BY MR. FELDMAN:

7       Q    DO YOU RECALL WHETHER OR NOT YOU HAD 

8   DIRECTED YOUR EVIDENCE TEAM TO SEEK TO LOCATE 

9   ANYTHING THAT COULD POSSIBLY BE CONSTRUED AS TRACE 

10   EVIDENCE?

11       A    I DID NOT DIRECT THE FORENSIC TEAM.  THAT 

12   WAS DONE PRIOR TO MY ARRIVAL.

13       Q    WELL, IT'S NOT -- TO YOUR KNOWLEDGE, ISN'T 

14   ONE OF THE JOBS OF THE FORENSIC TEAMS TO TRACK DOWN 

15   TRACE EVIDENCE?

16       A    YES. 

17       Q    AND TO YOUR KNOWLEDGE, THEY DID THEIR JOB 

18   OR THEY ATTEMPTED TO DO THEIR JOB; RIGHT?

19       MR. DUSEK:  OBJECTION; MULTIPLE HEARSAY, 

20   SPECULATION.

21       THE COURT:  OVERRULED.  OVERRULED.

22            YOU MAY ANSWER THE QUESTION.

23       THE WITNESS:  MAY I HAVE THE QUESTION AGAIN, 

24   PLEASE?

25       (THE RECORD WAS READ BACK BY THE REPORTER.)

26       THE WITNESS:  THAT'S CORRECT.  

27   BY MR. FELDMAN:

28       Q    AND NOBODY TOLD YOU THAT THEY THOUGHT 






Page 48

1   THEY'D SEEN SOME BLOOD EVIDENCE ON THE STAIRWELL?

2       MR. DUSEK:  OBJECTION; ASKED AND ANSWERED, 

3   MULTIPLE HEARSAY.

4       THE COURT:  OVERRULED. 

5       THE WITNESS:  NO.

6   BY MR. FELDMAN:

7       Q    IS THE FIRST TIME YOU'RE LEARNING THAT THE 

8   SAN DIEGO POLICE DEPARTMENT FORENSIC TEAM IDENTIFIED 

9   WHAT APPEARED TO BE POTENTIAL BLOOD SPOTS ON THE 

10   STAIRWELL TODAY?

11       MR. DUSEK:  OBJECTION; ASKED AND ANSWERED.

12       THE COURT:  OVERRULED. 

13       THE WITNESS:  I BELIEVE SO.

14   BY MR. FELDMAN: 

15       Q    IN THE ORDINARY COURSE OF BUSINESS, IS IT 

16   THE CASE WITHIN THE SAN DIEGO POLICE DEPARTMENT THAT 

17   THE FORENSIC UNITS REPORT UP THE CHAIN OF COMMAND?  

18       A    YES. 

19       Q    AND AT LEAST IN TERMS OF THIS CASE, ARE YOU 

20   AT THE TOP OF THE CHAIN OR WERE YOU AT THE TOP OF 

21   THE CHAIN OF COMMAND?

22       A    NO.  THERE WAS BIFURCATED CHAIN OF COMMAND.  

23   LIEUTENANT DUNCAN WAS IN CHARGE OF THE PHYSICAL 

24   EVIDENCE AND THE PROCESSING OF MR. WESTERFIELD. 

25       Q    OKAY.  I'M SORRY.  YOU JUST SAID 

26   LIEUTENANT DUNCAN WAS IN CHARGE OF THE PROCESSING ON 

27   THE WESTERFIELD INVESTIGATION PART. 

28            WHO WAS IN CHARGE OF THE INVESTIGATION AND 






Page 49

1   PROCESSING OF THE VAN DAM ASPECT OF THE CASE?

2       A    THE HOMICIDE TOOK OVER RESPONSIBILITY FOR 

3   ALL PHYSICAL EVIDENCE.

4       Q    WAS THAT BEFORE OR AFTER 3:00 A.M. WHEN YOU 

5   WERE THERE?

6       A    THAT WAS AFTER. 

7       Q    DID YOU REPORT TO HOMICIDE -- STRIKE THAT. 

8            DID YOU DIRECT ANY OF THE FORENSIC TEAMS TO 

9   REPORT TO HOMICIDE THAT WHICH THEY HAD FOUND?

10       A    I DID NOT DIRECT THEM.  BUT THAT'S THE WAY 

11   THE REPORTING WENT. 

12       Q    I'M SORRY, "THAT'S THE WAY"?

13       A    THAT'S THE WAY THE REPORTING WENT.  THEY 

14   REPORTED TO HOMICIDE.

15       Q    AND WERE YOU AWARE -- STRIKE THAT. 

16            AS PART OF YOUR INSPECTION OF THE VAN DAM 

17   RESIDENCE, SIR, DID YOU HAVE OCCASION TO WALK AROUND 

18   THE VAN DAM RESIDENCE?

19       A    YES, I DID.

20       Q    AND DID YOU NOTE THAT IN THE GARAGE AREA 

21   THERE APPEARED TO BE SOME BLOOD AS WELL, ON SOME 

22   CEMENT?

23       A    NO, I DID NOT. 

24       Q    WITH REGARD TO THE REPORTS THAT YOU TOLD US 

25   THAT YOU REVIEWED PRIOR TO COMING TO COURT, SIR, 

26   WERE ANY OF THOSE REPORTS FORENSIC REPORTS?

27       A    NO. 

28       Q    SIR, ARE YOU TELLING ME, SIR, THAT ALTHOUGH 






Page 50

1   YOU WERE AT THE TOP OF THE CHAIN OF COMMAND, YOU 

2   WERE UNAWARE THAT VARIOUS EVIDENCE TECHNICIANS HAD 

3   APPARENTLY INDICATED THAT THEY HAD LOCATED BLOOD IN 

4   A CEMENT AREA IMMEDIATELY ADJACENT TO THE GARAGE AT 

5   THE VAN DAM RESIDENCE?

6       MR. DUSEK:  OBJECTION; ASKED AND ANSWERED,  

7   FACTS NOT IN EVIDENCE.

8       THE COURT:  SUSTAINED.  NEXT QUESTION.  

9   BY MR. FELDMAN:

10       Q    WHEN ON THE 2ND AT 3:00 A.M. YOU WERE 

11   INSPECTING INSIDE THE VAN DAM RESIDENCE, HAD YOU 

12   LEARNED THAT BY THEN DAMON VAN DAM HAD VACUUMED THE 

13   AREA?

14       A    I KNOW THAT THE VACUUM CLEANER WAS OUT.  

15   AND I'M NOT SURE IF I'D BEEN TOLD THAT HE HAD 

16   ACTUALLY VACUUMED EARLIER IN THE DAY OR NOT. 

17       Q    BUT YOU KNOW TODAY THAT AT SOME POINT EARLY 

18   ON IN THE INVESTIGATION MR. VAN DAM APPARENTLY 

19   VACUUM CLEANER'D UP WHAT MIGHT HAVE BEEN TRACE 

20   EVIDENCE YOUR AGENCY WOULD HAVE BEEN INTERESTED IN; 

21   CORRECT?

22       MR. DUSEK:  OBJECTION; VAGUE, CALLS FOR 

23   SPECULATION. 

24       THE COURT:  SUSTAINED. 

25       MR. FELDMAN:  I'M SORRY, OBJECTION WHICH GROUND, 

26   PLEASE?

27       THE COURT:  BOTH.  

28   /////






Page 51

1   BY MR. FELDMAN:

2       Q    WITH REGARD TO THE VAN DAM RESIDENCE, 

3   AGAIN, DID YOU NOTE THE PRESENCE OR ABSENCE OF ANY 

4   DRAG MARKS?

5       A    NO.

6            I TAKE THAT BACK.  THERE WERE SOME DRAG 

7   MARKS OUTSIDE IN SOME -- APPARENTLY IN SOME DIRT 

8   ALONG THE SIDEWALK ON THE EAST SIDE OF THE HOUSE. 

9       Q    I'M SORRY.  YOU SAID DRAG MARKS ON "THE 

10   SIDEWALK ON THE EAST SIDE OF THE HOUSE"; CORRECT?

11       A    YES. 

12       Q    ONE, IN FACT, WAS ON THE SOUTHEAST CORNER 

13   OF THE HOUSE; ISN'T THAT CORRECT?

14       A    THAT'S CORRECT.

15       Q    AND THE OTHER WAS THE SOUTHWEST -- I'M 

16   SORRY.  AND THE OTHER ONE WAS LOCATED AT THE 

17   SOUTHWEST EXTERIOR CORNER OF THE FIREPLACE; ISN'T 

18   THAT CORRECT?

19       A    I WAS NOT AWARE OF THAT ONE. 

20       Q    DID -- WERE YOU AWARE THAT ONE OF THE DRAG 

21   MARKS WAS FIVE FEET, FOUR INCHES LONG?

22       A    I WAS NOT AWARE OF THE MEASUREMENTS.

23       Q    WERE YOU AWARE THAT WITH REGARD TO A BLOOD 

24   STAIN, THAT THERE DID, IN FACT, EXIST A BLOOD STAIN 

25   ON THE CEMENT?

26       A    NO, I WAS NOT. 

27       Q    WERE YOU RESPONSIBLE FOR SUPERVISING AN 

28   OFFICER NAMED VAN WEY?






Page 52

1       A    HE WAS PART OF THE INVESTIGATIVE TEAM THAT 

2   WAS ALREADY THERE WHEN I ARRIVED.

3       Q    OKAY.  AND WHEN I -- I'M SORRY.  WAS 

4   MR. VAN WEY, IS HE ROBBERY OR IS HE HOMICIDE, DO YOU 

5   KNOW?

6       A    HE WORKS NORTHEASTERN INVESTIGATIONS. 

7       Q    IS THERE A DISTINCTION?  OR COULD YOU 

8   PLEASE EXPLAIN. 

9       A    THE AREA COMMAND IS NORTHEASTERN AREA 

10   COMMAND.  THEY HAVE PATROL AND INVESTIGATIVE 

11   PERSONNEL.  HE IS PART OF THE NORTHEASTERN AREA 

12   COMMAND INVESTIGATIONS. 

13       Q    BUT THAT DOESN'T REALLY TELL ME WHETHER 

14   HE'S ROBBERY OR HOMICIDE.

15       A    HE'S NEITHER.

16       Q    OKAY.  BUT HE'S ONE OF THE INDIVIDUALS WHO 

17   HAD -- WAS HE A UNIFORMED OFFICER ON FEBRUARY 2ND?

18       A    NO.  HE WAS IN PLAIN CLOTHES. 

19       Q    SIR, DID YOU DO ANYTHING ELSE AT THE 

20   VAN DAM RESIDENCE THAT I FAILED TO ASK YOU?

21       MR. DUSEK:  OBJECTION; VAGUE. 

22       THE COURT:  SUSTAINED.  

23   BY MR. FELDMAN:

24       Q    I'D LIKE TO NOW REDIRECT YOUR ATTENTION TO 25   I THINK YOU TOLD US APPROXIMATELY FEBRUARY 26, 

26   FEBRUARY 27.  THAT WOULD BE THE DAY THAT YOU GOT 

27   INFORMATION THAT SOMEONE HAD LOCATED DANIELLE 

28   VAN DAM.






Page 53

1       A    FEBRUARY 27TH.

2       Q    ALL RIGHT.  SIR, YOU TOLD US THAT THERE WAS 

3   SOME INFORMATION THAT CAME TO YOU THAT SUGGESTED 

4   THAT THE BODY HAD BEEN BURNED.  YOU'RE TRAINED, ARE 

5   YOU NOT, IN THE DECOMPOSITION OR AT LEAST SOME 

6   LEVELS OF FORENSICS?

7       A    YES. 

8       Q    AND YOU'RE AWARE THAT WHEN A BODY IS LEFT 

9   OUT FOR A PERIOD OF TIME, DECOMPOSITION CAN RESULT 

10   IN A DARKENING OF THE TISSUES?

11       A    YES. 

12       Q    AND THAT THAT DARKENING CAN BE CONFUSED FOR 

13   BURN MARKS?

14       A    YES. 

15       Q    AND WHEN YOU OBSERVED THE BODY INITIALLY, 

16   YOU DID NOT FORM THE OPINION THAT IT WAS BURNED, DID 

17   YOU?

18       A    WHEN I FIRST GLANCED AT IT WITH THE 

19   IMPRESSION IN MY MIND THAT THE BODY HAD BEEN BURNED, 

20   THAT WAS MY FIRST BLUSH.  BUT THEN TAKING A CLOSER 

21   LOOK AT IT, I REALIZED THAT HAD NOT BEEN THE CASE.

22       Q    ALL RIGHT.  AND THAT'S BECAUSE, 

23   UNFORTUNATELY, PART OF YOUR BUSINESS IS TO HAVE TO 

24   DEAL WITH HUMAN BEINGS IN THE CONDITION THAT YOU 

25   FOUND DANIELLE VAN DAM; ISN'T THAT RIGHT?

26       A    THAT'S CORRECT. 

27       Q    AND YOU HAVE, UNFORTUNATELY, A GREAT DEAL 

28   OF EXPERIENCE IN THIS AREA; ISN'T THAT RIGHT?






Page 54

1       A    I WAS A HOMICIDE LIEUTENANT FOR FIVE YEARS.

2       Q    SIR, I THINK YOU TOLD US ALSO THAT THERE 

3   MAY HAVE SOME WHAT YOU PERCEIVE TO BE DRAG MARKS IN 

4   OR NEAR THE AREA OF THE BODY.

5       A    YES.

6       Q    DID YOU PREPARE A REPORT OR ANY DOCUMENT 

7   REFLECTING THAT OBSERVATION?

8       A    NO. 

9       Q    THAT COMES TO YOU FROM MEMORY ALONE OR DID 

10   YOU COMMUNICATE THAT TO ANYONE?

11       A    FROM MEMORY ALONE.

12       Q    CAN YOU TELL ME, SIR, WHAT WAS THE 

13   APPROXIMATE WIDTH OF THE DRAG MARKS?

14       A    I WOULD SAY NO MORE THAN A FOOT, BUT THAT 

15   WOULD JUST BE AN ESTIMATE. 

16       Q    OKAY.  SO IT'S FAIR TO SAY, IS IT NOT, THAT 

17   WITH REGARD TO YOUR MEMORY OF THE -- YOUR FIRST 

18   OBSERVATIONS AT THE SCENE, YOU DIDN'T DO ANYTHING TO 

19   MEMORIALIZE YOUR OBSERVATIONS; CORRECT?

20       A    NO.  NO, SIR.

21       Q    AND BUT YOU'RE TRAINED AS PART -- STRIKE 

22   THAT. 

23            AS A LAW ENFORCEMENT OFFICER, YOU 

24   UNDERSTAND THAT PEOPLE'S MEMORIES FADE WITH TIME; IS 

25   THAT CORRECT?

26       A    THAT'S CORRECT. 

27       Q    AND ONE -- ONE OF THE THINGS THAT LAW 

28   ENFORCEMENT DOES TO PROTECT AGAINST MEMORIES FADING 






Page 55

1   WITH TIME IS TO PREPARE REPORTS; ISN'T THAT CORRECT?

2       A    THAT'S CORRECT.

3       Q    BECAUSE THE REPORTS ARE PREPARED 

4   CONTEMPORANEOUS WITH THE OBSERVATIONS AND THEREBY 

5   PRESERVED IN MEMORY; ISN'T THAT CORRECT?

6       A    THAT'S CORRECT.

7       Q    IN THIS CASE, THOUGH, YOU DID NOT DO 

8   ANYTHING SUBSTANTIVE TO PRESERVE YOUR MEMORY; ISN'T 

9   THAT CORRECT?

10       A    THAT'S CORRECT. 

11       Q    DID YOU RELY UPON SOME OTHER PERSON, WERE 

12   THERE OTHERS AROUND YOU WHO YOU MIGHT HAVE DIRECTED 

13   TO PREPARE REPORTS TO MEMORIALIZE THE OBSERVATIONS?

14       A    I DID NOT DIRECT ANYBODY TO PREPARE ANY 

15   REPORTS, NO. 

16       Q    SO DID YOU DIRECT ANYBODY TO TAKE ANY 

17   PICTURES?

18       A    I DIRECTED LARRY FREGIA AND JOHN TEFFT TO 

19   TAKE SOME PHOTOGRAPHS. 

20       Q    AND HAVE YOU SEEN THOSE PHOTOGRAPHS PRIOR 

21   TO COMING TO COURT?

22       A    NO, I HAVE NOT. 

23       Q    AND DID THEY TAKE PHOTOGRAPHS, TO YOUR 

24   KNOWLEDGE?

25       A    TO MY KNOWLEDGE, YES. 

26       Q    DID YOU SEE THEM TAKING PHOTOGRAPHS?

27       A    YES. 

28       Q    SIR, WHAT TIME DID YOU ARRIVE AT THE SCENE 






Page 56

1   ON DEHESA ROAD?

2       A    RIGHT ABOUT THREE O'CLOCK IN THE AFTERNOON.

3       Q    DO YOU RECALL WHAT TIME SUNSET WAS?

4            APPROXIMATELY.  JUST APPROXIMATELY.

5       A    NO, I DON'T. 

6       Q    IT'S THE CASE, IS IT NOT, THAT YOU HAD NOT 

7   CONCLUDED PROCESSING THE SCENE UNTIL AFTER -- STRIKE 

8   THAT. 

9            THAT EVENING, THE SCENE HAD NOT BEEN 

10   COMPLETELY PROCESSED BEFORE YOU LEFT; ISN'T THAT 

11   RIGHT?

12       A    THAT'S CORRECT. 

13       Q    DID SOMEBODY DIRECT THAT THE SCENE BE 

14   FROZEN SO THAT COME DAYLIGHT LAW ENFORCEMENT WOULD 

15   HAVE THE OPPORTUNITY TO INVESTIGATE THE SCENE AND 

16   IDENTIFY WHAT TRACE EVIDENCE MIGHT HAVE BEEN 

17   AVAILABLE?

18       A    NOT WHILE I WAS THERE. 

19       Q    DID SOMEBODY TELL YOU THAT THE SCENE HAD 

20   BEEN FROZEN FOR THE PURPOSE OF PRESERVING TRACE 

21   EVIDENCE?

22       A    YES. 

23       Q    WHO?

24       A    I CAN'T REMEMBER IF IT WAS CAPTAIN NEWMAN 

25   OR SERGEANT BILL HOLMES. 

26       Q    IN ANY CASE, IT WOULD BE APPROPRIATE, WOULD 

27   IT NOT -- STRIKE THAT. 

28            THE REASON THE SCENE WOULD BE FROZEN WAS TO 






Page 57

1   ENSURE THAT THERE WOULD BE NO CONTAMINATION OF THE 

2   AREA; ISN'T THAT CORRECT?

3       A    THAT'S CORRECT.

4       Q    WHEN YOU FIRST GOT TO THE BODY, I THINK YOU 

5   TOLD MR. DUSEK ON DIRECT EXAMINATION YOU CAME WITHIN 

6   FIVE TO TEN FEET; IS THAT CORRECT?

7       A    YES. 

8       Q    AND YOU CAME FROM WHAT, NORTH TO SOUTH -- 

9   I'M SORRY, EAST TO WEST.  DO YOU RECALL WHAT 

10   DIRECTION YOU CAME FROM?

11       A    I CAME UP THE WEST SIDE OF THE TREE, WALKED 

12   AROUND TO THE NORTH SIDE, AND THEN APPROACHED GOING 

13   SOUTH. 

14       Q    HOW MANY PEOPLE WERE WITH YOU AT THE TIME 

15   OF YOUR APPROACH, IF YOU RECALL?

16       A    ONE. 

17       Q    AND WHO WAS THAT, PLEASE?

18       A    DEPUTY ALSTON. 

19       Q    SO BOTH YOU AND MR. ALSTON APPROACHED TO 

20   WITHIN FIVE TO TEN FEET; CORRECT?

21       A    YES.

22       Q    DO YOU HAVE KNOWLEDGE AS TO WHO HAD 

23   APPROACHED THAT SCENE PRIOR TO YOU AND 

24   DEPUTY ALSTON'S APPROACH TO THE SCENE?

25       A    THE FIVE VOLUNTEER SEARCHERS. 

26       Q    AND DID YOU INTERVIEW OR CAUSE TO BE 

27   INTERVIEWED THE FIVE VOLUNTEER SEARCHERS?

28       A    YES, I CAUSED THEM TO BE INTERVIEWED.






Page 58

1       Q    WASN'T ONE OF THE PURPOSES OF THE 

2   INTERVIEWS TO DETERMINE WHETHER OR NOT ANY OF THE 

3   SEARCH TEAM MAY HAVE EITHER ADVERTENTLY OR 

4   INADVERTENTLY CONTAMINATED THE SCENE?

5       A    YES.

6       Q    AND IT WAS IMPORTANT, WAS IT NOT, TO LEARN 

7   HOW CLOSE THE SEARCHERS HAD COME TO THE BODY TO 

8   ENSURE THAT THEY DID NOT OBLITERATE WHAT COULD 

9   POTENTIALLY BE EVIDENCE THAT YOUR OFFICE COULD USE 

10   TO INVESTIGATE THE CASE; ISN'T THAT CORRECT?

11       A    THAT'S CORRECT. 

12       Q    AND YOU LEARNED, DID YOU NOT, THAT AT LEAST 

13   FOUR TO SIX INDIVIDUALS HAD COME WITHIN THREE TO 

14   FIVE FEET OF THE BODY BEFORE EVER LETTING YOU KNOW 

15   WHAT HAD HAPPENED; ISN'T THAT RIGHT?

16       A    THAT'S CORRECT. 

17       Q    AND, IN FACT, YOU WERE ABLE TO INTERVIEW 

18   THE SEARCH TEAM MEMBERS; ISN'T THAT CORRECT?

19       A    MY DETECTIVES WERE. 

20       Q    AND YOU LEARNED -- AND YOU TOLD THE SEARCH 

21   TEAM MEMBERS OR CAUSED YOUR DETECTIVES TO TELL THE 

22   SEARCH TEAM MEMBERS THAT IT WAS IMPORTANT THAT EVERY 

23   ONE OF THEM TOLD YOU THE TRUTH, THE WHOLE TRUTH AND 

24   NOTHING BUT THE TRUTH; CORRECT?

25       A    I DON'T KNOW IF THE DETECTIVES TOLD THEM 

26   THAT OR NOT.

27       Q    WOULDN'T YOU ASSUME THAT WHEN A LAW 

28   ENFORCEMENT OFFICER IS INTERVIEWING A CIVILIAN, THAT 






Page 59

1   THE OFFICER WOULD TELL YOU IT'S IN YOUR INTEREST, 

2   SIR OR MA'AM, TO TELL THE TRUTH?

3       MR. DUSEK:  OBJECTION; IRRELEVANT.

4       THE COURT:  SUSTAINED.

5   BY MR. FELDMAN:

6       Q    WERE YOU AWARE THAT AT LEAST THE INDIVIDUAL 

7   THAT TOOK THE PHOTOGRAPH -- THAT THERE WAS AN 

8   INDIVIDUAL WHO TOOK PHOTOGRAPHS AT THE SCENE?

9       A    I JUST BECAME AWARE OF THAT THE OTHER DAY.

10       Q    BECAUSE ONE OF THE PEOPLE THAT WAS 

11   INTERVIEWED FAILED TO TELL YOUR OFFICERS THAT HE HAD 

12   PICTURES --

13       MR. DUSEK:  OBJECTION; MULTIPLE HEARSAY.

14       THE COURT:  HOLD ON.  HOLD ON.  LET ME HEAR THE 

15   QUESTION AGAIN.

16       THE REPORTER:  I DIDN'T GET IT ALL BECAUSE HE 

17   INTERRUPTED.

18       THE COURT:  ALL RIGHT.  THERE YOU GO.  I DON'T 

19   HAVE TO ADMONISH YOU. 

20            GO AHEAD. 

21       MR. FELDMAN:  WAS I ABOUT TO GET ADMONISHED?

22       THE COURT:  ASK THE QUESTION AGAIN, AND THEN 

23   I'LL LISTEN TO THE OBJECTION.  

24   BY MR. FELDMAN:

25       Q    OKAY.  IS IT THE CASE THAT -- LET ME BACK 

26   UP, JUST FOR A MOMENT. 

27            YOU JUST TOLD US THAT YOU LEARNED WITHIN A 

28   VERY SHORT PERIOD OF TIME THAT SOMEBODY HAD TAKEN 






Page 60

1   PHOTOS, ONE OF THE SEARCHERS HAD TAKEN PHOTOS; IS 

2   THAT CORRECT?

3       MR. DUSEK:  OBJECTION; MULTIPLE HEARSAY, NO 

4   FOUNDATION. 

5       THE COURT:  COUNSEL?

6       MR. FELDMAN:  I'M JUST TRYING TO REITERATE WHAT 

7   THE WITNESS SAID.

8            IT'S NOT OFFERED FOR THE TRUTH OF THE 

9   MATTER.  IT'S JUST TO FOCUS HIM.  IT'S FOUNDATIONAL.

10       MR. DUSEK:  IRRELEVANT.

11       THE COURT:  FOR THAT PURPOSE, I'LL ALLOW IT.

12   BY MR. FELDMAN: 

13       Q    I'M TRYING TO ASCERTAIN, IT'S THE CASE, 

14   ISN'T IT, THAT YOU JUST RECENTLY HAVE LEARNED THAT 

15   ONE OF THE SEARCHERS HAD A DIGITAL CAMERA AND HAD 

16   TAKEN, IN ADDITION TO HIS VACATION PICTURES, SCENE 

17   PICTURES?

18       A    YES.

19       MR. DUSEK:  IRRELEVANT.

20       THE COURT:  OVERRULED.

21            GO AHEAD.

22   BY MR. FELDMAN:

23       Q    AND WITH REGARD TO THAT PARTICULAR 

24   INDIVIDUAL, WERE YOU AWARE THAT THAT INDIVIDUAL HAD 

25   FAILED TO TELL LAW ENFORCEMENT OF THE EXISTENCE OF 

26   THE PHOTOS UNTIL SOMETIME AFTER THE INITIAL 

27   INTERVIEWS?

28       MR. DUSEK:  OBJECTION, YOUR HONOR; NO FOUNDATION 






Page 61

1   FOR 115.  THIS IS MULTIPLE HEARSAY AND IRRELEVANT.

2       THE COURT:  I THINK IT'S IRRELEVANT.  SUSTAINED.  

3       MR. FELDMAN:  EXCUSE ME, YOUR HONOR.  JUST A 

4   MINUTE, PLEASE.  

5   BY MR. FELDMAN:

6       Q    SIR, YOU TOLD US THAT YOUR INITIAL 

7   OBSERVATION INVOLVED YOUR SEEING WHAT APPEARED TO 

8   YOU TO BE THE BODY OF A YOUNG FEMALE IN AN ADVANCED 

9   STAGE OF DECOMPOSITION. 

10            CAN YOU PLEASE ELABORATE OR DEFINE WHAT YOU 

11   MEANT WHEN YOU COMMUNICATED TO MR. DUSEK THAT YOU 

12   SAW THE BODY OF A YOUNG FEMALE IN AN ADVANCED STAGE 

13   OF DECOMPOSITION?

14       A    THERE WAS A BODY OF A YOUNG PERSON, SMALL 

15   PERSON, APPROXIMATELY FOUR-FOOT-EIGHT TO 

16   FOUR-FOOT-TEN.  WHAT I COULD SEE OF THE FACE, SHE 

17   APPEARED TO BE YOUNG.  THE JEWELRY, THE NECKLACE, 

18   THE HAIR, WOULD INDICATE TO ME THAT IT WAS A FEMALE.

19       Q    MAYBE I WASN'T CLEAR.  WHAT I'M ASKING YOU 

20   TO DO IS DEFINE FOR ME WHAT YOU MEANT TO COMMUNICATE 

21   WHEN YOU DEFINED THE CONDITION AS, QUOTE, "ADVANCED 

22   STAGE OF DECOMPOSITION," END QUOTE.  THAT'S WHAT I'M 

23   ASKING. 

24       A    A LOT OF THE BODY TISSUE WAS GONE.  THERE 

25   WAS DECOMPOSITION.  THE DARK COLOR.  THE ACTIVITY OF 

26   SOME INSECTS AROUND HER FACE. 

27       Q    DO YOU RECALL WHAT KIND OF INSECTS?

28       A    MAGGOTS. 






Page 62

1       Q    YOU'RE AWARE THAT THERE'S A PARTICULAR 

2   SEGMENT OF THE FORENSIC SCIENCE COMMUNITY CALLED 

3   FORENSIC ENTOMOLOGY; IS THAT CORRECT?

4       A    YES. 

5       Q    AND YOU'RE AWARE THAT, WE'LL CALL THEM BUG 

6   DOCTORS CAN UTILIZE GENETICS FOR THE PURPOSE OF 

7   DETERMINING WHAT GENERATION OF BUG OR HOW LONG IT 

8   WOULD TAKE BEFORE THOSE BUGS COULD BE CULTURED; 

9   ISN'T THAT CORRECT?

10       MR. DUSEK:  OBJECTION; IRRELEVANT. 

11       MR. FELDMAN:  TIME OF DEATH.

12       THE COURT:  WELL, COUNSEL, I DON'T THINK IT'S 

13   IRRELEVANT.  OVERRULED.  I DON'T KNOW WHETHER THIS 

14   WITNESS KNOWS OR NOT. 

15       THE WITNESS:  I'M AWARE OF SUCH DOCTORS, YES.  

16   BY MR. FELDMAN:

17       Q    WHEN YOU SAY "ADVANCED STAGE OF 

18   DECOMPOSITION," IS THERE A MODERATE STAGE AS OPPOSED 

19   TO AN ADVANCED STAGE?

20       A    YOU GET THE DISCOLORATION FIRST AND SOME 

21   MINOR DECOMPOSITION, DECAYING OF THE BODY.

22       Q    CAN YOU TELL ME WHETHER OR NOT, IN YOUR 

23   OPINION, THAT BODY COULD HAVE BEEN LEFT THERE, WE'LL 

24   SAY FROM FEBRUARY THE 5TH --

25       MR. DUSEK:  OBJECTION; NO FOUNDATION.

26   BY MR. FELDMAN: 

27       Q    -- TO THE 26TH, I THINK YOU TOLD US YOU 

28   FOUND IT?






Page 63

1       THE COURT:  SUSTAINED.  

2   BY MR. FELDMAN:

3       Q    ARE YOU ABLE TO FORM AN OPINION, BASED ON 

4   YOUR TRAINING AND EXPERIENCE, BASED ON YOUR YEARS AS 

5   HOMICIDE DETECTIVE, BASED ON THE NUMBER OF CRIME 

6   SCENES YOU'VE SEEN, ARE YOU ABLE TO FORM AN OPINION 

7   AS TO HOW LONG THAT BODY MIGHT HAVE BEEN OUT THERE 

8   BEFORE IT WAS DISCOVERED?

9       MR. DUSEK:  OBJECTION; NO FOUNDATION.

10       THE COURT:  WELL, COUNSEL, HE'S ONLY ASKING 

11   WHETHER HE CAN FORM SUCH AN OPINION.  IF HE SAYS 

12   YES, THEN LAY A FOUNDATION.  IF HE SAYS NO, IT'S 

13   PROBABLY THE END OF THIS LINE OF QUESTIONING.

14            OVERRULED.

15       THE WITNESS:  I'M NOT QUALIFIED TO MAKE THAT 

16   KIND OF A JUDGMENT.  

17   BY MR. FELDMAN:

18       Q    DID YOU LIFT THE BODY UP OR TOUCH THE BODY 

19   IN ANY WAY?

20       A    NO. 

21       Q    DID YOU NOTICE ANY PARTICULAR ODOR?

22       A    I DID NOT. 

23       Q    AND WOULD YOU AGREE THAT ONE OF THE SIGNS 

24   OF EARLY DECOMPOSITION IS A PRETTY STRONG ODOR?

25       A    YES.

26       Q    SO THE ABSENCE OF THE ODOR WOULD SUGGEST, 

27   WOULD IT NOT, THAT THE DECOMPOSITION HAD BEEN GOING 

28   ON FOR A GREATER PERIOD OF TIME AS OPPOSED TO A 






Page 64

1   SHORTER PERIOD OF TIME?

2       MR. DUSEK:  OBJECTION; VAGUE. 

3       THE COURT:  OVERRULED.

4       THE WITNESS:  I CAN'T REALLY SAY THAT.  IT COULD 

5   HAVE BEEN THE FACT THAT THE BODY WAS OUTDOORS AND I 

6   WAS STANDING UPWIND.

7   BY MR. FELDMAN:

8       Q    WELL, SIR, IN YOUR TRAINING AND EXPERIENCE, 

9   YOU'VE COME ACROSS BODIES THAT HAVE BEEN OUTDOORS, 

10   HAVEN'T YOU?

11       A    YES, I HAVE.

12       Q    AND THEY WERE IN EARLY STAGES OF 

13   DECOMPOSITION; RIGHT?

14       A    YES.

15       Q    AND THEY SMELLED, DIDN'T THEY?

16       A    SOME OF THEM, YES.

17       Q    ESPECIALLY THOSE BODIES THAT WERE IN EARLY 

18   STAGES OF DECOMPOSITION; CORRECT, WHETHER YOU WERE 

19   UPWIND OR DOWNWIND?

20       A    THAT'S CORRECT. 

21       Q    SIR, DID YOU -- ARE YOU -- ARE YOU ABLE 

22   TODAY TO TELL US WHAT THE APPROXIMATE TEMPERATURE 

23   WAS AT THE SCENE AT WHICH YOU ORIGINALLY LOCATED 

24   DANIELLE VAN DAM?

25       MR. DUSEK:  OBJECTION; VAGUE AS TO WHEN.

26       MR. FELDMAN:  AT THE SCENE WHEN HE ORIGINALLY 

27   LOCATED IT.

28       THE COURT:  SUSTAINED. 






Page 65

1            WHEN HE CAME THERE?

2       MR. FELDMAN:  YES, YOUR HONOR.

3       THE COURT:  OKAY.  OVERRULED. 

4       THE WITNESS:  IT WAS WARM.  PROBABLY 70, LOW 

5   70'S.  

6   BY MR. FELDMAN:

7       Q    AND TEMPERATURE WILL AFFECT THE SPEED AT 

8   WHICH A BODY DECOMPOSES; ISN'T THAT CORRECT?

9       A    THAT'S CORRECT.

10       MR. FELDMAN:  EXCUSE ME, YOUR HONOR, I'M SORRY. 

11       THE COURT:  I UNDERSTAND. 

12       MR. FELDMAN:  I'M SORRY.  WE WANT THE MIKES OFF. 

13   BY MR. FELDMAN:

14       Q    I WANT TO MOVE YOU BACK TO THE VAN DAM 

15   RESIDENCE AND I WANT TO SPECIFICALLY FOCUS YOUR 

16   ATTENTION ON THE FACT OF YOUR BECOMING AWARE THAT 

17   DAMON VAN DAM HAD VACUUMED THE AREA OF THE VAN DAM 

18   RESIDENCE. 

19       MR. DUSEK:  ASSUMES FACTS NOT IN EVIDENCE AND NO 

20   FOUNDATION FOR 115, YOUR HONOR. 

21       THE COURT:  COUNSEL?

22       MR. FELDMAN:  I'LL TRY AND LAY THE FOUNDATION.

23       THE COURT:  SUSTAINED, SO FAR.

24   BY MR. FELDMAN:

25       Q    WHEN YOU WERE AT THE VAN DAM RESIDENCE, DID 

26   YOU TALK TO A POLICE OFFICER?

27       A    I TALKED TO SEVERAL POLICE OFFICERS.

28       Q    DID YOU TALK TO DAMON VAN DAM?






Page 66

1       A    NO. 

2       Q    DID YOU EVER GET SHOWN A VACUUM CLEANER?

3       A    YES. 

4       Q    DID YOU DIRECT THAT WITH REGARD TO THAT 

5   VACUUM CLEANER THAT YOU WERE SHOWN, THAT IT BE 

6   SEIZED FOR THE PURPOSE OF EVALUATING THE PRESENCE OR 

7   ABSENCE OF TRACE EVIDENCE?

8       A    I DID NOT DIRECT THAT. 

9       Q    DIDN'T IT STRIKE YOU AS UNUSUAL THAT A 

10   PERSON WHO WAS CONCERNED ABOUT LOCATING HIS DAUGHTER 

11   WOULD VACUUM UP POTENTIAL TRACE EVIDENCE?

12       MR. DUSEK:  OBJECTION; ARGUMENTATIVE, ASSUMES 

13   FACTS NOT IN EVIDENCE.

14       THE COURT:  I'VE ALREADY RULED ON THAT.  

15   SUSTAINED.  

16   BY MR. FELDMAN:

17       Q    AT THE LOCATION AT WHICH YOU IDENTIFIED 

18   DANIELLE VAN DAM'S BODY, WERE YOU ABLE TO SEE 

19   WHETHER OR NOT THERE WERE FOOTPRINTS OR OTHER MARKS 

20   IN THE AREA TO SUGGEST THAT THERE HAD BEEN SOME FORM 

21   OF FOOT TRAFFIC PRIOR TO YOUR ARRIVAL?

22       A    I DON'T RECALL NOTICING ANY, BUT MY MAIN 

23   PURPOSE IN GOING UP THERE WAS TO SEE IF I COULD 

24   IDENTIFY DANIELLE VAN DAM.

25       Q    DID YOU NOTICE WHETHER OR NOT THERE WAS ANY 

26   EVIDENCE OF VEHICULAR TRAFFIC, MEANING LIKE TIRE 

27   MARKS OR MOTORCYCLE TIRE MARKS OR BICYCLE MARKS?

28       A    THERE WAS SOME MARKS IN THE GRASS AREA 






Page 67

1   AROUND THERE, BUT I DIDN'T PAY THAT MUCH ATTENTION 

2   TO THEM.  AGAIN, I WENT UP THERE WITH THE SOLE 

3   PURPOSE TO SEE IF I COULD IDENTIFY THE VICTIM AS 

4   DANIELLE VAN DAM.

5       THE REPORTER:  SLOW DOWN, PLEASE.

6       THE WITNESS:  FOR THE SOLE PURPOSE TO SEE IF I 

7   COULD IDENTIFY THE VICTIM AS DANIELLE VAN DAM.

8       MR. FELDMAN:  I JUST WOULD LIKE THE RECORD TO 

9   REFLECT SOMEONE ELSE TALKED TOO FAST FOR THE 

10   REPORTER.

11            I HAVE NO FURTHER QUESTIONS.

12   

13                   REDIRECT EXAMINATION

14   BY MR. DUSEK:

15       Q    YOU WERE ASKED REGARDING THE CHILDREN'S 

16   ROOMS IN THE VAN DAM RESIDENCE.  COULD YOU TELL 

17   WHETHER OR NOT THEY WERE MALE OR FEMALE ROOMS?

18       A    FROM THE INSIDE?

19       Q    WHEN YOU GOT IN THE ROOM AND LOOKED AT 

20   THEM.

21       A    YES.

22       Q    HOW COULD YOU TELL?

23       A    WELL, DANIELLE'S ROOM HAD A POSTER BED WITH 

24   A NET CANOPY ON IT.  IT WAS OBVIOUSLY GIRL THINGS.  

25   DOLLS, THAT TYPE OF THING.  THE BOYS HAD CARS, 

26   TRUCKS.

27       Q    WHAT COLOR WAS DANIELLE'S ROOM?

28       A    IT'S BEEN A WHILE SINCE I'VE BEEN IN THERE. 






Page 68

1            I THINK THE PRIMARY COLOR WAS PINK.

2       Q    WAS IT YOUR RESPONSIBILITY TO PICK UP ANY 

3   TRACE OR FORENSIC EVIDENCE AT ANY OF THESE SCENES?

4       A    NO.

5       Q    WHO DOES THAT?

6       A    THE FORENSIC SPECIALIST.

7       Q    DO THEY WRITE REPORTS ON WHAT THEY DID AND 

8   WHERE THEY FOUND THINGS?

9       A    YES. 

10       Q    ARE THEY THE ONES THAT WRITE REPORTS AND 

11   MAKE COMPARISONS TO THOSE PIECES OF EXHIBITS?

12       A    YES. 

13       Q    YOU TALKED ABOUT WHAT YOU THOUGHT WERE DRAG 

14   MARKS AT THE BODY.  WERE PHOTOGRAPHS TAKEN OF THOSE?

15       A    YES. 

16       MR. FELDMAN:  WELL, OBJECTION; SPECULATION, NO 

17   FOUNDATION. 

18       THE COURT:  HOLD ON.  SUSTAINED. 

19            YOU CAN GET THERE.

20   BY MR. DUSEK:

21       Q    DO YOU RECALL IF ANYONE WAS DIRECTED TO 

22   TAKE PHOTOGRAPHS OF THE SCENE AT THE RECOVERY SITE?

23       A    YES, THEY WERE. 

24       MR. FELDMAN:  OBJECTION; HEARSAY.  I MEAN 115, 

25   YOUR HONOR, FOUNDATION.

26       THE COURT:  I UNDERSTAND.  YOU WANT TO KNOW WHO 

27   DIRECTED AND WHAT HE KNOWS.  I UNDERSTAND.  

28   SUSTAINED.  THE ANSWER IS STRICKEN.






Page 69

1   BY MR. DUSEK:

2       Q    DO YOU KNOW WHO DIRECTED THAT PHOTOGRAPHY 

3   WORK?

4       A    I DID. 

5       Q    WHAT DID YOU TELL THEM TO DO?

6       A    I TOLD LARRY FREGIA AND JOHN TEFFT THAT I 

7   WANTED THEM TO START PROCESSING THE SCENE AND TAKE 

8   OVERALL PHOTOGRAPHS OF THE SCENE BEFORE IT GOT DARK. 

9       Q    WAS IT YOUR RESPONSIBILITY TO DO THAT?

10       A    NO, IT WAS NOT. 

11       Q    WAS IT THEIR RESPONSIBILITY TO DO THAT?

12       A    YES, IT WAS. 

13       Q    DO YOU KNOW IF THEY WROTE REPORTS ON WHAT 

14   THEY DID, WHAT THEY SAW, AND WHAT THEY RECOVERED?

15       A    I WOULD ASSUME THEY DID BECAUSE I HAVE NOT 

16   SEEN THE REPORTS.

17       MR. FELDMAN:  MOTION TO STRIKE.  SPECULATION. 

18       THE COURT:  OVERRULED.

19   BY MR. DUSEK:

20       Q    THE SEARCH MEMBERS, THE CIVILIANS THAT WERE 

21   THERE, DID YOU SPEAK WITH ANY OF THEM DIRECTLY?

22       A    I SPOKE WITH ONE OF THEM.

23       Q    WHO?

24       A    SHAWANA MILLER.

25       Q    WHAT DID SHE TELL YOU?

26       A    SHE TOLD ME THAT SHE WAS THE LEADER OF THE 

27   SEARCH TEAM, THAT SHE WAS NOTIFIED BY ONE OF THE 

28   SEARCH MEMBERS THAT THEY HAD FOUND --






Page 70

1       MR. FELDMAN:  OBJECTION; MULTIPLE HEARSAY.  THAT  

2   SHE WAS NOTIFIED, YOUR HONOR. 

3       THE COURT:  IT'S MULTIPLE HEARSAY.  YOU'RE 

4   NOT --

5       MR. DUSEK:  THAT PART IS NOT BEING OFFERED FOR 

6   THE TRUTH.

7       THE COURT:  I DIDN'T THINK SO.  JUST TO SET THE 

8   SCENE, I'LL ALLOW IT.  IT'S NOT FOR THE TRUTH OF THE 

9   MATTER.

10            GO AHEAD.

11   BY MR. DUSEK:

12       Q    WHAT DID SHE TELL YOU SHE DID?

13       A    SHE WENT UP TO THE AREA WHERE THE BODY WAS 

14   AND LOOKED AT THE BODY.

15       Q    DID SHE SAY WHO ALL WENT?

16       MR. FELDMAN:  YOUR HONOR, I'M SORRY.  I DIDN'T 

17   HEAR THE WITNESS'S ANSWER.  I APOLOGIZE.  I HEARD 

18   HIM SAY WHERE THE BODY WAS.  I DIDN'T HEAR THE REST.

19       THE COURT:  OKAY.  YOU WANT TO READ IT BACK, 

20   PLEASE.

21       (THE RECORD WAS READ BACK BY THE REPORTER.)

22   BY MR. DUSEK:

23       Q    DID SHE SAY WHO WENT UP THERE WITH HER?

24       A    SHE SAID ALL OF THE OTHER MEMBERS OF HER 

25   TEAM WENT UP THERE. 

26       Q    DID YOU ASK HER IF ANYONE MOVED OR 

27   DISTURBED THE BODY AT ITS RESTING SPOT?

28       A    YES, I DID.






Page 71

1       Q    WHAT DID SHE SAY?

2       A    SHE TOLD ME THEY DID NOT.

3       Q    DID YOU DO ANYTHING WITH REGARD TO THEIR 

4   SHOES?

5       A    THE SHOES?

6       Q    THE SEARCHERS, THE FINDERS.

7       A    THE SHOES WERE ALL IMPOUNDED.

8       Q    WHY?

9       A    TO USE TO COMPARE TO ANY PRINTS THAT WERE 

10   FOUND AT THE SCENE. 

11       MR. DUSEK:  THANK YOU, SIR.  NOTHING FURTHER.

12       THE COURT:  COUNSEL?

13   

14                    RECROSS-EXAMINATION

15   BY MR. FELDMAN:

16       Q    SIR, YOU TOLD US THAT YOU COULD TELL WHEN 

17   YOU WENT INSIDE THE BEDROOMS, BASED ON THE COLORS 

18   AND BASED ON THE FURNISHINGS, WHETHER IT WAS A BOY'S 

19   ROOM OR A GIRL'S ROOM; RIGHT?

20       A    THAT'S CORRECT.

21       Q    BUT YOU ALSO TOLD US YOU COULDN'T TELL THAT 

22   FROM THE OUTSIDE OF THE ROOMS; CORRECT?

23       A    NOT WITH THE DOORS CLOSED. 

24       Q    AND THE VAN DAMS HAD TOLD YOU THAT THE 

25   DOORS WERE CLOSED THAT NIGHT; ISN'T THAT TRUE?

26       MR. DUSEK:  OBJECTION.  TRIPLE, QUADRUPLE.

27       THE COURT:  SUSTAINED. 

28       MR. FELDMAN:  NO FURTHER QUESTIONS.  THANK YOU. 






Page 72

1       THE COURT:  ANYTHING FURTHER?

2       MR. DUSEK:  NO. 

3       THE COURT:  ALL RIGHT.  YOU'RE EXCUSED. 

4       MR. FELDMAN:  SUBJECT TO RECALL, PLEASE, YOUR 

5   HONOR. 

6       THE COURT:  SUBJECT TO RECALL?

7       MR. FELDMAN:  YES.

8       THE COURT:  DO YOU WANT ALL WITNESSES SUBJECT TO 

9   RECALL?

10       MR. FELDMAN:  YES, YOUR HONOR.

11       THE COURT:  ALL RIGHT.  REMEMBER MY ADMONITION.  

12   OKAY?

13            WE'LL TAKE A VERY BRIEF BREAK.  I REALIZE 

14   WE'RE GETTING CLOSE TO NOON, BUT WE'RE GOING TO KEEP 

15   GOING RIGHT UP TO NOON, BUT WE'LL TAKE A BREAK FOR 

16   FIVE MINUTES.

17       (RECESS.)

18       THE COURT:  NEXT WITNESS, PLEASE.

19       MR. DUSEK:  DR. BRIAN BLACKBOURNE. 

20       THE COURT:  OKAY.

21             

22             BRIAN DOUGLAS BLACKBOURNE, M.D.,

23   PEOPLE'S WITNESS, HAVING BEEN FIRST DULY SWORN, 

24   TESTIFIED AS FOLLOWS:

25   

26       THE COURT:  PLEASE TAKE THE STAND, SIR. 

27            COMFORTABLE?

28            PLEASE TELL US YOUR NAME.






Page 73

1       THE WITNESS:  DR. BRIAN DOUGLAS BLACKBOURNE. 

2       THE COURT:  SPELL YOUR LAST NAME, PLEASE.

3       THE WITNESS:  B-L-A-C-K-B-O-U-R-N-E. 

4       THE COURT:  WHILE WE'RE AT IT, SPELL BRIAN.

5       THE WITNESS:  B-R-I-A-N.

6       THE COURT:  THANK YOU.

7            GO AHEAD.

8   

9                    DIRECT EXAMINATION

10   BY MR. DUSEK:

11       Q    HOW ARE YOU EMPLOYED, SIR?

12       A    I'M EMPLOYED AS THE COUNTY MEDICAL EXAMINER 

13   FOR SAN DIEGO COUNTY.

14       Q    WHAT DO YOU DO?

15       A    OUR OFFICE INVESTIGATES ALL SUDDEN AND 

16   VIOLENT DEATHS WITHIN THE COUNTY.

17       Q    YOU'RE A MEDICAL DOCTOR?

18       A    YES.

19       Q    WOULD YOU GIVE US YOUR EDUCATIONAL 

20   BACKGROUND, DOCTOR.

21       A    BOTH MY UNDERGRADUATE AND MEDICAL EDUCATION 

22   WAS AT THE UNIVERSITY OF ALBERTA, IN EDMONTON, 

23   ALBERTA, CANADA.  I GRADUATED IN 1962 WITH AN M.D. 

24   DEGREE.  I SERVED A ROTATING INTERNSHIP AT THE 

25   VANCOUVER GENERAL HOSPITAL IN VANCOUVER, BRITISH 

26   COLUMBIA.  AND THEN SIX MONTHS OF TRAINING IN 

27   SURGERY AT THE SANTA BARBARA CARTAGE HOSPITAL IN 

28   SANTA BARBARA, CALIFORNIA. 






Page 74

1            AT THAT POINT, I CHANGED MY AREA OF 

2   INTEREST TO PATHOLOGY.  SPENT 18 MONTHS OF TRAINING 

3   IN PATHOLOGY AT THAT SAME HOSPITAL, FOLLOWED BY ONE 

4   YEAR OF TRAINING IN NEUROPATHOLOGY AT THE BARROW 

5   NEUROLOGICAL INSTITUTE OF ST. JOSEPH'S HOSPITAL IN 

6   PHOENIX, ARIZONA.  AND ONE YEAR AS A FELLOW IN 

7   PATHOLOGY AT THE MEMORIAL HOSPITAL FOR CANCER AND 

8   ALLIED DISEASES IN NEW YORK CITY. 

9            I'M BOARD CERTIFIED IN BOTH ANATOMIC 

10   PATHOLOGY AND FORENSIC PATHOLOGY.

11       Q    WHAT IS PATHOLOGY?

12       A    PATHOLOGY IS THAT PART OF THE LARGE FIELD 

13   OF MEDICINE THAT DEALS MORE WITH THE DIAGNOSIS OF 

14   DISEASE AS OPPOSED TO MOST PHYSICIANS WHO TREAT 

15   PATIENTS WITH DISEASE.  AND MOST PATHOLOGISTS WORK 

16   IN A HOSPITAL, WHERE THEY EXAMINE TISSUE AND REMOVE 

17   THE SURGERY (SIC) TO MAKE A DIAGNOSIS.  THEY 

18   SUPERVISE THE LABORATORY, AND THEY PERFORM AUTOPSIES 

19   ON PERSONS WHO DIE OF NATURAL DISEASE IN THE 

20   HOSPITAL. 

21       Q    YOU TALKED ABOUT FORENSIC PATHOLOGY.  WHAT 

22   IS THAT?

23       A    FORENSIC PATHOLOGY IS A SUBSPECIALTY OF 

24   ANATOMIC PATHOLOGY.  AND IT DEALS QUITE SPECIFICALLY 

25   WITH THE CORONER'S OFFICE OR MEDICAL EXAMINER'S 

26   OFFICE WORK.  WE'RE UTILIZING HISTORY FROM THE 

27   INVESTIGATORS, X-RAYS, THE AUTOPSY EXAMINATION 

28   ITSELF, MICROSCOPIC EXAMINATION, AND TOXICOLOGY.  WE 






Page 75

1   DOCUMENT THE CAUSE OF THE DEATH AND SIGN THE DEATH 

2   CERTIFICATE.

3       Q    DOES THIS MEAN THAT YOU DO AUTOPSIES?  

4       A    YES. 

5       Q    GIVE US YOUR WORK EXPERIENCE, WOULD YOU, 

6   PLEASE.

7       A    I STARTED IN MIAMI IN 1967.  SPENT FIVE 

8   YEARS AS A DEPUTY MEDICAL EXAMINER IN METROPOLITAN 

9   DADE COUNTY, WHICH IS MIAMI, FLORIDA, FOLLOWED BY 

10   TEN-AND-A-HALF YEARS AS DEPUTY CHIEF MEDICAL 

11   EXAMINER IN WASHINGTON, D.C., FOLLOWED BY SIX -- I'M 

12   SORRY, EIGHT -- SEVEN YEARS AS THE CHIEF MEDICAL 

13   EXAMINER FOR THE COMMONWEALTH OF MASSACHUSETTS.  AND 

14   THEN I CAME HERE IN 1990 AS THE COUNTY MEDICAL 

15   EXAMINER. 

16       Q    LET ME DIRECT YOUR ATTENTION BACK TO 

17   FEBRUARY 27TH, I BELIEVE, THE YEAR 2002.  DID YOU 

18   BECOME INVOLVED IN THE DANIELLE VAN DAM CASE?

19       A    YES, I DID. 

20       Q    WHAT WAS YOUR FIRST INVOLVEMENT?

21       A    SERGEANT HOLMES CALLED ME ABOUT 9:15 AND 

22   SAID THEY WERE READY FOR US TO GO TO THE SCENE.  SO 

23   I WENT TO THE OFFICE AND RODE WITH OUR TWO 

24   INVESTIGATORS OUT TO THE SCENE IN DEHESA, ARRIVING 

25   THERE AT ABOUT 10:50, 10:45 IN THE EVENING.

26       MR. FELDMAN:  EXCUSE ME, YOUR HONOR.  PARDON ME.  

27   IT APPEARS AS THOUGH THE WITNESS IS READING FROM 

28   SOMETHING.  I DON'T KNOW WHAT IT IS.  BUT I THINK 






Page 76

1   THE ISSUE IS WHETHER HE'S TESTIFYING FROM HIS MEMORY 

2   AS OPPOSED TO NOTES.  I'D ASK FOR A COPY OF WHAT 

3   HE'S REVIEWING AND ALSO THEY BE TURNED OVER.

4       THE COURT:  DR. BLACKBOURNE, I DON'T KNOW WHAT 

5   YOU HAVE UP THERE.  I COULD GUESS BUT I'M NOT 

6   SUPPOSED TO DO THAT.  IF YOU'D TURN IT OVER, AND 

7   THEN IF YOU NEED TO REFER TO SOMETHING, IT'S 

8   IMPORTANT THAT WE KNOW WHAT YOU'RE REFERRING TO SO 

9   THAT WE CAN IDENTITY IT FOR THE RECORD. 

10            FAIR ENOUGH?

11       THE WITNESS:  YES.

12       THE COURT:  ALL RIGHT.  THANKS.

13       MR. FELDMAN:  THANK YOU, YOUR HONOR.

14       THE COURT:  YOU'RE WELCOME.

15   BY MR. DUSEK: 

16       Q    WHY DID YOU GO TO THE SCENE?

17       A    OUR OFFICE POLICY IS THAT WHENEVER THERE'S 

18   A HOMICIDE AND THE BODY IS STILL AT THE SCENE, ONE 

19   OF OUR DOCTORS ATTENDS THE SCENE.  ONE OF OUR 

20   DOCTORS IS ON CALL EACH EVENING.

21       Q    WHO DID YOU GO OUT THERE WITH?

22       A    TWO OF OUR INVESTIGATORS:  JERRY SIMMONS 

23   AND JAMES RAMIREZ.

24       Q    THEY ARE INVESTIGATORS WITH THE MEDICAL 

25   EXAMINER'S OFFICE?

26       A    YES.

27       Q    WHERE DID YOU GO?

28       A    TO DEHESA ROAD.






Page 77

1       Q    ABOUT WHAT TIME DID YOU GET OUT THERE?

2       A    WE ARRIVED THERE AT 10:45. 

3       Q    AT NIGHT?

4       A    AT NIGHT. 

5       Q    SO IT WAS DARK?

6       A    YES. 

7       Q    WERE THERE ANY LIGHTS SET UP?  

8       A    YES.  THERE WERE LOTS OF LIGHTS IN THE ROAD 

9   AREA SO THE ROAD WAS WELL LIT UP.  THE ACTUAL SCENE 

10   ITSELF WAS FAIRLY DARK.  WE USED FLASHLIGHTS.

11       Q    WHAT DID YOU DO WHEN YOU ARRIVED?

12       A    WELL, THE DETECTIVES GAVE ME A BRIEFING AS 

13   TO WHAT WE HAD THERE.  AND I WITH THE INVESTIGATOR 

14   WENT UP TO WHERE THE BODY WAS.  WE DID AN 

15   EXAMINATION THERE ON THE SCENE.

16       Q    WHERE DID YOU GO?

17       A    WELL, THE SCENE WAS ACTUALLY ABOUT SIX FEET 

18   UP A FAIRLY STEP DIRT INCLINE FROM THE ROAD, AND 

19   ANOTHER 20 FEET UNDER A TREE. 

20       Q    WHEN YOU GOT UP THERE, WHAT DID YOU SEE?

21       A    THE BODY OF A YOUNG FEMALE, LYING ON HER 

22   BACK, UNDER THIS TREE.  HER LEFT ARM WAS EXTENDED 

23   OUT TO THE SIDE, THE RIGHT ARM WAS BENT UP, BENT AT 

24   THE ELBOW.  THE LEGS WERE STRAIGHT OUT.  AND SHE WAS 

25   LYING ON HER BACK. 

26       Q    DID SHE HAVE ANY CLOTHING ON?

27       A    NO. 

28       Q    DESCRIBE HER CONDITION FROM YOUR 






Page 78

1   OBSERVATIONS.

2       A    THE BODY WAS SEVERELY DECOMPOSED AND ALSO 

3   THERE'S A GREAT DEAL OF ANIMAL ACTIVITY.

4       Q    WHEN YOU SAY "SEVERELY DECOMPOSED," 

5   DESCRIBE THAT.

6       A    WELL, THE BODY WAS -- THE SKIN THAT WAS 

7   INTACT WAS MUMMIFIED OR LEATHER-LIKE.  THERE WAS 

8   REALLY NO ODOR AROUND THE BODY.  BUT THE TISSUES 

9   WERE DETERIORATED.  HER EYES WERE TOTALLY 

10   DISINTEGRATED. 

11       Q    HOW ABOUT THE REST OF HER BODY?

12       A    WELL, A LOT OF THE BODY WAS DESTROYED BY 

13   ANIMALS.

14       Q    HOW COULD YOU TELL?

15       A    WELL, THE SKIN AND THE SUBCUTANEOUS MUSCLES 

16   AND ALL THE FAT WAS ABSENT FROM ABOUT THREE-QUARTERS 

17   OF THE FRONT OF THE BODY.

18       Q    WHAT PARTS?

19       A    FROM BELOW THE COLLAR BONES, DOWN THE 

20   ENTIRE TRUNK, THE EXTREMITIES, WITH THE EXCEPTION OF 

21   THE RIGHT FOREARM AND THE LEFT LOWER LEG.  THE 

22   FEMURS OR THE THIGHS WERE JUST BARE FEMURS, BARE 

23   BONES, ALMOST SKELETONIZED.  AND THE LEFT FOOT WAS 

24   ACTUALLY TOTALLY ABSENT.

25       Q    HOW CLOSE DID YOU GET TO THE BODY?

26       A    I WAS RIGHT TOUCHING THE BODY.

27       Q    DID YOU DO ANYTHING WITH REGARD TO THE 

28   EXAMINATION WHILE YOU WERE AT THE SCENE?






Page 79

1       A    JUST REALLY A VISUAL EXAMINATION. 

2       Q    THEN WHAT DID YOU DO?

3       A    I PLACED THE BODY IN A WHITE SHEET AND A 

4   WHITE BODY BAG, AND OUR TRANSPORT CREW TRANSPORTED 

5   HER BACK TO THE OFFICE.

6       Q    DID YOU BAG ANYTHING BEFORE YOU DID THAT?

7       A    YES, I'M SORRY.  I DID BAG BOTH HANDS, BOTH 

8   FEET, OR THE ANKLE ON THE LEFT, AND THE HEAD. 

9       Q    WHAT DOES BAGGING MEAN?

10       A    WELL, IT JUST MEANS IF THERE'S ANY TRACE 

11   EVIDENCE THAT'S ON THE HANDS OR FEET, OR THE HEAD, 

12   IN THE PROCESS OF MOVING THE BODY AND TRANSPORTING 

13   IT WON'T BE DISLODGED.  SO IF IT IS DISLODGED, IT'S 

14   DISLODGED INTO THIS WHITE PAPER BAG WHICH THE 

15   CRIMINALIST CAN LATER EXAMINE AND RECOVER. 

16       Q    SO ONCE SHE WAS BAGGED, THEN WHAT HAPPENED?

17       A    SHE WAS TRANSPORTED WITH OUR REMOVAL CREW 

18   BACK TO THE OFFICE.

19       Q    WHERE IS THE OFFICE?

20       A    IT'S ON FARNHAM JUST OFF OF CLAIREMONT MESA 

21   BOULEVARD IN SAN DIEGO.

22       Q    DID YOU PERFORM AN AUTOPSY ON HER?

23       A    THE FOLLOWING DAY, YES.

24       Q    WHERE?

25       A    IN THE OFFICE.  MEDICAL EXAMINER'S OFFICE.

26       Q    WHO WAS PRESENT?

27       A    DETECTIVE KEYSER FROM THE SAN DIEGO POLICE 

28   DEPARTMENT, TWO CRIMINALISTS, SAVAGE AND DULANEY, 






Page 80

1   DR. CHRISTOPHER SWALLOW, ONE OF OUR MEDICAL 

2   EXAMINERS.

3       Q    A SECOND DOCTOR?

4       A    YES.  DAVID FAULKNER, WHO'S AN 

5   ENTOMOLOGIST, WORKS WITH THE MUSEUM OF NATURAL 

6   HISTORY.  HE'S AN EXPERT ON BUGS.  AND OUR AUTOPSY 

7   ASSISTANT DAN CLASS (SIC) WAS THERE.  DAN SHAFT WAS 

8   THERE. 

9       Q    WERE PHOTOGRAPHS TAKEN?

10       A    YES. 

11       Q    APPROXIMATELY HOW MANY?

12       A    WELL, OUR OFFICE TOOK ABOUT 15 ON THE SCENE 

13   AND ABOUT 30 AT THE AUTOPSY.  SAN DIEGO P.D. WAS 

14   ALSO TAKING PHOTOGRAPHS. 

15       Q    HOW LONG DID THE AUTOPSY TAKE?

16       A    FOUR HOURS.

17       Q    CAN YOU DESCRIBE FOR US THE PROCEDURE THAT 

18   YOU WENT THROUGH AS YOU DID THE AUTOPSY ON THIS 

19   YOUNG GIRL.

20       A    WELL, FIRST OF ALL, THE SEAL ON THE BAG IS 

21   BROKEN AND THE BAG IS OPENED.  AND THE SAN DIEGO 

22   P.D. TOOK PHOTOGRAPHS OF JUST THE WAY THE BODY WAS 

23   LYING INSIDE THE BAG. 

24            THEN THE PAPER BAGS ON THE HANDS, FEET, AND 

25   HEAD WERE REMOVED AND TRANSFERRED TO THE 

26   CRIMINALIST.  THEN AGAIN, PHOTOGRAPHS OF THE BODY 

27   WERE TAKEN.  ANY TRACE EVIDENCE WHICH THE 

28   CRIMINALIST SAW THEY WOULD TAKE.  THEY DID CLIP THE 






Page 81

1   FINGERNAILS, FOR INSTANCE.  I DID SWAB THE MOUTH AT 

2   THAT POINT. 

3            I MADE MY DIAGRAM AND MY EXTERNAL PART OF 

4   MY AUTOPSY, FILLING OUT ROUGH NOTES.

5       Q    WHEN YOU GET INTO THE EXACT -- EXACT 

6   EXAMINATION OF THE BODY, IS THERE A PROCEDURE THAT 

7   YOU GO THROUGH?

8       A    YES. 

9       Q    WHAT IS THAT?

10       A    WELL, FIRST OF ALL, WE OPEN THE TRUNK, THE 

11   CHEST, THEN THE ABDOMEN, AND INSPECT THE VARIOUS 

12   ORGANS WHICH ARE THERE. 

13       Q    BEFORE YOU DID THAT, DID YOU EXAMINE HER 

14   MORE CLOSELY BEFORE YOU CUT?

15       A    YES, WE DID, WITH GOOD LIGHTING AND SO ON, 

16   WE EXAMINED THE WHOLE BODY.

17       Q     DESCRIBE WHAT YOU SAW BEFORE YOU ACTUALLY 

18   BEGAN THE INTERNAL EXAMINATION.

19       A    WELL, PRETTY MUCH AS WE SEE ON THE SCENE.  

20   THERE WAS A GREAT DEAL OF ANIMAL ACTIVITY, 

21   DECOMPOSITION.  HER HAIR WAS LONG AND BLONDE. 

22            SHE HAD EARRINGS IN BOTH EARS, MICKEY MOUSE 

23   TYPE DESIGN.  THE BACK WAS PRESENT ON THE BACK OF 

24   THE RIGHT EARRING.  THE LEFT EARRING HAD NO -- THE 

25   BACK HAD FALLEN OFF. 

26            SHE HAD AN EXPANDABLE PLASTIC NECKLACE 

27   ABOUT HER NECK.  AND NO CLOTHES ON THE BODY.  AND 

28   ALL THE INJURIES WHICH I PREVIOUSLY DESCRIBED FROM 






Page 82

1   THE ANIMALS. 

2       Q    WERE YOU ABLE TO MAKE OUT MUCH OF HER FACE?

3       A    YES.  THE SKIN OF THE FACE WAS INTACT, BUT 

4   MUMMIFIED. 

5       Q    LET ME SHOW YOU WHAT'S BEEN PREVIOUSLY 

6   MARKED AS PEOPLE'S EXHIBIT 1.  THIS FLYER, FOR 

7   DANIELLE.

8            WAS THERE ENOUGH OF HER FACE TO BE ABLE TO 

9   DETERMINE WHETHER OR NOT THE FACE WAS OF THAT LITTLE 10   GIRL?

11       A    THE FACIAL FEATURES ARE SIMILAR.  ALTHOUGH 

12   THE SKIN IS OBVIOUSLY CHANGED.  THE HAIR IS 

13   OBVIOUSLY THE SAME. 

14       Q    WHAT DO YOU MEAN BY "SIMILAR"?

15       A    IT BEARS A RESEMBLANCE TO THE PHOTOGRAPH. 

16       Q    DID YOU EXAMINE HER INTERNALLY?

17       A    YES.

18       Q    WHAT DID YOU FIND?

19       A    WELL, THE ORGANS OF THE CHEST WERE REALLY 

20   INTACT.  THE SKIN AND MUSCLE WERE MISSING BUT THE 

21   RIBS WERE ALL INTACT.  AND THERE WAS FLUID IN EACH 

22   PLEURAL CAVITY, WHICH WE COLLECTED.

23       Q    WHAT'S THE PLEURAL CAVITY?  

24       A    THE CHEST CAVITY, INSIDE THE CHEST BUT 

25   OUTSIDE OF THE LUNGS.  THERE WAS 80 CC'S ON ONE SIDE 

26   AND 50 CC'S ON THE OTHER, WHICH WE SAVED FOR OUR 

27   TOXICOLOGY EXAMINATION. 

28            THE HEART AND LUNGS WERE ESSENTIALLY NORMAL 






Page 83

1   SHAPE AND SO ON.  THEY'RE OBVIOUSLY DECOMPOSING OR 

2   AUTOLYZING. 

3       THE COURT:  WHAT?

4       THE WITNESS:  AUTOLYZING.  THAT'S JUST 

5   DECOMPOSITION. 

6       THE COURT:  THANK YOU. 

7       THE WITNESS:  THE HEART DEMONSTRATED NORMAL 

8   VALVES AND NORMAL CORONARY ARTERIES AND ALL THAT. 

9            THE LUNGS HAD A LITTLE BIT OF AIR IN THEM 

10   AND THEY WERE CONGESTED, A LITTLE BIT OF EDEMA IN 

11   THE LUNGS, AND THEY ALSO WERE DECOMPOSING.  BUT THE 

12   LUNGS WERE BETTER PRESERVED THAN THE REST OF THE 

13   ORGANS.

14   BY MR. DUSEK:

15       Q    THE ORGANS YOU JUST DESCRIBED, WOULD THEY 

16   BE CONTAINED WITHIN THE RIB CAGE?

17       A    WITHIN THE RIB CAGE AND ABOVE THE 

18   DIAPHRAGM, YES.

19       Q    HOW ABOUT BELOW THE RIB CAGE AND DIAGRAM?  

20   WHAT DID YOU FIND?

21       A    BELOW THE RIB CAGE, THERE WERE A LOT OF 

22   MISSING ORGANS BECAUSE OF THE ANIMAL ACTIVITY.  SO 

23   THE ORGANS WHICH WERE THERE, THE LIVER WAS PRESENT 

24   IN LARGE PART AND WAS DECOMPOSED.  THE RIGHT KIDNEY 
25   WAS PARTIALLY THERE.  AND THE BOWEL WAS PARTIALLY 

26   THERE.  THERE WERE DEFECTS ON BOTH THE RIGHT SIDE OF 

27   THE FRONT OF THE ABDOMEN AND THE LEFT SIDE OF THE 

28   BACK OF THE ABDOMEN AS A RESULT OF ANIMAL ACTIVITY.  






Page 84

1   AND SO THAT'S WHY SOME OF THE EVIDENCE WERE MISSING.  

2   THE BOWEL WAS ALL INTACT BUT HAD BEEN EXTRUDED OUT 

3   BEYOND THE ABDOMEN BECAUSE OF THE ANIMAL ACTIVITY. 

4       Q    DID YOU SEE A VAGINAL AREA?

5       A    THE GENITALIA WERE ALL MISSING AS A RESULT 

6   OF ANIMALS.  THE WHOLE PELVIC STRUCTURES WERE VERY 

7   SOFT AND DECOMPOSED.  I DID IDENTIFY A PORTION OF 

8   THE RECTUM AND I SWABBED IT AND GAVE THE SWABS TO 

9   THE CRIMINALIST.

10       Q    WHAT CONDITION WAS IT IN?

11       A    IT WAS VERY SEVERELY DECOMPOSED.

12       Q    HOW DOES THAT AFFECT THE ABILITY TO FIND 

13   ANY FORENSIC EVIDENCE?

14       A    WELL, I EXAMINED IT MICROSCOPICALLY AND THE 

15   WHOLE LINING CELLS WERE ABSENT.  THEY'D SLOUGHED 

16   RIGHT OFF AND THERE WERE BACTERIA THERE.  NOT MUCH 

17   CHANCE OF FINDING ANYTHING THAT WAS IN THERE. 

18       Q    DID YOU TRY TO OBTAIN SWABS FROM OTHER 

19   AREAS OF THIS CHILD?

20       A    YES.  IN THE -- IN THE PELVIS, I LOOKED FOR 

21   ANY TUBULAR STRUCTURE WHICH COULD BE A VAGINA, AND I 

22   FOUND WHAT PROBABLY IS THE BLADDER.  I DID SWAB IT 

23   AND THE CRIMINALIST TOOK THE SWABS AS WELL. 

24            MICROSCOPIC, IT'S THE SAME.  THE MUCOSAL 

25   CELLS HAVE ALL SLOUGHED OFF AND THE BACTERIA THERE.

26       Q    DID YOU TRY TO SWAB HER MOUTH?

27       A    YES, I DID.

28       Q    WHAT WAS THE CONDITION OF HER MOUTH?






Page 85

1       A    THE MOUTH WAS FULL OF THE SOFT MATERIAL, 

2   MORE APPEARANCE OF MUD, YOU KNOW.  I DON'T BELIEVE 

3   IT WAS MUD.  JUST THE TISSUE HAD DETERIORATED TO 

4   THAT DEGREE.  BUT WE DID SWAB IT. 

5       Q    WHAT WERE YOU LOOKING FOR?

6       A    LOOKING FOR ANY ACTIVITY OF SEXUAL ACTIVITY 

7   THERE. 

8       Q    HOW LONG WOULD YOU EXPECT A SPERM TO LAST 

9   OR BE DETECTABLE IN A BODY IN THAT CONDITION?

10       A    WELL, I PERSONALLY HAVE HAD A CASE FIVE 

11   DAYS.  BUT NOT MUCH BEYOND THAT. 

12       Q    WERE YOU ABLE TO DETERMINE HOW LONG SHE'D 

13   BEEN DEAD?

14       A    WITHIN A BROAD RANGE, YES.

15       Q    HOW DID YOU MAKE THAT DETERMINATION?

16       A    WELL, JUST EVALUATING THE DECOMPOSITION AND 

17   THE OTHER -- THE ANIMAL ACTIVITY, REALLY.  IT'S 

18   CERTAINLY CONSISTENT WITH THE THREE-AND-A-HALF WEEKS 

19   SHE'D BEEN MISSING.

20       THE COURT:  I'M SORRY?

21       THE WITNESS:  CONSISTENT WITH THE 

22   THREE-AND-A-HALF WEEKS THAT SHE HAD BEEN MISSING. 

23       THE COURT:  THANK YOU.

24   BY MR. DUSEK: 

25       Q    DID YOU OBTAIN ANY OTHER BODY SAMPLES OR 

26   FLUID SAMPLES?

27       A    WELL, THE ONLY FLUID FOR TOXICOLOGY WAS THE 

28   CHEST FLUID WHICH I'VE MENTIONED. 






Page 86

1            WE DID TAKE OUR NORMAL SMALL SAMPLES OF 

2   EACH ORGAN WHICH WE SAVED IN A STOCK BOTTLE AND I 

3   DID MAKE MICROSCOPIC SLIDES OF THE MAJORITY OF THE 

4   ORGANS.

5       Q    DID YOU FIND ANY BLOOD?

6       A    NOT BLOOD THAT WE WOULD RECOGNIZE AS BLOOD, 

7   NO.  THE RED FLUID IN THE CHEST IS THE CLOSEST WE 

8   CAN GET TO BLOOD IN A CASE THIS DECOMPOSED.

9       Q    THE FACT THERE WAS NO BLOOD IN THE VEINS OR 

10   THE HEART, DOES THAT TELL YOU ANYTHING?

11       A    NO, IT DOESN'T TELL ME ANYTHING, BECAUSE OF 

12   THE ANIMAL ACTIVITY REMOVING ALL THE MUSCLES. 

13       Q    HOW ABOUT HER HANDS?  WAS THERE ANYTHING 

14   DONE WITH HER HANDS?

15       A    THE HANDS WERE INTACT.  FROM THE WRISTS 

16   DOWN, THE HANDS WERE TOTALLY INTACT BUT MUMMIFIED.  

17   JUST LEATHER-LIKE.  AND THE -- JEFF GRAHAM FROM THE 

18   SAN DIEGO POLICE DEPARTMENT LATENT FINGERPRINT LAB 

19   CAME TO THE AUTOPSY AND EXAMINED THE HANDS, DID NOT 

20   THINK HE COULD DO ANYTHING WITH THEM AT THE AUTOPSY 

21   TO GET FINGERPRINTS OFF THEM.  SO WE GAVE HIM THE 

22   CHOICE OF TAKING THE HANDS OFF THE BODY AND TAKING 

23   THEM BACK TO THE LAB TO REHYDRATE.  THAT WAS WHAT HE 

24   CHOSE TO DO.  SO I REMOVED THE HANDS AND GAVE THEM 

25   TO HIM TO REHYDRATE AT THE LABORATORY.

26       Q    REHYDRATE MEANS WHAT?

27       A    TO PUT THE FLUID BACK IN AND GET THE 

28   WRINKLED LEATHER-LIKE SKIN TO THE POINT THEY CAN GET 






Page 87

1   FINGERPRINTS FROM THE HAND, HOPEFULLY.

2       Q    DO YOU KNOW DR. SPERBER?

3       A    YES.

4       Q    WHO IS HE?

5       A    HE'S OUR FORENSIC ODONTOLOGIST, FORENSIC 

6   DENTIST WHO WORKS WITH OUR OFFICE.

7       Q    WHAT DOES HE DO IN RELATION TO AN AUTOPSY?

8       A    WELL, IN A CASE LIKE THIS IT WOULD BE JUST 

9   IDENTIFICATION OF THE INDIVIDUAL, THROUGH DENTAL -- 

10   THROUGH DENTAL RECORDS.

11       Q    WAS HE THERE ALSO?

12       A    HE WAS THERE DURING THE AUTOPSY, YES.

13       Q    DOCTOR, WERE YOU ABLE TO DETERMINE A CAUSE 

14   OF DEATH?

15       A    NO.  THE CAUSE RIGHT NOW IS STILL PENDING.  

16   ALTHOUGH I DID NOT FIND ANY ANATOMICAL CAUSES OF 

17   DEATH, WHICH MEANS THERE WERE NO INJURIES AT THE 

18   TIME OF THE AUTOPSY OR ANY REASON TO, ANYTHING TO 

19   EXPLAIN WHY SHE DIED.

20       Q    DID YOU SEE ANY SIGNS OF INJURY OR ILLNESS 

21   ON THIS CHILD?

22       A    I DID NOT SEE ANY SIGNS OF INJURY -- OF,  

23   I'M SORRY, OF DISEASE PROCESS, NO.

24       Q    WERE YOU ABLE TO DETERMINE A MANNER OF 

25   DEATH?

26       A    YES. 

27       Q    WHAT?

28       A    HOMICIDE. 






Page 88

1       Q    WHY?

2       A    THE WHOLE CIRCUMSTANCES OF THE CASE, HER 

3   BEING MISSING AND BEING FOUND THERE IN DEHESA AND 

4   UNDER A TREE, DECOMPOSED STATE. 

5       Q    BASED UPON WHAT WAS AVAILABLE TO PERFORM 

6   THE AUTOPSY ON HER, WERE THERE THINGS THAT WERE 

7   MISSING THAT WOULD HAVE HELPED YOU DETERMINE A CAUSE 

8   OF DEATH?

9       MR. FELDMAN:  SPECULATION; OBJECTION. 

10       THE COURT:  OVERRULED. 

11       THE WITNESS:  WELL, THE MAIN THING IS THE 

12   DETERIORATION OF EVEN THE TISSUE THAT WAS THERE 

13   MAKES IT DIFFICULT TO DETERMINE A CAUSE OF DEATH.  

14   IF IT WAS AT ALL A LESS THAN, YOU KNOW, MAJOR, MAJOR 

15   TRAUMA TYPE OF CAUSE. 

16       MR. DUSEK:  THANK YOU, DOCTOR. 

17       THE COURT:  I ASSUME YOU HAVE SOME EXTENSIVE --

18       MR. FELDMAN:  I MAY BE A LITTLE WHILE.

19       THE COURT:  THAT'S WHAT I THOUGHT.  THIS IS A 

20   GOOD TIME.  FEW MINUTES BEFORE NOON. 

21            REMEMBER MY ADMONITION, PLEASE.  WE'LL SEE 

22   YOU BACK PROMPTLY AT 1:30.

23       MR. FELDMAN:  THANK YOU, YOUR HONOR.

24                 (PROCEEDINGS ADJOURNED.)

25                         *   *   *

26   

27   

28   

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