—
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Q. Now you told me -- again, | don't want to know what was said.
A. Uh-huh.
Q. You told me that you met with Mr. Leopold this morning to prepare for your deposition, right?
A. Yes.
Q. When did you set up that meeting with Mr. Leopold to take place this morning?
A. Gee, like, like five days ago, four days ago.
Q. So you're aware that Mr. Leopold told us that he could not start the deposition this morning because he had a court appearance, correct?
MR. LEOPOLD: Don't answer that question.
Calls for attorney/client communications.
BY MR. TEIN:
Q. Have you seen the letter that Mr. Leopold
wrote to us stating that he -- an e-mail that Mr. Leopold
wrote to Mr. Goldberger stating that he could not be here this morning because healed a court appearance? Did you see that e-mail? MR. LEOPOLD: You can answer that question. THE WITNESS: No. BY MR. TEIN:
Q. Have you listened to your tape-recorded
92
statement to the police?
A. Yes. Q. Where did you listen to that? A. In, | think, this building. 1 don't know.
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