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DEPOSITION OF ROSEMARY STEWART VOL. II

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A. Yes.

Q. I would like you to be as specific as

you can about those comments.

MR. MURPHY: Could you phrase the question

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knows what she is answering?

MR. GALLAGHER: Yes, fine.

Q. (BY MR. GALLAGHER) As you sit here

today, how many comments come to mind?

MR. MCALEER: Objection.

MR. MURPHY: What I would like you to do is describe what kind of comments you are talking

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Q. (BY MR. GALLAGHER) All right. What
kind of comments are you talking about?
MR. MURPHY: No.

would like you to

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2. (BY MR. GALLAGHER) You used the tera

comments yesterday. I am inquiring about

comments you heard regarding the relationship or
attitudes of Keating, Lincoln and ACC vis-a-vis

Gray.

A. Well, I testified yesterday that the

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DEPOSITION OF ROSEMARY STEWART VOL. II

motion to recuse Ed Gray was the first time that

I had seen in one place information about this
supposed feud between the two men.

Q.

The only other place you would have

seen that would have been from time to time in

the clipping service, is that true?

A. Well, that's possible, but I don't

recall that as being my source.

Q. All right. Fair enough.

A.

And the difficulty here is that, after
April of '88, there was so auch in our clip

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service that I'm having difficulty realizing whether that was when I became aware of and heard

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that down.

Q. What's the date that gives you

difficulty?

A. After April of '89 when the conservator was appointed, there were many days that the clipping service was entirely Lincoln, or nearly so, and just article after article rehashing the events of the prior year. That's making it difficult for me to determine whether I knew it at the time or whether I have been barraged with STICKLEY & SCHUTZMAN, INC.

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MR. MAGGIO: Counsel, we are at the end of

video cassette number three.

We are off the record at 10:06 a..

(The deposition was at recess.)

MR. GALLAGHER: Mark this as the exhibit

next in order.

(Deposition Exhibit No. 53 was marked for

identification.)

MR. MAGGIO: We are at the beginning of video cassette number four.

10:17 a.

Q.

We are on the record at approximately

(BY MR. GALLAGHER) Ms. Stewart, let ne
hand you what the reporter has marked next in

order as No. 53, and ask you if you can confira
for me that that appears to be a copy of your
written submission to the Gonzalez Committee,
accompanied by appendices and exhibits?

A. Yes.

Q. The testimony you gave in written fora was true when it was submitted, correct?

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1989, Friday, November 17th, would have been the

preceding Friday. Let's assume that that's

The testimony portion, yes.

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correct.

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You submitted it on the 17th of

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November?

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Q. When did you first get notice that you

were going to be requested to submit testimony or

permitted to submit testimony?

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During October of 1989, I received a

subpoena to appear and testify on October 31.

Q. Do you remember when you were

subpoenaed, how far in advance of the hearing?

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Q. Let me try it this way: Can you tell

ne approximately how much time you put into the

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DEPOSITION OF ROSEMARY STEWART VOL. II

1 preparation of this testimony, the written

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testimony?

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MR. MURPHY : Are you distinguishing between

the testimony and the appendix?

MR. GALLAGHER : Yes, I meant to.

THE WITNESS: I worked on it for about four

weeks, but not full-time at all.

2. (BY MR. GALLAGHER) It consists of 59

pages, correct?

A. Yes.

Q. Did you review documents to assist you

in preparing?

A. Yes.

Q. Did you talk to anyone to assist you in

preparing?

A. Yes.

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Q. One question I meant to ask you is: After our session yesterday, did you talk about your deposition with anybody other than your

counsel?

1. And my husband.

Did you review any documents between yesterday's session and the comment of this

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