EFTA00115005.pdf
Extracted Text (OCR)
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DIGITALLY RECORDED
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SWORN STATEMENT
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OF
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OIG CASE #:
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2019-010614
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DEPARTMENT OF JUSTICE
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OFFICE OF THE INSPECTOR GENERAL
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JULY 20, 2021
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RESOLUTE DOCUMENTATION SERVICES
28632 Roadside Drive, Suite 285
Agoura Hills, CA 91301
Phone: (818) 431-5800
EFTA00115005
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APPEARANCES:
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OFFICE OF THE INSPECTOR GENERAL
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BY:
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BY:
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WITNESS:
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OTHER APPEARANCES:
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NONE
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EFTA00115006
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MR.
: This is Special Agent
2
Today is Thursday, July 15, 2021. The
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time is 4:03 p.m. and I've turned on the
4
recorder. My name is
, I'm a
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Special Agent with the U.S. Department of
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Justice, Office of Inspector General, New York
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Field Office and these are my credentials.
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MS.
: Okay.
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MR.
: This interview is with the
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Federal Bureau of Prisons Correctional Officer
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and this interview is being conducted as
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part of an official U.S. Department of Justice,
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Office of Inspector General investigation.
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Today is July 15, 2021. The time is 4:04 p.m.
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This interview is being conducted at the
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Metropolitan Correctional Center located at 150
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Park Row. We are in the Executive Assistant's
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office. Also present is DOJ OIG Senior Special
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Agent
and CO
. This
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interview will be recorded by me, Special Agent
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. Could everyone please identify
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themselves for the record and spell your last
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name. To start, I am DOJ OIG Special Agent
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MR.
: I'm Senior Special Agent
EFTA00115007
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also
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with the DOJ OIG.
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MR.
: Can you please state your
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first and last name?
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MR.
: Oh, and these are my
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credentials just so you do know.
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MS.
: Okay. I'm Correctional
8
Systems Officers S.
with
9
the Federal Bureau of Prisons, Department of
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Justice.
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MR.
: This is an official DOJ OIG
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investigation into the death of inmate Jeffery
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Epstein and the surrounding circumstances. You
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are being asked to voluntarily provide answers
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to our questions. Will you agree to a
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voluntary interview with the DOJ OIG?
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MS.
: Yes.
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MR.
: Please review DOJ OIG form 3-
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226/2. The form basically states, "United
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States Department of Justice, Office of
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Inspector General, Warnings and Assurances to
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Employee Requested to Provide Information on a
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Voluntary Basis. You are being asked to
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provide information as part of an investigation
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being conducted by the Office of Inspector
EFTA00115008
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General. This investigation is being conducted
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pursuant to the Inspector General Act of 1978,
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as amended. This investigation pertains to job
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performance failure and security failure."
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It's in general. It has nothing to do with you
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directly, it's in general, the investigation
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we're doing. "This is a voluntary interview.
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Accordingly, you do not have to answer
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questions. No disciplinary action will be
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taken against you if you choose not to answer
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questions. Any statement you furnish may be
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used as evidence in any future criminal
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proceedings or agency disciplinary proceedings
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or both." The waiver states, "I understand the
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warnings and assurances stated above and I am
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willing to make a statement and answer
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questions. No promises or threats have been
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made to me or no pressure or coercion of any
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kind has been used against me." Please review
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the document and let me know if you understand.
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If you do understand, please sign the document
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where it says, "Employee signature," and print
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your name.
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MR.
: And just for the record,
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it doesn't basically state what you just said,
EFTA00115009
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it actually states everything that you just
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read.
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MR.
: It states that. I used the
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word "basically states," I shouldn't have said
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that.
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MS.
: Okay. And I sign at employee
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sig-.
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MR.
: It says, "Employee
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signature," and print your name right below it.
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MR.
: Oh, do you have any
11
questions on that before we go, just you can
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totally ask (Indiscernible *00:03:35).
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MS.
: Okay. No.
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MR.
: Just, I mean, the long
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and --
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MS.
: Date and time?
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MR.
: -- short of it is
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MR.
: I'll put it in there.
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MR.
: -- we can do that. But
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then just the long and short of it is, it's
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voluntary. You do not have to answer
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questions. You can leave at any time.
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MS.
: Okay.
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MR.
: That's the purpose, for
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you just to -.
EFTA00115010
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MR.
: So you understand the form
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and agree to the form.
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MS.
: Yes.
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MR.
: This is Special Agent
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I'm signing on the signature of the Office of
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Inspector General, Special Agent.
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MR.
: This is Senior Special
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Agent
. I'll be signing as
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the witness, printing my name as a witness,
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entering the date and time as July 15, 2021 at
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4:07 p.m. and the place MCC New York.
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MR.
: Before starting the
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interview, III like to place you under oath.
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Ms.
, can you please raise your right
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hand? Do you swear to tell the truth and
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nothing but the truth during this interview?
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MS.
: I do.
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MR.
: Please - you can put your
19
hand down.
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MS.
: Oh, okay.
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MR.
: Please let me know if you
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don't understand my questions and I'll try to
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repeat it or try to rephrase it for you.
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MS.
: Okay.
25
MR.
: I want to again, clarify this
EFTA00115011
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interview is specifically regarding inmate
2
Jeffrey Epstein on August 9th and 10th, 2019.
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I'm going to go through some background
4
questions. What is your current home address?
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MS.
: My current home address?
6
MR.
: Yes.
7
MS.
: Why is that relevant for
8
this?
9
MR.
: As part of our investi-.
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MR.
: You don't have to provide
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that.
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MS.
: Oh yeah, I don't want to --
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MR.
: Yeah.
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MS.
: -- give my address.
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MR.
: If you have anything -
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any kind of, like a PIV card you can show us
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just so we can verify who it is that you are?
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MS.
: You know what? I left it at
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my desk.
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MR.
: That's okay. Do you mind
21
providing us your date of birth and your last
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four of your social security number?
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MS.
: Yes.
is my date
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of birth and last four of my social,
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MR.
: What is your highest level of
EFTA00115012
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education?
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MS.
: Master's degree.
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MR.
: Okay. In what?
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MS.
: Inspector General
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investigations, fraud, waste, abuse or
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corruption, organizational assessment and
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monitoring.
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MR.
: You know more about this
9
stuff than us then.
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MR.
: Which college?
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MS.
: John Jay.
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MR.
: And what about bachelors?
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MS.
: My bachelors was correctional
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administration.
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MR.
: What did you do prior to
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working for the BOP?
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MR.
: Ask her about where this
18
stuff was and when she got these degrees.
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MR.
: Okay.
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MS.
: I got my masters in 2017.
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got my BA in I believe 2006.
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MR.
: Also from John Jay?
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MS.
: Yes.
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MR.
: Okay. And what - so prior to
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working for the BOP, what did you do?
EFTA00115013
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MS.
: Juvenile corrections.
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MR.
: Where?
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MS.
:
Virginia.
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MR.
: Is that with the state?
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City?
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MS.
:
Yeah. State Department of
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Juvenile Justice.
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MR.
: Was that directly before the
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BOP?
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MS.
: Yes.
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MR.
: What years? I you don't
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recall -.
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MR.
: They can be approximate.
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MR.
: Estimate, yeah.
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MS.
: Approximately, I think 2006
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or `07 to 2009, when I started here.
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MR.
: Okay. Do you have any
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military service?
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MS.
: No.
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MR.
: And how long have you served
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with the Federal Bureau of Prisons?
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MS.
: Approximately now, 2009, 2019
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is 10 years, 20, 21, going on 11 and a half
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years.
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MR.
: Eleven and a half years? And
EFTA00115014
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when was your enter on duty date?
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MS.
: 9/13/2009.
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MR.
: When did you graduate from
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BOP training?
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MS.
: I don't remember that. I
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don't -.
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MR.
: When did you begin your
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career here at MCC?
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MS.
: March of 2011.
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MR.
: And what was your position at
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that point?
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MS.
: Correctional Officer.
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MR.
: What is your current
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position?
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MS.
: Correctional Systems Officer.
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MR.
: And what's your regular
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schedule right now?
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MS.
: 12:00 to 8:00 Monday through
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Friday.
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MR.
: Do you -.
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MR.
: What does your position
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entail? What is that?
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MS.
: Receiving and discharge,
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movement. I deal with state risk, federal
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risk, detainers, pending charges, warrants,
EFTA00115015
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what else?
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MR.
: And that's outside of
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custody?
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MS.
: Yes.
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MR.
: Okay. What is your grade
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level?
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MS.
: GS-8.
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MR.
: Eight? Okay.
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MS.
: Uh-huh.
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MR.
: What was your position on
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August 9th and 10th, 2019?
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MS.
: I was a Correctional Systems
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Officer, but I was working overtime in custody.
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What a minute. I don't even know what day that
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is.
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MR.
: August 9th is a Friday.
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MS.
: Uh-huh.
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MR.
: And August 10th is Saturday.
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I can provide you the daily assignment roster -
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MS.
: And what -.
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MR.
-- for the MCC --
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MS.
: Okay.
24
MR.
and that's for August 9th
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and 10th. If you look at it, you'll be able to
EFTA00115016
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MR.
: And provide her --
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MS.
: This is two -.
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MR.
: -- provide her also her
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timesheet.
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MR.
: Yes. Is this your timesheet
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for the same time period?
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MR.
: Show her the columns
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(Indiscernible *00:08:55).
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MS.
: Okay.
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MR.
: It's (Indiscernible
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*00:08:58).
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MS.
: I normally write everything
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on a calendar, but looks like my timesheet.
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MR.
: So, the timesheet is for
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August 4th all the way to August 17th. For the
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9th, where does this timesheet show that you
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worked?
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MS.
: This - it doesn't show where
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you're working, it just shows the hours you've
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worked.
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MR.
: Is it coded under a certain
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entry?
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MR.
: Well just ask her, do you
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know by looking at these documents, do you know
EFTA00115017
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where on August 9th and August 10th you were
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working? This is not an, "I got you,"
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whatsoever. Just like, do you recall on August
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9th(Indiscernible *00:10:03) working?
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MS.
: Well, I know that this is a
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custody overtime code for the overtime sheets.
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So this is -.
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MR.
: If it doesn't state, that's
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okay.
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MS.
: It's possible, because I do
11
I was working a lot of overtime, so. But I
12
can't recall off the top of my head. But I
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know I did work the evening of the Epstein
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situation, so.
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MR.
: When you say "evening."?
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MS.
: The morning he hung himself.
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MR.
: Okay. So according to the
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August 10th schedule, find yourself on the
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schedule?
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MS.
: Uh-huh.
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MR.
: What were you listed for?
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MS.
: Control one.
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MR.
: Control one. Okay. Do you
24
recall being interviewed by - recall
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interviewing with the OIG regarding the Epstein
EFTA00115018
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investigation in 2019?
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MS.
: I remember being interviewed,
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yes.
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MR.
: Okay. What I have is a
5
summary off a report written by the FBI. Was
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the FBI also present?
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MS.
: Yes.
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MR.
: We did get a copy of it
9
because OIG was present for the interview also.
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I'm going to read a portion of the interview
11
record for you.
12
MR.
: Does it state when she
13
worked on August 9 and 10? That might help
14
clarify things.
15
MR.
: For the 10th it does. And
16
so, I'm going to read it. As I read through
17
it, it's just summary for the record. Please
18
tell me if there's any corrections and let me
19
know --
20
MS.
: Okay.
21
MR.
and we'll address it.
22
"Control's duties include monitoring the
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activity on the ranges, answering calls from
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COs, replying on the radio and opening doors."
25
MS.
: Monitoring - you - at that
EFTA00115019
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time, we didn't have cameras on the ranges so
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you could only see the center, which is like,
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they consider it the MPA, multi-purpose area of
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the unit. You are not able to see down the
5
actual ranges of the units, so no. I wouldn't
6
say, "The ranges," I would say, "The multi-
7
purpose area."
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MR.
: Multi-purpose area of the
9
ranges. "And
," did I pronounce it
10
right?
11
MS.
: Uh-huh.
12
MR.
.
stated that no one is
13
really moving anywhere within the institution.
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A count sheet is called the E-1 and it is
15
printed off from the internal MCC system called
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SENTRY. Control validates all respondent
17
numbers from the head counts and marks an X on
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the E-1 sheet to confirm the count. This
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happens for every check of every unit. E-ls
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are supplemented with count slips that are
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properly filled out and stapled to the E-1
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timesheet. Once all head count numbers are
23
verified to be correct, everything is
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documented, recorded and then considered to be
25
a good count.
began her shift on August
EFTA00115020
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10th at 12:00 midnight to 8:00 a.m.
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stated that Lieutenant
took care of
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the 12 o'clock count that day." I'm going to
4
pause right there. I'm going to ask you a
5
question. Do you recall coming on shift that
6
day?
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MS.
: Yes.
8
MR.
: Do you recall the first count
9
would be at 12:00 midnight?
10
MS.
: Yes.
11
MR.
: And were you in Control when
12
the count happened?
13
MS.
: Yes.
14
MR.
: Who took the count?
15
MS.
: I don't remember at that
16
time. I don't remember all this time ago, but
17
if I said the Lieutenant took the count at that
18
time, then that's who took the count, because
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every Lieutenant is required to take a count,
20
one count per shift.
21
MR.
: But you don't recall the
22
exact situation -.
23
MR.
: I think what he's asking
24
was, was Lieutenant
in the Control
25
with you?
EFTA00115021
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MS.
: At some point in time, yes,
2
she was.
3
MR.
: So if she was taking the
4
count, does that mean that she's doing from
5
Control?
6
MS.
: Yes, she's doing it from
7
Control.
8
MR.
: Okay.
9
MR.
: Okay.
recalled that
10
CO Thomas -" - and this says CO Noel, but is
11
that Noel?
12
MS.
: Noel.
13
MR.
"CO Noel worked in the SHU on
14
the day of the incident.
stated that
15
Noel was fairly new.
stated that she
16
does not pay specific attention to just one
17
individual screen during her shifts since so
18
much is going on.
stated that extension
19
6468 is a number that is called for reporting
20
the count. If a Lieutenant is on the unit for
21
the count, then this is when it is considered a
22
watch call. On the 3:00 a.m. and 5:00 a.m.
23
watch calls,
ran the counts.
24
recalled that the SHU called in the count of
25
the day and that the count was accurate.
EFTA00115022
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does not recall who called in the count
2
from the SHU but recalled that the number was
3
72.
stated that there are folders that
4
are filed that are compiled with count
5
verification timesheets for every day of the
6
calendar year."
7
MS.
: That is correct.
8
MR.
: So I asked you, on August
9
10th, you said you worked at midnight in
10
Control.
11
MS.
: Yes.
12
MR.
: Do you recall if you worked
13
on August 9th?
14
MS.
: I probably did. I don't
15
recall that, this far from now to then, but I
16
probably most likely worked that day and if
17
it's on the roster and it's on my timesheet,
18
most likely, yes.
19
MR.
: But you wouldn't happen to
20
recall if you worked in internal or III?
21
MS.
: I know I worked III because
22
that's my regular position and Custody,
23
anything I did in Custody would be considered
24
overtime for me.
25
MR.
: Okay. So, on August 9th, by
EFTA00115023
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1
based on that, it wouldn't tell - would the
2
(Indiscernible *00:15:16).
3
MS.
: It did say overtime. It did
4
say overtime in internal.
5
MR.
: But internal is not - is that
6
the same as III?
7
MS.
: No. III, this is
8
Correctional Services. III is Correctional
9
Systems. Those are two different departments.
10
This is custody and III is non-custody.
11
MR.
: So by this, were you in
12
custody?
13
MS.
: Yes. I was there.
14
MR.
: Okay. So you were working in
15
internal, not in III
16
MS.
: Yes.
17
MR.
: Okay. Do you recall who your
18
supervisor was when you worked at the MCC on
19
August 9th and 10th?
20
MS.
: I would only know by looking
21
at this roster.
, Lieutenant
22
MR.
: So you report only to
23
or do you report to any other COs
24
MS.
: No, she's the only supervisor
25
on duty during that time.
EFTA00115024
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1
MR.
: During the night. And so
2
both days it was midnight to 8:00 a.m.
3
MS.
: Yes.
4
MR.
: Okay. Was she also a
5
supervisor?
6
MS.
: Yes.
7
MR.
: Are you familiar with inmate
8
Jeffrey Epstein?
9
MS.
: Yes.
10
MR.
: Did Jeffrey Epstein have a
11
cell mate?
12
MS.
: Yes, he did.
13
MR.
: Do you know who it was?
14
MS.
: I don't know, but I know the
15
inmate went out to court I believe Friday and
16
he didn't come back from court. I don't know
17
if he got released from court, but he didn't
18
come back to the institution that day.
19
MR.
: How do you know that?
20
MS.
: Because I work in III
21
MR.
: So, is this from your
22
knowledge from working in III that day or on a
23
later date?
24
MS.
: My knowledge of working in
25
III that day.
EFTA00115025
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1
MR.
: So that's - okay. Because
2
according to this, you were in III --
3
MS.
: I was in
4
MR.
:
I mean, you're in
5
internal.
6
MS.
: Right. But this is midnight.
7
My hours in III is from 12:00 to 8:00.
8
MR.
: 12:00 to 8:00? So you did
9
work later in the shift --
10
MS.
: Right.
11
MR.
so that (Indiscernible
12
*00:16:56) be on the schedule at all. You're
13
not going to be on this roster. It's not going
14
to show you as 12:00 to 8:00.
15
MS.
: Custody has a different
16
roster from my department roster.
17
MR.
: Okay.
18
MS.
: So you're not going to see my
19
department. My department hours would be that
20
- what you see on that timesheet and this is
21
considered overtime. So anything here, where
22
it says, "Additional," this is overtime because
23
you see the two shifts, the eight up here and
24
the eight at the bottom.
25
MR.
: Okay.
EFTA00115026
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23
1
MS.
: And that's 16 hours for the
2
day.
3
MR.
: So I'm going to go back and
4
clarify. On August 9th, you worked from
5
midnight to 8:00 a.m. --
6
MS.
: Uh-huh.
7
MR.
: -- and you were in internal.
8
MS.
: Yes.
9
MR.
: And then after that, what was
10
your next shift?
11
MS.
: That was Saturday, the next
12
day. That would be midnight the next night.
13
MR.
: Okay.
14
MS.
: These are all midnight
15
shifts.
16
MR.
: Midnight shifts. But did you
17
work regular shifts those days? August 9th and
18
10th?
19
MS.
: In my department?
20
MR.
: Yeah, in
21
MS.
: If it's a Friday and a
22
Thursday or a Friday and a Saturday. A
23
Saturday, I wouldn't be in my department, no.
24
MR.
: What about Friday?
25
MS.
: Friday I'm in my department,
EFTA00115027
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24
1
yes, because my department is Monday through
2
Friday.
3
MR.
: And what's your regular time?
4
MS.
: 12:00 to 8:00. I believe I
5
was working 12:00 to 8:00. I'm not sure.
6
MR.
: That's midnight to 8:00,
7
right? But midnight to 8:00 -.
8
MS.
: No, no, no, 12:00 p.m. in the
9
afternoon --
10
MR.
: 12:00 p.m. to 8:00.
11
MS.
to 8:00 p.m.
12
MR.
: To 8:00 p.m. So, according
13
to this, you were in internal from - on August
14
9th, from midnight to 8:00 a.m., then there was
15
a four hour break? Are you saying there was a
16
four hour break and then you worked from -.
17
MS.
: I'm not sure right here based
18
on this because I might have been working 2:00
19
to 10:00 because I had to do 12:00 8:00 p.m. or
20
2:00 p.m. to 10:00 p.m.
21
MR.
: Okay.
22
MS.
: So, based on this, this says,
23
"Regular base." This might have been from the
24
day shift because this says, "Regular base," so
25
this might have been, I worked midnight to 8:00
EFTA00115028
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1
in the morning and then maybe 8:00 to 4:00 in
2
my department because I don't see no - well, I
3
don't recall my duty hours in my department at
4
that time.
5
MR.
: It's been a while.
6
MS.
: I'm sorry. Yeah.
7
MR.
: But to follow up though,
8
you said that you knew that Epstein's cell mate
9
had left because you were working in
so
10
you probably want to follow up --
11
MR.
: Yeah. So -.
12
MR.
: -- with that.
13
MS.
: So we key inmates in and out
14
to court.
15
MR.
: Okay.
16
MR.
: So that - so, Reyes, how did
17
you first come to learn that he left?
18
MS.
: Because we have to key them
19
out to go to court. I mean, I don't know
20
actually at that moment that he was Epstein's
21
cell mate, but when the comment came up that
22
his bunkie, they moved his bunkie, they put him
23
in a cell by himself, and when we learned who
24
that specific inmate was, that's how I became
25
aware that, no, this guy went to court and he
EFTA00115029
LIMITED OFFICIAL USE
1
was released from court, wherever he got
2
removed to. Never came back from court.
3
MR.
: What do you mean they moved
4
his bunkie to a separate cell?
5
MS.
: They kept saying Epstein was
6
put in a cell by himself, he didn't have a cell
7
mate.
8
MR.
: Okay.
9
MS.
: That was not the case, he did
10
have a cell mate, but he got released from
11
court or wherever it is the Marshals took him
12
to, that he didn't come back to MCC. But off
13
the top to say I knew that that was actually
14
his cell mate, I didn't know that until we
15
became aware of who the inmate was that got
16
released and went to court, because we don't
17
know who inmate's cell mates are just by
18
working in III, we just know their bed
19
assignment and what unit they're coming from.
20
MR.
: No, working the III, are you
21
familiar with something called the court list?
22
MS.
: Yes.
23
MR.
: Was inmate Reyes's name on
24
the court list?
25
MS.
: Yes.
EFTA00115030
LIMITED OFFICIAL USE
27
1
MR.
: Do you recall?
2
MS.
: Yeah. Because I think that's
3
the guy we keyed out to court.
4
MR.
: Okay. And what is a court
5
list?
6
MS.
: A court list is something we
7
get from the Marshals. They'll send us over
8
just a roster of names of inmates to appear for
9
production to the court either going out on a
10
writ, being transferred to another jail. A
11
court list consists of whatever type of
12
movement that the Marshals want the inmates
13
for. It could be appearing before a proffer to
14
tell on somebody, it could just be whatever it
15
is that they need them to appear for the court
16
production for.
17
MR.
: How do the Marshals send it
18
over?
19
MS.
: They always email it or fax
20
it.
21
MR.
: Who receives the email?
22
MS.
Everybody in III
23
MR.
: Do you recall who was working
24
in III that day?
25
MS.
: No.
EFTA00115031
LIMITED OFFICIAL USE
28
1
MR.
: Everybody receives it.
2
MS.
: Yeah, everybody in III
3
receives it, but I couldn't say off the --
4
MR.
: Yeah.
5
MS.
: -- top of my head, "Oh, this
6
person worked," I don't remember who worked
7
with me that day.
8
MR.
: So everybody that
9
actually is in III, you all get that same
10
MS.
: Yeah.
11
MR.
: -- court sheet, so it
12
doesn't matter who was working that day or not.
13
MS.
: Right.
14
MR.
: Everybody would have
15
gotten it.
16
MS.
: Uh-huh.
17
MR.
: Do you recall receiving that
18
email?
19
MS.
: I don't recall receiving the
20
email, but I know we had a court list.
21
MR.
: Who creates that court list?
22
MS.
: Whoever is doing movement.
23
MR.
: Okay. And what - so you just
24
mentioned all the inmates that's listed on
25
there anything for movement and the Marshals
EFTA00115032
LIMITED OFFICIAL USE
1
send it over
2
MS.
: Uh-huh.
3
MR.
: -- and they email it. And
4
what do you get?
5
MR.
: Email or fax you said,
6
right?
7
MS.
: Email or fax.
8
MR.
: Or fax.
9
MR.
: Is it (Indiscernible
10
*00:22:21) -.
11
MS.
: Well, I believe they were
12
doing both email and faxing at that time.
13
MR.
: So you get both.
14
MS.
: Uh-huh.
15
MR.
: Okay.
16
MR.
: And once the list comes over,
17
and who did you say creates the court list?
18
MS.
: The movement officer and if
19
the movement officer is not there, whoever is
20
filling in, it might be somebody in the front
21
desk. Just whoever is in the department,
22
they'll fill out the - complete the court list,
23
put it on a call out and get it prepared so
24
overnight, the officer who is internal can pass
25
it out to the housing unit so the inmates are
EFTA00115033
LIMITED OFFICIAL USE
30
1
aware when they wake up the next day or the
2
officer can say, "Hey, I got this inmate, I've
3
got to get him ready for court the next day."
4
MR.
: Who is the movement officer?
5
MS.
: I don't know if - I don't
6
know who was the movement officer at that time.
7
I don't know.
8
MR.
: Okay. When do the -.
9
MR.
: When you say a movement
10
officer, are you talking about control?
11
MS.
: No.
12
MR.
: I mean internal?
13
MS.
No. III
14
MR.
: III movement officer?
15
MS.
: We have different position -
16
yeah.
17
MR.
: Okay.
18
MS.
: We have different positions
19
in III where everybody had a different
20
function.
21
MR.
: Okay. So is the movement
22
officer in III basically like will go into
23
internal with (Indiscernible *00:23:21)?
24
MS.
: No, they are - they are like,
25
they prepare the transfer orders if inmates are
EFTA00115034
LIMITED OFFICIAL USE
1
moving out of the --
2
MR.
: Okay.
3
MS.
institution.
4
MR.
: So they're doing the
5
background of what the internal guy does
6
almost.
7
MS.
: They don't have anything to
8
do with internal.
9
MR.
: Okay. Because - okay.
10
Sorry.
11
MS.
: It's - no.
12
MR.
: I'm making more things
13
more (Indiscernible *00:23:38).
14
MS.
: Nothing to do with internal.
15
It's just preparing inmates to move out of the
16
institution, preparing the production list for
17
inmates to - for a unit - for a list to be
18
disseminated to the housing units for the
19
officers to know what inmate has to appear in
20
court the next day. The movement officer might
21
draft up a - get a compile, like a medical
22
summary, transit order, anything that they need
23
to put together for an inmate to be released to
24
move out of the institution to be transferred.
25
That's what the movement officer does.
EFTA00115035
LIMITED OFFICIAL USE
1
MR.
: Great.
2
MR.
: Do you recall what your
3
position was in the III that day?
4
MS.
: I might have been III.
5
MR.
: Okay.
6
MS.
: I might have been
7
don't believe I was movement but I might have
8
been III.
9
MR.
: So as III, what would you
10
take care of?
11
MS.
: Court movement, inmates going
12
in and out, keying them in and out, getting
13
inmates down to my area to get prepared for
14
court, tracking inmates going out to the
15
hospital, keying inmates going out to the
16
hospital, keying inmates coming back.
17
Basically, I would be responsible for like
18
inmates leaving in and out of the institution
19
20
MR.
: Okay.
21
MS.
: -- and preparing them to get
22
out of the institution.
23
MR.
: We can take a step back.
24
When did the Marshals list normally come over?
25
Do they send it over the night before?
EFTA00115036
LIMITED OFFICIAL USE
1
MS.
: Yes.
2
MR.
: Evening before or they send
3
it the morning of?
4
MS.
: The evening before.
5
MR.
: Around what time?
6
MS.
: I think it's always around
7
it's approximately between, I would say, maybe
8
3:00 and 5:00 or - yeah, between like 3:00 and
9
5:00, something like that.
10
MR.
: Okay. And -.
11
MS.
: Around that time frame. It's
12
not like a set time, it's whoever does it and
13
faxes it over and emails it. But it was about
14
maybe between 3:00 and 5:00 or 3:00 and 6:00,
15
something like that.
16
MR.
: And then once
receives
17
it, you guys prepare a court list.
18
MS.
: Uh-huh.
19
MR.
: And what does it state on the
20
court list?
21
MS.
: It's just a document, like a
22
SENTRY created document that show the inmate's
23
name, his housing unit, if he has a separatee
24
(Phonetic Sp. *00:25:49) in the institution and
25
what time he has to come down to III to move
EFTA00115037
LIMITED OFFICIAL USE
34
1
out for court, whether it be that he has court
2
in the a.m. or court in the p.m.
3
MR.
: Okay. And would it state,
4
like, let's say if an inmate was leaving and
5
not coming back, would it state on there?
6
MS.
: Yeah, it would say, "WAB,"
7
but most often times, pre-trial is - because
8
they're not our inmates, they're Marshals
9
inmates, the Marshals can move them at any
10
given time and just forward us back a
11
disposition of the inmate leaving. "Inmate so
12
and so was released to Probation. Here's a cut
13
slip for you guys' file -" - then we can go
14
ahead and key them out. But we don't key
15
inmates out WAB if they're going out to court.
16
We key them out - at that time, we were doing
17
what was considered an out count. We weren't
18
keying inmates out, we were keying them on an
19
out count so we know that we have an account of
20
who went out to court and we have an account of
21
who came back from court.
22
MR.
: So are you saying that you
23
guys wouldn't remove the inmate completely from
24
the count, you would just leave them under the
25
out count?
EFTA00115038
LIMITED OFFICIAL USE
35
1
MS.
: Yes. We would only remove
2
him if prior to that list, when we got the
3
list, it says, "Transferred WAB, we're sending
4
him somewhere to Brooklyn or he's going back to
5
the state," that night before we would know
6
that. But sometimes at the spur of the moment,
7
things might arise, a judge might give a person
8
time served, he might commit him to drug
9
treatment program, Probation might come and
10
pick him up. It could be a number of things
11
that take place at court that it might be just
12
a regular court proceeding but then he gets
13
released and he doesn't come back to the
14
institution.
15
MR.
: Do you recall seeing inmate
16
Efrain Reyes's name on that list?
17
MS.
: If he was on that list at
18
that time, then I've seen it, but I don't
19
recall now, speaking now, but at that time,
20
yeah, if his name was on the list, yes.
21
MR.
: Do you recall if his - I know
22
you said you don't recall, but by any chance,
23
would you have known if he left WAB? What does
24
WAB stand for?
25
MS.
: With all belongings, meaning
EFTA00115039
LIMITED OFFICIAL USE
1
they're being transferred either to an air
2
lift, transferred to another BOP, transferred
3
to another state institution, that the Marshals
4
will be transferring them to.
5
MR.
: And you don't recall if he
6
do you recall if his name was on as WAB on that
7
list?
8
MS.
: No. I don't recall that.
9
MR.
: Okay. We'll come back in a
10
little bit. The court list that you guys
11
create, who does that get sent to?
12
MS.
: It doesn't get sent to - it
13
gets sent to the unit officers. We don't email
14
it out, we make hard copies and the internal
15
officer comes around at night and he gives one
16
to each housing unit.
17
MR.
: Around what time?
18
MS.
: Depending on - any time
19
during from midnight to 8:00 in the morning.
20
They have up until to give out that. But most
21
likely, no later than 5:00 a.m., after the 5
22
o'clock count because at that time, that's when
23
the institution is opening up after the 5:00
24
a.m. count, then the inmates will have their
25
breakfast and start preparing for whatever it
EFTA00115040
LIMITED OFFICIAL USE
1
is their day entails.
2
MR.
: Do you recall working that
3
morning in III and seeing inmate Reyes come
4
down?
5
MS.
: I don't remember.
6
MR.
: Okay. And when the list is
7
sent up to the units, what do they do with it?
8
MS.
: The unit officers take it and
9
he views it and it just tells him who on his
10
unit has court that day.
11
MR.
: Is a copy of that list
12
maintained anywhere?
13
MR.
: By
14
MR.
:
15
MS.
: No. Because --
16
MR.
: Where do we get it?
17
MS.
: -- once we - once that list
18
is done of the day, we just shred it, we don't
19
need it.
20
MR.
: What about what's used to
21
- it sounds like create the list from the
22
Marshals, can we get - can we go back to emaiis
23
from August 8th, I guess it would be, to get
24
that court list from August 9th?
25
MS.
: If it's still in the system,
EFTA00115041
LIMITED OFFICIAL USE
38
1
yeah, you would still - you would be able to
2
see it, yeah.
3
MR.
: And you said at that
4
time, they're both fax and email so any single
5
person we could just grab an email from them if
6
it was archived?
7
MS.
: Uh-huh. If it's still, you
8
know, in the system, but we don't normally keep
9
court lists. Once we done for that day,
10
everything gets shredded and we start fresh for
11
the next day. So we don't hold onto court
12
lists.
13
MR.
: Okay.
14
MS.
: Just something we never did.
15
The only thing we hold onto is transfer orders,
16
people that transferred out, like -.
17
MR.
: So for instance, with
18
Reyes - when you say "transfer order," does
19
that also mean released or is that just
20
transferred to a different institution?
21
MS.
: Transferred to a different
22
institution --
23
MR.
: Okay.
24
MS.
: -- because if he got released
25
or he got a disposition, that would be
EFTA00115042
LIMITED OFFICIAL USE
39
1
something we would place in his file, why he
2
got released. You know you got to have
3
something to show that why you released this
4
inmate, that we didn't just let him walk out
5
the door, we have this document from the
6
Marshals why we released him.
7
MR.
: So would Reyes have
8
file like that?
9
MS.
: If it's not sent to archives
10
and this is 2021, his file would be - his file
11
is probably archived now.
12
MR.
: even though it's like -
13
my understanding was like August 9th everything
14
was going to be, like, preserved August 9th and
15
10th. Do you know if that would create it not
16
actually be archived but actually still
17
maintained somewhere?
18
MS.
: You would have to get with
19
SIS, I don't know.
20
MR.
: Okay.
21
MS.
: I don't know. I don't know.
22
MR.
: Do you know if that court
23
list is used to update the daily log?
24
MS.
: What do you mean?
25
MR.
: Do you know what a daily log
EFTA00115043
LIMITED OFFICIAL USE
1
is?
2
MR.
:
Show her.
3
MR.
: Have you ever seen that?
4
MS.
: Uh-huh. This is --
5
MR.
: Is that -.
6
MS.
-- 38.
7
MR.
: It's a what?
8
MS.
:
We call this a PP38.
9
MR.
PP38.
10
MS.
: It just tracks movement of
11
who went out the institution, who went from
12
what unit to what unit, who got keyed out.
13
This is what this is. It just tracks all the
14
movement for that day.
15
MR.
: Can you flip to the third
16
page for inmate Efrain Reyes. You see next to
17
it it says, "Pre-remove." Do you know what
18
that means?
19
MS.
Uh-huh. That means he was
20
removed from the institution.
21
MR.
:
Does that mean there's a
22
possibility that the Marshals list came over
23
MS.
:
Uh-huh.
24
MR.
-- with him as a WAB?
25
MS.
: Possibility. Yeah.
EFTA00115044
LIMITED OFFICIAL USE
41
1
MR.
: What else could it - why else
2
would you list an inmate as pre-remove?
3
MS.
: We don't list them as pre-
4
remove, we just key him out as pre-remove.
5
MR.
: So he was keyed out at that
6
point.
7
MS.
: Uh-huh.
8
MR.
: And what time was it keyed
9
out, do you know?
10
MS.
: 8:38. Uh-huh.
11
MR.
: And he wouldn't be - if
12
person is going to court, what would it be
13
listed as?
14
MS.
: If he's going to court on
15
this, you wouldn't see - at that time, you
16
wouldn't see that he went to court. You would
17
have to run an out count to show who was keyed
18
out to court. So, you wouldn't be able to see
19
that on this because this just tracks who came
20
into the institution, who left the institution
21
and what housing units they were transferred
22
from, whether they came out of SHU or they went
23
to SHU or they got moved from one unit, housing
24
unit, to another housing unit or if they're -
25
say an inmate got sentenced, this would show
EFTA00115045
LIMITED OFFICIAL USE
42
1
you that he might have went from a A-pre,
2
meaning a pre-trial inmate to a hold, he might
3
have pled guilty so now he's longer a pre-trial
4
and he's waiting sentencing. So this would
5
just show you stuff like that. Or he became a
6
designated inmate and he's a BOP inmate.
7
MR.
: How would you be able to see
8
the difference between an inmate that just left
9
for court and was coming back and an inmate
10
that left?
11
MR.
: Or WAB.
12
MR.
: WAB.
13
MS.
: On this?
14
MR.
: Yeah. Can you?
15
MS.
: Yeah, you could just see -
16
well, you don't know, you just know that they
17
were pre-removed. So you don't know, looking
18
at this, why they were pre-removed.
19
MR.
: So I guess what he means
20
though, is if someone is just going to court
21
and didn't go to court WAB versus someone who
22
went to court WAB, would they be coded
23
differently on that?
24
MS.
: No.
25
MR.
: At all?
EFTA00115046
LIMITED OFFICIAL USE
43
1
MS.
: At that time, we weren't - if
2
the inmate went to court and he was a WAB, we
3
would key him out pre-remove or hold-remove.
4
So yes, but - I'm trying to think, what did you
5
just say. Say it again.
6
MR.
: So I guess, is there a
7
differentiation, if someone is WAB, are they
8
coded as pre-remove if they're just going to
9
court and they don't have WAB next to their
10
name on that form, would it just say something
11
different, like "Court?"
12
MS.
: No, you wouldn't see WAB on
13
this form. You -.
14
MR.
:
No, no, no, I'm not
15
saying like you would see WAB on that form --
16
MS.
: Uh-huh.
17
MR.
:
I'm just saying like,
18
if an inmate goes to court, are they always
19
listed as pre-remove?
20
MS.
: No,
be hold-remove.
21
MR.
: And what's the
22
difference? So is it either pre-remove or
23
hold-remove?
24
MS.
: Or bail bond.
25
MR.
: Or bail bond. And can
EFTA00115047
LIMITED OFFICIAL USE
1
you -.
2
MS.
: Or time served.
3
MR.
: Okay. So, when they're
4
leaving and - so it sounds like the latter to
5
that are totally different things. But if
6
MS.
: Well, no. They could be on
7
the court list and they could appear and go out
8
to court as a court and they might get ordered
9
to time served.
10
MR.
: Uh-huh.
11
MS.
: So, now, we have them on an
12
out count as going to court because we weren't
13
keying inmates physically out of the
14
institution, we were placing them on an out
15
count. So you would send them out to court as
16
a court, but if you got a disposition back from
17
the Marshals stating that, "Inmate so and so
18
was sentenced to time served," now you would go
19
back in the system and you would key him out,
20
time served. So it doesn't necessarily mean
21
that they could be on the court list as a WAB
22
because that doesn't always happen. Sometimes
23
they do get released straight from the
24
courthouse and never come back to the jail, so
25
those things do happen.
EFTA00115048
LIMITED OFFICIAL USE
45
1
MR.
: And that's what ha- so,
2
what we're trying to get to is, is there any
3
way by looking at that, we can determine if
4
Reyes, when he left at 8:38, had a WAB next to
5
his name.
6
MS.
: Not from looking at this, no.
7
MR.
: No?
8
MS.
: No.
9
MR.
: The only way we would be
10
able to determine that is by getting that court
11
list?
12
MS.
: Yes.
13
MR.
: All right. And -.
14
MS.
: Because the Marshals could
15
have sent something back over and said, "Inmate
16
so and so is not coming back, he's going with
17
Probation." He could have had a court
18
appearance and he could have - it could have
19
been with his probation officer and at that
20
time, the judge could have said whatever and
21
sentenced the inmate to probation. So now,
22
he's not coming back to the institution, now
23
we've got to pre-remove him. It just all
24
depends on what happened at court and it all
25
depends on what his status was prior to going
EFTA00115049
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1
to court, what we got far as the court list.
2
So I couldn't tell you that just by looking at
3
that.
4
MR.
: When the Marshals send
5
over whatever it is they send over, did they
6
have WAB on their form?
7
MS.
: Yeah.
8
MR.
: Okay.
9
MS.
: Yeah.
10
MR.
: So, if we get one of
11
those emails, it would say WAB on it.
12
MS.
: At that time, it said WAB,
13
yes.
14
MR.
: Okay. So that's not
15
something that you create and write WAB, they
16
actually would have it on that email.
17
MS.
: Right.
18
MR.
: Okay.
19
MS.
: Right. We don't create that
20
until we get their list.
21
MR.
: Uh-huh.
22
MS.
: Then that's - we go by what's
23
on their list and then we type it up and we
24
disseminate it to the housing units like that.
25
MR.
: Okay. But somebody that
EFTA00115050
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1
your - so, my understanding though is that not
2
everybody that goes to court is WAB.
3
MS.
: That's correct.
4
MR.
: And just to make sure
5
that we are understanding correctly on that, so
6
people that just go to court, would they also
7
be listed as pre-remove?
8
MS.
: They could possibly be, yes.
9
MR.
: Just possibly, but -.
10
MS.
: It could possibly be because
11
the Marshals might call you and say, "Hey, we
12
got inmate so and so, he's not coming back,
13
he's going with the state," and they'll send us
14
a cut slip. Yeah.
15
MR.
: No, that's after the fact
16
though, after they've already left?
17
MS.
: That can possibly happen
18
after they left, yes.
19
MR.
: So if we're looking at
20
this thing on Reyes where it says 8:38, is that
21
what was entered for him at 8:38 or is it that
22
could have been changed later on, the pre-
23
remove thing?
24
MS.
: It just depends on what time
25
he went out. I don't know because it could
EFTA00115051
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1
have been changed. Well, no. Well, I can't
2
tell you just by looking at this.
3
MR.
: So, all right, so this
4
doesn't tell us anything?
5
MS.
: It tells you that he was
6
removed from the institution.
7
MR.
: At 8:38 though.
8
MS.
: Yes.
9
MR.
: And I guess, so - and
10
again, I -.
11
MS.
: Because at one point in time,
12
how we key inmates out now is not how we were
13
keying inmates out then. We didn't key them
14
out, we just placed them on the out count. So,
15
if we keyed them on an out count, they would
16
show off of the unit population but they would
17
still be on the institutional count.
18
MR.
: Okay.
19
MS.
: Now, how we key them out,
20
they're off the institutional count and they're
21
off the unit count. So when we key them out
22
now for court, they - it's like they never -
23
they're not here in the institution at all.
24
MR.
: Okay. So for these
25
people that were on this pre-remove, does that
EFTA00115052
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1
mean at 8:38, pre-remove, that he was taken off
2
of the institutional count?
3
MS.
: Yes.
4
MR.
: Okay.
5
MS.
: Yes.
6
MR.
: And is there - I do see a
7
few pre-removes on there though.
8
MS.
: Uh-huh.
9
MR.
: Is there anybody on there
10
that went to court that wasn't listed as a pre-
11
remove?
12
MS.
: I don't know.
13
MR.
: You can't tell by looking
14
at that? All right. So that basically doesn't
15
tell us anything about him being WAB or not.
16
MS.
: Right. I can't tell you who
17
went to court.
18
MR.
: Okay. We just need to
19
get that court list.
20
MR.
: So just to clarify. Some ci
21
this list as pre-remove can come back.
22
MS.
: Can't?
23
MR.
: Can, C-A-N, they could come
24
back to the institution.
25
MS.
: If he got another charge and
EFTA00115053
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the Marshals brough him back.
2
MR.
: But - okay. So if there is
3
pre-removed, that means he's gone. He's -.
4
MS.
: He's gone.
5
MR.
: He's gone.
6
MS.
: Right.
7
MR.
: And he's not expected to
8
come back?
9
MS.
: Correct.
10
MR.
: Okay. All right. I did
11
miss that. All right. So when you list them
12
as pre-remove, he's going to court, he's not
13
expected to come back.
14
MS.
: Correct.
15
MR.
: So at 8:38, Reyes was
16
gone and not expected to return.
17
MS.
: Yes.
18
MR.
: Okay. Now, is the
19
Marshals supposed to send over a confirmation
20
that he's not coming back? Because you
21
mentioned something about them being keyed as
22
something different when they are officially
23
gone, like they're off the books.
24
MS.
: No, this would be officially
25
off the books, a pre-remove.
EFTA00115054
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MR.
: Okay.
2
MS.
: But what the question was,
3
would I know at this time, was he a WAB, I
4
would only know that if I looked at the court
5
list at that time, then I can determine that,
6
"Okay, yeah, we keyed him out that way because
7
he was leaving with all his belongings," Or,
8
"No, we keyed him out that way because we got a
9
disposition later and stated that he wasn't
10
coming back." I can't just say, just by
11
looking at this, "Oh, well, we keyed him out
12
that way because he was a WAB." Now, I can
13
look at this GCT release and this full term
14
release or this treaty transfer and tell you
15
that these were guys that were getting full
16
term release from the jail and they were not
17
coming back. But - and I can also say that
18
he's not coming back, but I can't tell you why
19
he was pre-removed. I don't know the
20
circumstances of why he was pre-removed. I
21
would have to go back to his folder, look in
22
his folder, pull up his documents of why we
23
keyed him out. I can't just say, "Oh, yeah,
24
because he left with all his belongings, oh, it
25
was a court -" - I can't -.
EFTA00115055
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1
MR.
: So you can't tell that,
2
but you can tell 8:38 he left and was not
3
expected to return.
4
MS.
: Yes.
5
MR.
: Okay. So that's
6
basically the same thing. So, anybody that
7
knew that Reyes was gone at 8:38, like he was,
8
knew very unlikely to return.
9
MS.
: Everybody don't have -
10
everybody doesn't look at this.
11
MR.
: Okay.
12
MS.
: So, if you don't have a
13
reason to look at this, you're not going to
14
look at this and everybody -.
15
MR.
: But anybody that had the
16
- whatever reason you used to code him out like
17
that, they would have had that court list and
18
they would have had the same - they would have
19
known the reason why he was leaving though,
20
correct?
21
MS.
: Right.
22
MR.
: And that he wasn't
23
expected to return?
24
MS.
: Right.
25
MR.
: So, okay. So not
EFTA00115056
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1
specifically that document, but what you used
2
to key him out, they would know.
3
MS.
: Uh-huh.
4
MR.
: so, okay. So, based upon
5
the fact that he was pre-removed by III, for
6
instance, the unit he came from, the Special
7
Housing Unit, they should have known he left
8
and was very likely not returning.
9
MS.
: They wouldn't know that. The
10
officers on the unit would not know that.
11
MR.
: Even if they had the
12
court list and that's where they're grabbing
13
him from?
14
MS.
: If the - let me tell you
15
something. I'm trying to figure out how to say
16
this. Everybody that reads a document, do not
17
know what they're reading.
18
MR.
: Okay.
19
MS.
: Everybody that pulls up
20
SENTRY, does not know how to read a SENTRY
21
document.
22
MR.
: Yeah.
23
MS.
: So I can't say, "Yes," thr -
24
they should know that or, "No."
25
MR.
: If they knew how to read
EFTA00115057
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the court list, they would know.
2
MS.
: Yes.
3
MR.
: Got you.
4
MS.
: Right.
5
MR.
: Yeah, you can't certainly
6
can't say he knew that because you don't even
7
know who we're talking about.
8
MS.
: Right.
9
MR.
: But I'm just saying, like
10
the information would have been on there if
11
they knew how to interpret it.
12
MS.
: Right.
13
MR.
: Okay.
14
MR.
: we might have covered this
15
already, but if we wanted to go back and
16
retrieve that court document, like get a copy,
17
what's the best way we can do it?
18
MS.
: You probably need to get with
19
the Marshals because they're the ones that
20
create that list that they sent to us in order
21
for production.
22
MR.
: Are you aware if they retain
23
it or not?
24
MS.
: I don't know nothing about
25
what they do with their --
EFTA00115058
LIMITED OFFICIAL USE
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MR.
: Okay.
2
MS.
: -- documents.
3
MR.
: No problem.
4
MR.
: No, well, she said that
5
it's emailed to everybody --
6
MR.
: Yeah.
7
MR.
: -- so.
8
MS.
: Uh-huh.
9
MR.
: Now, after reviewing that, do
10
you know if that daily log - if the court
11
document, the court list is used to update the
12
Lieutenant's log?
13
MS.
: There's - yeah, yeah.
14
MR.
: And the daily log.
15
MS.
: Right.
16
MR.
: Okay. We covered this. And
17
the daily log, the entries that are made on it,
18
is it made at the time that it's keyed in or is
19
it - can it be edited later?
20
MS.
: When you say "edited," what
21
do you mean?
22
MR.
: Can someone go in a couple
23
hours later and key in saying that, "Hey,
24
listen, this person left at 8:38."
25
MS.
: I don't think so because
EFTA00115059
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1
everybody that actually - you have a certain
2
time frame to key inmates in and you have a
3
certain time frame to key inmates out.
4
MR.
: And what's the time frame?
5
MS.
: If inmates - but sometimes in
6
M, we don't always get to sit down at the
7
computer right then and there and key them out,
8
because we're dealing with the Marshals,
9
they're walking out with one guy, we still have
10
somebody else we might have to strip out.
11
We're still dealing with this, we're dealing
12
with the phone. When an inmate is being
13
released, you're supposed to key them out right
14
then and there, but you have up to a minimum of
15
at least, I think it's an hour or two hours, to
16
key somebody in that's coming in the
17
institution. But, like I said, just looking at
18
this, it just tells you the time he was keyed
19
out. I don't know if he was picked up earlier
20
and already taken to the courthouse, then he
21
was keyed out, pre-removed after, I couldn't
22
I can't answer that. I don't know. It's not -
23
I can't answer that.
24
MR.
: Now thinking back about the
25
possibility that you were working in III that
EFTA00115060
LIMITED OFFICIAL USE
1
day --
2
MS.
: Uh-huh.
3
MR.
: -- do you recall if he was
4
removed or not that day and what time he was
5
removed?
6
MS.
: I don't recall. I just know
7
that when they talked about the inmate, they
8
brought up the inmate and that's when, you
9
know, we realized, "Oh, that was the guy that
10
went to court and didn't come back."
11
MR.
: Where can the daily log be
12
found or accessed?
13
MS.
: This?
14
MR.
: Yes.
15
MS.
: SENTRY.
16
MR.
: And who would have access to
17
it?
18
MS.
: Mainly everybody in the
19
institution.
20
MR.
: Everyone can access it. Can
21
everyone make the changes on it?
22
MS.
: No, you can't make changes on
23
this.
24
MR.
: Who can make changes on that?
25
MS.
: You cannot make changes to
EFTA00115061
LIMITED OFFICIAL USE
1
this.
2
MR.
: So, that is basically the
3
keyed in information.
4
MS.
: This is like a tracker.
5
MR.
: Okay.
6
MS.
: It just shows you all the
7
moves and when it was moved - when the person
8
was moved. So this, you cannot just change.
9
Only thing you can do is put in what you want.
10
It's just a log, it just pulls up a log.
11
MR.
: Okay.
12
MS.
: So this is not nothing you
13
can change, no.
14
MR.
: What about the Lieutenant's
15
log? Who would have access to that?
16
MS.
: The Lieutenants.
17
MR.
: Does anyone else have access?
18
MS.
: Maybe the Captain.
19
MR.
: Where can it be accessed
20
from?
21
MS.
: The Lieutenant's office.
22
MR.
: Can it be accessed from
23
Control?
24
MS.
: I don't know about now, but
25
at that time, no.
EFTA00115062
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1
MR.
: Okay. Do you recall if you
2
reviewed the daily log that day?
3
MS.
: No, I don't remember.
4
MR.
: And based on that, it shows
5
inmate Reyes is pre-remove. As per your
6
understanding, that means that he left the
7
institution and he's not coming back.
8
MS.
: Right.
9
MR.
: Okay. Do you utilize the
10
daily log as part of your job every day?
11
MS.
: Yes.
12
MR.
: And how do you utilize it?
13
MS.
: To make sure I key the inmate
14
out that's out of the institution. To account
15
for how many inmates I keyed out. That's what
16
I use it for in III
17
MR.
: Okay. And you're not sure
18
what shift you worked but you believe that you
19
worked in III between 8:00 and 4:00 or 12:00
20
and 8:00?
21
MS.
: 8:00 to 4:00 or maybe - I was
22
only working two shifts at that time. I'm
23
doing 12:00 to 8:00 now. But it might have
24
been 8:00 to 4:00 or 2:00 to 10:00. One of
25
those two hours. Between those two shifts.
EFTA00115063
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1
MR.
: Okay.
2
MS.
: Because at one point, I only
3
strictly worked the evening shift, so.
4
MR.
: When inmates leave through
5
III, do you normally see them leaving through
6
MI?
7
MS.
: Yes.
8
MR.
: Do you recall having a
9
conversation with Reyes at all?
10
MS.
: I couldn't tell you if I
11
spoke to that man or not. I speak to so many
12
inmates, I don't know.
13
MR.
: Well, the better question is,
14
if you (Indiscernible *00:48:06) -.
15
MS.
: I couldn't even tell you what
16
he looks like.
17
MR.
: That's my next question. So
18
you wouldn't happen to know who Reyes - what -.
19
MS.
: I would only know who he is
20
by ID-ing him, his name and his number and his
21
ID card when he comes on down.
22
MR.
: Okay.
23
MS.
: There's so many inmates in
24
here. I don't know.
25
MR.
: Now when did you become aware
EFTA00115064
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1
of Reyes being moved from the MCC? Officially
2
become aware.
3
MS.
: I think when he spoke about -
4
when they - when it was, you know, rumored that
5
the inmate, "Oh, they put him in a cell by
6
himself," and when I heard about that, you
7
know, it was like, "Oh, well, no, his actual,
8
his bunkie just didn't come back from court."
9
MR.
: When did you hear about this?
10
Was it the same day? Was it in the evening?
11
MS.
: No, it was around the time of
12
when all the commotion was going on after his
13
passing.
14
MR.
: So this is the next day.
15
MS.
: Pretty much, yeah.
16
MR.
: Do you recall if there was
17
any conversation in regards to -.
18
MR.
: What is the day of his
19
passing, the day after August 9th I think is
20
what you mean. Is that what you mean?
21
MS.
: No, like, during the time he
22
passed, you know. You know, a lot of people
23
were saying, speculating though, he was a
24
suicidal person, he was placed in a cell by
25
himself and that's when, you know, it was like,
EFTA00115065
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1
"No, well, he did have a bunkie." His cell
2
mate went out to court and that's when we all
3
became aware of, you know, who his cell mate
4
was.
5
MR.
: And what conversations
6
were had with regards to the cell mate and
7
leaving for court and not coming back at that
8
time?
9
MS.
: I don't think anyone was
10
pretty much aware that that was his cell mate
11
that didn't come back, so I don't - it was just
12
that the conversation was, "Oh, he was placed
13
in a cell by himself," That was what was
14
speculated.
15
MR.
: Now, working in III, when
16
inmates do not come back from court, does III
17
then notify custody that these people didn't
18
come back? How does that work?
19
MS.
: The Control Center tracks who
20
got keyed out. The Lieutenant, they'll track
21
who got keyed out and that's primarily it.
22
MR.
So
never contacts
23
either Control or the Housing Unit or the
24
Lieutenant saying, "Hey, these are people that
25
went out and these are people that came back.
EFTA00115066
LIMITED OFFICIAL USE
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These people are not coming back."
2
MS.
: No.
3
MR.
: So III would not have
4
notified, for instance, the SHU Saying Reyes
5
didn't come back?
6
MS.
: They would be - not unless
7
they called us to say they had a bad count or
8
they had a miscount or something or maybe the
9
inmate left to court and didn't come back, but
10
no.
11
MR.
: Okay. Because they -
12
lot of people have told us they usually get
13
calls from III saying, "Hey, this guy didn't
14
come back." That's -.
15
MS.
: There are times that we do -
16
like if an inmate has property upstairs, we
17
might say, "Hey, inmate so and so is not coming
18
back, pack up his property."
19
MR.
: Okay.
20
MS.
: There have been times, yes.
21
MR.
: But in this case, with
22
him being pre-removed, there would have been no
23
notification that would have been made by III
24
saying, "He didn't come back?"
25
MS.
: Not if we didn't need to, no.
EFTA00115067
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64
1
MR.
: No? So it would only be
2
a need be basis, not - because a lot of them
3
were saying, like, "Hey, he was pre-removed but
4
we don't know if he's actually, you know,
5
definitely removed and not coming back until
6
about 4:00 p.m.
7
MS.
: Right. That is true. And
8
not even 4:00 p.m. because there's times that
9
the judges, the courts are late. Some inmates
10
don't come back until 7:00, 8 o'clock at night.
11
MR.
: Well, they did clarify
12
that. They said, "Usually until 4:00 p.m. and
13
as late as 8:00 p.m."
14
MS.
: Right.
15
MR.
: But in those instances
16
though, III doesn't contact whomever and say,
17
"Hey, this guy didn't come back." Or is it -.
18
MS.
: The only people that would
19
keep track of that would be the Control Center
20
and the Lieutenant's office.
21
MR.
: Okay, so
22
MS.
: You know, we key them out and
23
whatever we key out, we send down to the
24
Control Center so the Control Center has a copy
25
of who was keyed out and they kind of go in the
EFTA00115068
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65
1
system and check and see if the inmates were
2
keyed out. It's like a checks and balance for
3
the institution because you might have an
4
inmate on the list showing that he left, but
5
he's not keyed out of the system. So there's
6
supposed to be like a checks and balance for us
7
upstairs as well.
8
MR.
: Okay. So, when people
9
argue that they didn't know that Reyes wasn't
10
definitely coming back, how do they determine
11
and at what point do they determine, "He's not
12
back, Epstein needs a new cell mate?"
13
MS.
: If they don't know he needs a
14
cell mate, nobody would know, nobody would -.
15
MR.
: But if they know he needs
16
a cell mate, at what point do they say, "Yeah,
17
Reyes isn't back, we need to get him a new cell
18
mate?"
19
MS.
: I couldn't tell you because
20
you don't know if that inmate - if you don't
21
know that inmate is coming back, you don't know
22
to say, "Hey, so and so needs a cell mate."
23
And if you don't know, you just don't know.
24
MR.
: Okay. So, at what point
25
should Control then at some point though call
EFTA00115069
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1
the SHU And say, "Reyes isn't coming back?"
2
MS.
: If the count is not bad, they
3
wouldn't know to call them and say - they
4
wouldn't say that, no.
5
MR.
: So the SHU very well may
6
never have been contacted or would have been
7
contacted saying, "Reyes isn't coming back,
8
consider him gone."
9
MS.
: Correct.
10
MR.
: Okay. So they would have
11
only known that based upon doing rounds and
12
counts is what you're saying?
13
MS.
: Right. But if they don't
14
know that he needs a cell mate, because I don't
15
believe there was any notification that another
16
individual had to be placed in a cell with him
17
so, nobody would know that. Even if you are
18
making rounds and counting your unit, you
19
wouldn't know that we need - if there's no
20
notification.
21
MR.
: Well, notifications were
22
made and the people are saying that they passed
23
it along to other shifts saying, "Yes, he's
24
required to have a cell mate." However,
25
they're saying, "Reyes is gone, possibly not
EFTA00115070
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1
returning. Make sure you get him a bunkie if
2
he doesn't." So it's kind of like, at what
3
point does it determine --
4
MS.
: Hm.
5
MR.
: -- when is Reyes not
6
getting a bunkie - when is Reyes not coming
7
home, coming back.
8
MS.
: Right.
9
MR.
: We've also been told by a
10
number of people though, they say, "III would
11
call us to say, `Yeah, Reyes isn't coming
12
back,'" but to you, you're saying, "No, that
13
doesn't happen. We don't call SHU, we wouldn't
14
have called them to say Reyes -."
15
MS.
: It's a possibility we could
16
have called, but then sometimes we don't call.
17
You know, if there's a miscount, there would be
18
no reason for us to call, we would just key the
19
inmate out. Sometimes they'll call us back and
20
say, "Hey, inmate so and so went out to court,
21
is he coming back?" Some units will call us
22
and ask.
23
MR.
: So they'll call you
24
rather than the other way around.
25
MS.
: Sometimes they'll call us,
EFTA00115071
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yep.
2
MR.
: All right.
3
MS.
: But the only way they'll know
4
that the inmate might - and then, because of
5
the shift change, you might have an officer
6
from these specific set of hours and then now
7
you have a new officer coming in at these
8
specific set of hours. They won't know who
9
went out to court unless they read their court
10
list or they look at their log, they probably
11
wouldn't know. And if they're doing a count
12
and their count is what it's supposed to be,
13
they won't know.
14
MR.
: So you're a very unique
15
person that we're talking to as both - has both
16
sets of knowledge with the fact that you've
17
worked with custody as well as non-custody and
18
you know how these things work when people are
19
removed. If the people in the SHU knew, and
20
let's say, let's just for this example, say
21
everybody in the SHU knows --
22
MS.
: Uh-huh.
23
MR.
: -- that Epstein is
24
required to have a cell mate. Reyes leaves at
25
8:30, he has a pre-removal. At what time do
EFTA00115072
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you believe they should have reassigned a new
2
cell mate to Epstein?
3
MS.
: Well, if they knew that he
4
was a pre-removal, then they would be trying to
5
work on that immediately as soon as possible.
6
MR.
: So if -.
7
MS.
: But that's if they knew.
8
MR.
: So if they knew, let's
9
say -.
10
MS.
: And if that was what was
11
required.
12
MR.
: Let's say the OIC
13
absolutely knows he's WAB likely --
14
MS.
: Uh-huh.
15
MR.
: -- not to return.
16
MS.
: Uh-huh.
17
MR.
: Do you believe that he
18
should have immediately then started working on
19
a new cell mate?
20
MS.
: He would notify the Lieutenant
21
know, "Hey, move -" - that's what he would do -
22
23
MR.
: And if -.
24
MS.
-- if that was what was
25
required.
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MR.
: So and if their arguments
2
are, let's say the Lieutenants and the OICs are
3
arguing, "That's premature, he could always
4
return. So we pass it on to the next shift
5
saying -."
6
MS.
: Well, it is premature if you
7
don't know that the inmate is not coming back.
8
MR.
: In this case though, if
9
he's WAB, do you believe it's still premature?
10
MS.
: No, if he is WAB, but looking
11
at this, I don't know.
12
MR.
: No, no, no.
13
MS.
: But
14
MR.
: I'm just saying
15
MS.
: Uh-huh.
16
MR.
: -- if he was WAB.
17
MS.
: If he was -.
18
MR.
: So if the OIC is saying,
19
"Yeah, he was WAB, he had his brown paper bag,
20
he had all of his stuff."
21
MS.
: Uh-huh.
22
MR.
: And so think of that as
23
let's say that's what happened.
24
MS.
: Uh-huh.
25
MR.
: At that point, do you
EFTA00115074
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1
think it's still premature or you think at time
2
it's appropriate?
3
MS.
: No, if it was - okay. If it
4
was known that this inmate was leaving and he
5
wasn't coming back and if it was known that
6
this individual needed to have someone else in
7
the cell with him, then yes, at that time, it
8
would be required to replace or move him in a
9
cell with somebody else. So, yeah.
10
MR.
: So when you're saying
11
"known" though, so, I mean, known that he's
12
WAB, so does that -.
13
MS.
: Known that he's WAB and also
14
known that this individual requires a cell mate
15
at all time, cannot be housed alone. Now,
16
there are some inmates that have to rec in cell
17
alone and there are signs on their doors and
18
there are some inmates that might be required
19
to have a cell mate. But if there's no
20
notification, and I work a unit and this is not
21
my normal unit and I'm working this unit and
22
I'm just filling in here and there and I'm
23
working and I don't know and there's nothing
24
placed on the walls that state that or on this
25
inmate's - on the door or maybe on my
EFTA00115075
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1
clipboard, I wouldn't know that.
2
MR.
: No, no, no. So what I'm
3
saying, and I'm not talking about - I think
4
you're probably specifically talking about like
5
Tova and Michael Thomas. I'm talking about in
6
the morning at 8:38 a.m., prior to that time --
7
MS.
: Uh-huh.
8
MR.
: -- they get a court list,
9
WAB, the OIC says, "Yeah, he's WAB, he's likely
10
not to return, he's got his bag, you know, I'm
11
taking him down, I'm giving him off." I know,
12
he says, "I know Epstein is required to have a
13
cell mate."
14
MS.
: Oh, well, if he knows it.
15
MR.
: But, is it a legitimate
16
argument in your opinion to say, "Placing
17
Epstein with a new cell mate is premature
18
because Reyes could return." Is that a valid
19
argument?
20
MS.
: Well, based on what you just
21
said, knowing --
22
MR.
: With WAB and with knowing
23
24
MS.
: -- knowing --
25
MR.
: -- Epstein requires,
EFTA00115076
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right.
2
MS.
: -- that he's WAB, that would
3
not be premature because he's leaving.
4
MR.
: Right.
5
MS.
: Now, if for some reason it
6
gets canceled and they say, "Hey, we're not
7
moving this inmate, we're going to move him at
8
a later time," because those things do happen.
9
His trip - he got canceled. But knowing that
10
he's going to be leaving, I don't think that
11
that would be premature, no.
12
MR.
: So if he leaves at 8:38
13
in the morning and the OIC shift ends at 2:00
14
p.m., does that - is there
15
MS.
: 4:00.
16
MR.
: -- would he know that
17
that trip got canceled? I guess the way I
18
would be asking, he knows the guy left at 8:38
19
WAS and, I guess, by that time, I would think
20
by 2:00 p.m., if a trip got canceled they would
21
know, correct?
22
MS.
: Yeah, because the inmate
23
would have went back upstairs.
24
MR.
: Right. So
25
MS.
: He would have went back to
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the unit.
2
MR.
: -- how often do inmates
3
that go WAB and their trips don't get canceled,
4
how often do those inmates actually return?
5
MS.
: Oh, they go upstairs
6
immediately.
7
MR.
: No, no, no. So I'm
8
saying, if Reyes is listed as WAB and he left
9
at 8:30 in the morning, his trip didn't get
10
canceled by 2:00 p.m. because he never came
11
back upstairs. How often do the WAB inmates
12
actually come back to the institution?
13
MS.
: It has happened with inmates
14
going on an airlift. The Marshals take inmates
15
all the way out of the institution and then
16
have to bring them all the way back. It has
17
happened.
18
MR.
: And let's say if --
19
MS.
: On occasion.
20
MR.
: -- out of 100 --
21
MS.
: I'll say -.
22
MR.
:
WABs.
23
MS.
: I'll say about, if I had to
24
count, maybe about - it's happened, it's
25
happened.
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MR.
: But I mean, does it
2
happen like very random and seldomly or does it
3
happen like, ah, one out of five times this
4
happens? Or are we talking about like one out
5
100 or one of 1,000?
6
MS.
: I'll say maybe like 10 out of
7
100.
8
MR.
: So about 10 percent of
9
the time it does happen?
10
MS.
: It has happened, yep.
11
MR.
: Okay.
12
MS.
Yep.
13
MR.
: So 10 percent of the
14
time? All right.
15
MS.
: It has happened.
16
MR.
: So then
17
MS.
: It might be something with
18
the airlift, the paperwork is not right.
19
MR.
: So then --
20
MS.
: The airlift
21
MR.
: -- with keeping that in
22
mind that 10 percent of the time that has
23
happened, then do you believe that is slightly
24
a valid argument to say, "Yeah, we know that he
25
needs a new cell mate but we don't think it's
EFTA00115079
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1
appropriate to do it in this shift, it should
2
be done on the next shift when we verify he's
3
in fact not coming back."
4
MS.
:
Yeah. I would say that is
5
appropriate.
6
MR.
: Okay.
7
MS.
: Because you don't know. You
8
just don't know. Anything is subject to
9
change. So I would say that is appropriate.
10
MR.
: Okay. Now it's different
11
with, you're saying airlift. Now we're talking
12
about pre-remove specifically --
13
MS.
:
Well, airlifts --
14
MR.
: -- for court.
15
MS.
: -- could be pre-removed.
16
MR.
: But what I'm saying is
17
MS.
: Okay.
18
MR.
: -- it's WAB because the
19
person is going to court.
20
MS.
:
Uh-huh.
21
MR.
:
Nothing to do with
22
transports getting messed up.
23
MS.
: Right.
24
MR.
:
If this inmate is WAB
25
going to court, how often do the inmates going
EFTA00115080
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to court WAB actually return?
2
MS.
: They mostly go.
3
MR.
: So is it like maybe one
4
in 100?
5
MS.
: Maybe one in 100 that might
6
have came back, but most of the time they go.
7
MR.
: So even one in 100 is
8
like, yeah, no, they're pretty much always
9
gone?
10
MS.
: Yeah.
11
MR.
: So then that argument of
12
13
MS.
: It got to be something
14
drastic that they might have come back, but
15
most of the time they go.
16
MR.
: So that argument that we
17
needed to wait until verification, that really
18
doesn't hold weight then if they know he was
19
going to court WAB.
20
MS.
: If they know he was going to
21
court WAB, yeah.
22
MR.
: Then the argument doesn't
23
hold weight?
24
MS.
: It's a catch 22 because I've
25
seen so many things that have happened that you
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1
might think somebody is gone and they bring him
2
back.
3
MR.
: Sure. But it sounds like
4
5
MS.
: He might get on that side and
6
something might come up in his paperwork where
7
they're like, "Uh-oh, we got a new case, we got
8
a new charge. Oh, we're not transferring him.
9
We got to sort this out." I mean, it has
10
happened where somebody has come back to the
11
jail, but most of the time, they do go.
12
MR.
: And it sounds like that's
13
extremely rare
14
MS.
: Yeah.
15
MR.
: -- circumstance.
16
MS.
: Uh-huh.
17
MR.
: All right.
18
MS.
: Yeah.
19
MR.
: So at that point, do you
20
think that they should have taken action
21
immediately if they knew it was WAB?
22
MR.
: WAB going to court.
23
MR.
: Going to court. Knowing the
24
fact that Epstein needed a cell mate. We know
25
Reyes left, Epstein needed a cell mate. The
EFTA00115082
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1
OIC and the SHU officers knew that he needed a
2
cell mate. Should they have taken action
3
immediately?
4
MS.
: Maybe they should have
5
notified their supervisor.
6
MR.
: Who would they have notified
7
if this -.
8
MS.
: The SHU Lieutenant and let
9
them know that, "Hey -."
10
MR.
: (Indiscernible *01:03:51)
11
no SHU Lieutenant (Indiscernible *01:03:52).
12
Should it be the Ops Lieutenant (Indiscernible
13
*01:03:55) Lieutenant?
14
MS.
: The Ops or the Acting
15
Lieutenant notify, "Hey, we got bunk inmate so
16
up with so and so, he can't be housed by
17
himself."
18
MR.
: Okay.
19
MS.
: But, like I said,
20
communication around here is not at its best.
21
MR.
: Uh-huh.
22
MS.
: So what should have happened,
23
what should have taken place, might not
24
necessarily happen because everybody doesn't
25
know everything that's going on around here.
EFTA00115083
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MR.
:
Hm.
2
MS.
: Everybody does not
3
communicate the way that they should, so you
4
might know it, but just because you know it,
5
you might assume I know it and we're working
6
together. Not necessarily true.
7
MR.
:
Sure. And yeah, we would
8
only go off of what people tell us directly --
9
MS.
: Right.
10
MR.
:
Like, "Did you know
11
this?" "Yes, I knew it." "Okay."
12
MS.
: Right.
13
MR.
:
You know, so
14
MS.
: Because it's not - like, if I
15
was working up there, that's not my normal
16
unit. If I was working up there, I would not
17
know that.
18
MR.
: Right.
19
MS.
:
You know, if I'm coming from
20
another department and that's not my steady
21
post, I would not know that.
22
MR.
:
Absolutely.
23
MS.
: So, what should happen
24
MR.
:
Yeah, and that's why
25
we're listing people like OIC, SHU Lieutenant,
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1
Ops Lieutenant, Activities Lieutenant, these
2
people that
3
MS.
: Or maybe Psychology.
4
MR.
: Right.
5
MS.
: You know, so it's hard to say
6
yes and no, but if, you know, someone knew,
7
then yes. But everybody that works in this
8
institution, we're all over the place
9
sometimes. We don't know, we don't know
10
everything about every unit. So that's the
11
unfortunate part.
12
MR.
: Do you recall anyone calling
13
III looking for the status of Reyes that day?
14
MS.
: I don't remember, no. I'm
15
not going - I don't remember that, no.
16
MR.
: What was your question?
17
MR.
: Did she recall anyone from
18
the SHU calling inquiring the status of Reyes
19
that day.
20
MR.
: All right.
21
MR.
: Do you have anything else on
22
that topic before -.
23
MR.
: I don't think so, we kind
24
of beat it.
25
MR.
: Now, you worked Control
EFTA00115085
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August 10th night?
2
MS.
: Uh-huh.
3
MR.
: As a CO in Control, when
4
would you be notified that an inmate is being
5
removed?
6
MS.
: When would I be notified --
7
MR.
: Yeah.
8
MS.
: -- that an inmate is being
9
removed?
10
MR.
: Yeah, if you're working in
11
Control.
12
MS.
: Well, that would be -.
13
MR.
: Well, she just said
14
doesn't call them to tell them.
15
MS.
: No, we give them - we send
16
them paperwork. So, you have a Control two
17
number person in the Control Center that
18
verifies our key out moves against our
19
paperwork we send them. So this is what the
20
Control Center would use as well to track --
21
MR.
: A daily log?
22
MS.
-- to track the moves and
23
make sure that these individuals are keyed out.
24
So, now as a Control Center Officer, you might
25
call as the number two, I mean, I said the
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1
number one because the number two person does
2
it. The number two person, which is an
3
accounts and assignment person, they would call
4
- this is primarily on day watch and evening
5
watch because there's no movement on morning
6
watch, not unless it's an emergency, but you're
7
not moving nobody on morning watch. So on day
8
watch and evening watch, if you see that
9
inmates were moved around or a counselor calls
10
you in Control and say, "Hey, I'm moving inmate
11
so and so from this unit to this unit," then as
12
a Control Center Officer, what I would do, I'm
13
not going to say what everybody else would do,
14
I would call over the radio, "Hey, unit
15
officers, if you lost an inmate or you gained
16
an inmate, call Control and verify your base
17
count." And I would say - they would say, "Oh,
18
inmate so and so left and I have 87." Or, they
19
might give me a wrong count. I'm like, "No,
20
that's bad, you need to check your base count,
21
verify who left the unit." But that's what I
22
would do. But most often times, the Control
23
Center Officer would look at this and see who's
24
moved and verify it with an E-1 and make sure
25
everything is accurate.
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1
MR.
: So once they are notified,
2
what would the Control Officer update that you
3
wanted?
4
MS.
: We have what we call the
5
running board. So, with a running board, you
6
have the starting base of one unit and then the
7
ending base of the unit. So if an inmate went
8
out to the hospital, might have been 86, he
9
went out to hospital, 87, he came - I mean, 85,
10
he came back now, his base is back to 86. So,
11
it would be -.
12
MR.
: Nothing like this. This is
13
the --
14
MS.
: Uh-huh. Yeah.
15
MR.
: This is the E-1 document, is
16
this what you're talking about?
17
MS.
: Uh-huh. No, that's an E-1,
18
I'm talking about a running board. It's just a
19
dummy document we create just to track all the
20
moves to like a paper to just verify the counts
21
22
MR.
: Okay.
23
MS.
-- basically checks and
24
balance. So like, if I see that this inmate
25
was moved from five, he was pre-remove, and
EFTA00115088
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that unit count was 85, I would just write,
2
"Inmate pre-removed," and I would have a paper
3
log of what that unit count should be.
4
MR.
: Okay.
5
MS.
: Because even my paper log
6
might be accurate but my computer log might be
7
wrong because this person might not have keyed
8
the inmate out.
9
MR.
: So, let's talk about that.
10
Has there been situations where inmates get
11
moved around and not get keyed out?
12
MS.
: Yeah. That has happened.
13
MR.
: How does that happen? Isn't
14
there balance and checks to make sure that
15
nothing like that happens?
16
MS.
: There are supposed to be
17
balance and checks, yes. But sometimes people
18
move inmates and they fail to report to maybe
19
the officer or they fail to notify the Control,
20
"I'm moving inmate from this unit to this
21
unit," or something might happen on a unit, an
22
inmate might get locked up and you're in the
23
Control Center, you know, you're doing whatever
24
you hear, an emergency on a unit, you don't
25
know what's going on, you don't know if the
EFTA00115089
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1
inmate is going out to the hospital until
2
somebody actually physically calls you and say,
3
"Hey, I've got an inmate that's locked up
4
(Indiscernible *01:10:14)," or if you're not
5
looking at the camera, you see them moving this
6
inmate from this unit and walking him into SHU
7
and you'll call that unit, "Hey, you got one
8
locked - who got locked up?" You might call
9
the Unit Officer and ask those questions. So,
10
it has happened.
11
MR.
: Whose responsibility would it
12
be if they're moving an inmate, to key it in?
13
MS.
: To key it in? Depending on
14
what type of move it is. If it's a unit to
15
unit move, that would be the Unit Management,
16
Unit Team. If an inmate is getting locked up
17
from the unit and going to SHU, the Control
18
Center Officer might move that unit, move that
19
inmate from the unit to SHU or SHU might key
20
that inmate into SHU. So, it just depends who
21
does it.
22
MR.
: So, and it can be one of
23
those things that in a situation, let's say an
24
inmate gets moved. The SHU Officer can be
25
like, "Ah, no Control will do it." And Control
EFTA00115090
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1
Lieutenant will be like, "No, the SHU will do
2
it." Is it one person that's actually
3
responsible to make sure that it gets keyed in?
4
MS.
: Well, a lot of times things
5
happen. Like I said, around here, you might
6
have a Lieutenant go to a unit and then walk an
7
inmate out and the inmate gets locked up. Or
8
you might have an inmate that's suicidal and he
9
gets placed on suicide watch so now he's not in
10
the unit, he's in suicide watch. Or you might
11
have an inmate that was taken off of suicide
12
watch, might be put in a housing unit or SHU,
13
you don't know unless somebody notifies you
14
because when you're in the Control, you're
15
answering phones, you're looking at a keypad,
16
you might be looking up and down but you're not
17
constantly on the camera so you won't know
18
unless somebody actually notifies you and say,
19
"Hey, we're moving inmate so and so." So, a
20
lot of times, you just have to - if you got an
21
inmate that you received a new inmate, call
22
Control, verify your base because you won't
23
always know everything.
24
MR.
: So you're saying it should
25
have been on the SHU Officer to make sure that,
EFTA00115091
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1
"Hey, listen, this inmate is being moved." Did
2
she even notify Control, "Hey, listen."
3
MS.
: If the officer of a unit
4
knows that his inmate got locked up, he's
5
supposed to be calling Control saying, "I've
6
got an inmate that's locked up, he went to
7
SHU." SHU now needs to be calling Control,
8
"Hey, I got one, so and so on my base count."
9
Everybody is supposed to be calling.
10
MR.
: Okay.
11
MS.
: Everybody should be calling,
12
not just -.
13
MR.
: But you did just say
14
though that they - like for instance, SHU. SHU
15
can call Control and say, "Hey, I just want to
16
verify my base, what do you got?"
17
MS.
: No, they wouldn't say, "I
18
want to verify my base, what do you got?" You
19
would say, "I want to verify my base, I have
20
87." And then Control would say, "No, that's
21
good, no, that's bad."
22
MR.
: Okay.
23
MS.
: So now, as the officer, what
24
I would do, I would go around counting my
25
inmates in my unit and I would look at my
EFTA00115092
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roster and see who went out to court. But
2
that's what I would do.
3
MR.
: Sure.
4
MS.
: I can't say what everybody
5
else would do.
6
MR.
: Yeah, no, and trust me,
7
we've talked to a lot of people and everybody
8
does things differently.
9
MS.
: Yes. So.
10
MR.
: That's why we're trying
11
to figure out --
12
MS.
: I like knowing --
13
MR.
: -- should they -.
14
MS.
-- what I need to know on my
15
unit. I'm just nosy like that.
16
MR.
: Yeah, yeah.
17
MS.
: So, I want to know what's
18
going on, who is in my unit, who is coming out
19
of my unit, you know, so, I'm verifying my
20
stuff on my own.
21
MR.
: Okay. No, that's a good
22
way to do it. So, are you aware of though
23
anybody calling, for instance, Control and
24
getting control? Somehow, however crafty that
25
they use their wordings to actually give them
EFTA00115093
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the base count?
2
MS.
: I've never heard.
3
MR.
: No?
4
MS.
: Not that I know of. Not that
5
I know of. I'm not going to say it hasn't
6
happened, but I don't know.
7
MR.
: Right, right.
8
MR.
: I'm going to show you some
9
documents. Before that, any document that I
10
show you, I'm going to ask you to initial and
11
date on top.
12
MS.
: Uh-huh.
13
MR.
: You're not attesting to it,
14
it's just to show that that's a document that
15
we --
16
MS.
: Okay.
17
MR.
: -- showed you.
18
MS.
: Right here?
19
MR.
: Yeah. Just anywhere on top
20
is fine. 7/15/21.
21
MS.
: I want to work with you guys.
22
MR.
: Well, it sounds like you
23
got the qualification with those degrees. And
24
with the knowledge, we do a ton of BOP stuff.
25
MR.
: This one too. Just the top.
EFTA00115094
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MS.
: It's got to be off the
2
record.
3
MR.
: So, are you familiar with the
4
E-ls? Control documents? The first one that
5
I'm going to show you is this would be for
6
August 9th at 5:00 a.m.
7
MS.
: Uh-huh.
8
MR.
: Right? This is the E-1
9
document controlling - Control document. The
10
SHU shows 77 inmates.
11
MS.
: Uh-huh.
12
MR.
: Now, I'm going to show you
13
the daily log. Are you aware of the
14
Lieutenant's log?
15
MS.
: Uh-huh.
16
MR.
: Inmate movements?
17
MS.
: Uh-huh.
18
MR.
: Okay. Now this is the day
19
watch, document is the day watch Lieutenant's
20
log for August 9th. We can start off, we'll
21
look at the inmate movements, it shows that -.
22
MR.
: You need to start at 77
23
to match up with that --
24
MR.
: Yeah.
25
MR.
:
5:00 a.m.
EFTA00115095
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1
MR.
: So, it says 77 at the 5:00
2
a.m.
3
MS.
:
Uh-huh.
4
MR.
: It matches up --
5
MS.
:
Uh-huh.
6
MR.
: -- at 77, when they did the
7
count at 8:00 a.m.
8
MS.
:
Uh-huh.
9
MR.
: It's still at 77 with five in
10
(Indiscernible *01:15:25).
11
MS.
:
Uh-huh.
12
MR.
: Now, this shows at 8:38 a.m.,
13
we can see Reyes was removed.
14
MS.
:
Uh-huh.
15
MR.
: Right? Pre-remove?
16
MS.
:
Uh-huh.
17
MR.
: The count comes down to
18
MS.
: Uh-huh.
19
MR.
-- 76. Now the next movement
20
out of the SHU that we see is at 3:15 p.m. It
21
says, "Inmate Fernandez."
22
MS.
: Uh-huh. Wait a minute. He
23
MR.
: So, yes, there is a
24
MS.
: Placed on dry cell.
25
MR.
-- confusion on that.
EFTA00115096
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MS.
: Placed on dry cell from SHU?
2
MR.
: Yeah. So let's look at the -
3
so, where do you (Indiscernible *01:15:58)
4
understand, where is the dry cell?
5
MS.
: I thought it was in SHU.
6
MR.
: Okay. So let's look at the
7
statement up here. On top it says, "Inmate
8
Fernandez on dry cell with staff watch and
9
10
MS.
: Okay.
11
MR.
: Does that clarify it for you?
12
MS.
: Okay, okay.
13
MR.
: Okay.
14
MS.
: Uh-huh.
15
MR.
: So at this point, inmate
16
Fernandez is removed and the count comes down
17
to --
18
MS.
: Uh-huh.
19
MR.
:
75.
20
MS.
: Uh-huh.
21
MR.
: Okay. Now we're looking at
22
the 5:00 p.m. count for August 9th.
23
MR.
: 4:00 p.m.
24
MR.
: Or 4:00 p.m., sorry.
25
MS.
: Uh-huh.
EFTA00115097
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1
MR.
: 4:00 p.m. count for August
2
9th.
3
MS.
:
Uh-huh.
4
MR.
: Right. It shows 76 --
5
MS.
: Uh-huh.
6
MR.
: -- starting. Reyes is
7
removed, right? Reyes is removed. Epstein is
8
sitting in attorney conference?
9
MS.
:
Uh-huh. Yes, that's right
10
here.
11
MR.
: Right here? And inmate
12
Fernandez is removed.
13
MS.
:
Uh-huh.
14
MR.
: But it still shows 75. It
15
should have been 74.
16
MS.
:
Uh-huh. This is - they got
17
76. This is 4 o'clock. Did they say
18
something?
19
MR.
: And this is removed inmate.
20
MR.
: Keep on showing her the
21
other one though
22
MR.
:
Yeah.
23
MR.
: -- because that's not
24
really that --
25
MR.
:
Give me Fernando's.
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1
MR.
: -- that's not really that
2
eye opening because that's 3:15 to 4:00. Now
3
show her the 10:00 p.m. and the midnight count.
4
MR.
: The next one is over here
5
too, there's some inmates that moved in and
6
out. Now let's go to the 10:00 p.m. count.
7
MS.
: Uh-huh.
8
MR.
: And go over the inmates
9
that - so you can follow the numbers.
10
MR.
: So just look at -.
11
MS.
: Pull my chair closer so I can
12
see that.
13
MR.
: Yeah. Is that better?
14
MS.
: Yeah.
15
MR.
: Now, this is the evening
16
watch document. The other sheet now if you
17
start looking at inmate Hemmingway, 6:34 p.m.,
18
he's removed from the SHU, goes to ES.
19
MS.
: Uh-huh.
20
MR.
: Right? And the next one is
21
inmate Reed gets moved from ZA to GS.
22
MS.
: Uh-huh.
23
MR.
: So, now we lost two more
24
inmates, that's 73.
25
MS.
: Uh-huh.
EFTA00115099
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1
MR.
: Then we gain two inmates, the
2
SHU gains two inmates, 8:21, Felix and Williams
3
from ZA to suicide watch in the SHU.
4
MS.
:
Uh-huh.
5
MR.
: Right?
6
MS.
: Wait a minute. From ZA
7
MR.
: Sorry, sorry.
8
MS.
: No, so he came from SHU.
9
MR.
:
From SHU to suicide watch, so
10
now we are down to 71.
11
MS.
:
Uh-huh.
12
MR.
: Right? And then, we have
13
Garcia.
14
MS.
:
Wait, I'm sorry. Hold on.
15
This is 70, that's one, that's another one,
16
(Indiscernible *01:18:24), okay, that's III.
17
One, two - okay, I see why it's two. Okay,
18
that's two, right?
19
MR.
: That's two. And then, you
20
see -.
21
MS.
: So it's the suicide watch,
22
right?
23
MR.
:
Yeah. And you see one inmate
24
was gained --
25
MS.
:
Uh-huh.
EFTA00115100
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MR.
: -- Garcia Pena's moved over.
2
MS.
: Uh-huh.
3
MR.
: I'm going to show you the
4
10:00 p.m. count.
5
MS.
: Uh-huh.
6
MR.
: The 10:00 p.m. count on the
7
E-1, what does that show?
8
MS.
: 73.
9
MR.
: Okay. On the last couple of
10
pages, can you find the one for ZA? ZA would
11
be the SHU, right, the count slip?
12
MS.
: Uh-huh.
13
MR.
: What does it show?
14
MS.
: 73 at 10:00. Uh-huh.
15
MR.
: But 73 what?
16
MS.
: Plus one.
17
MR.
: What does that plus one mean?
18
MS.
: That means somebody was
19
there, plus one. So it's somebody that's there
20
but he's, I guess he's not accounted for but
21
he's there.
22
MR.
: But can you, by looking at
23
this document, can you figure out who that is?
24
MR.
: So does that mean, what
25
you're saying is 73 plus one is actually 74
EFTA00115101
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that they're thinking that's in there?
2
MS.
: Uh-huh. Not unless - well,
3
normally what it is, is -.
4
MR.
: Before you start asking
5
that that question, just show her the other
6
thing so that she's not going to try to figure
7
this out backwards. Let her reverse engineer
8
it.
9
MR.
: Okay.
10
MR.
: And then explain to her
11
what happened and then let her answer those
12
questions.
13
MR.
: I'm going to show you the
14
12:00 p.m. count too. This is 12:00 a.m.
15
count, there's August 10th --
16
MS.
: Uh-huh.
17
MR.
: 12:00 a.m. count. Now, were
18
you working in Control at that time?
19
MR.
: That was when
20
you said the --
21
MR. -:
22
MR.
:
Ops Lieutenant
23
actually took the count, but you were on duty
24
at that time.
25
MR.
: Do you recall that at all?
EFTA00115102
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MS.
: I don't remember at the
2
moment, but I know I worked in Control that
3
day. I know she came in there and she took one
4
count.
5
MR.
: Were you present when she
6
took that count?
7
MR.
: I think you start at
8
12:00 a.m. in Control, right?
9
MS.
: Uh-huh.
10
MR.
: You're 12:00 a.m.
11
MR.
: 12:00 a.m. until -.
12
MS.
: Yeah.
13
MR.
: So, on this one
14
MR.
: So by looking at that,
15
can you tell who it was that took the count?
16
That's the E-1.
17
MS.
: That's somebody's signature.
18
That's not - that's somebody else. That might
19
be her signature.
20
MR.
21
MS.
: Uh-huh. It might be her
22
signature, but that's not --
23
MR.
: So we can tell you
24
MS.
: -- the person that prepared
25
it.
EFTA00115103
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1
MR.
took
2
that count. We'll just let you - so she took
3
the count.
4
MS.
Uh-huh.
5
MR.
: Do you remember being
6
present that day when she was there taking the
7
count?
8
MS.
: I was present, yes.
9
MR.
: All right. Now show her
10
the numbers verse what the counts looks at.
11
MR.
: So, E-1 shows 72.
12
MS.
: Uh-huh.
13
MR.
: What does the ZA show?
14
MS.
: 73.
15
MR.
: You see a discrepancy?
16
MS.
: Uh-huh.
17
MR.
: Is that a good count to you?
18
MS.
: Huh-uh.
19
MR.
: Do you recall
20
mentioning the fact that there was a
21
discrepancy in the count?
22
MS.
: I don't recall any of that,
23
no.
24
MR.
: Do you recall her -.
25
MS.
: Because I didn't prepare the
EFTA00115104
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1
count, so, I didn't - if I'm the Control
2
Officer, I'm Control one, so my second body is
3
the one that's preparing the counts and taking
4
the counts and viewing the count slips with the
5
Lieutenant is not there. I'm in charge of the
6
radios, they keys, you know, like a count and
7
making sure that all my equipment is accounted
8
for, letting staff know, "Hey, we're on duty."
9
We got to do a PREA-announcement and going over
10
equipment and stuff, all those type of things,
11
so no, I didn't - I wouldn't be aware of this
12
if I didn't prepare it, no.
13
MR.
: So what happened? Was
14
figured out - and this is where
15
we were hoping you can help us a little bit.
16
And she figured out that Fernandez, who was
17
placed on dry cell at 3:15, was never keyed out
18
of the SHU.
19
MS.
: Ah.
20
MR.
: However, they're still
21
reporting - because he was never keyed out,
22
they're still reporting 73, 73, 73 --
23
MS.
: Uh-huh.
24
MR.
: -- although there's only
25
72 inmates in the SHU.
EFTA00115105
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1
MS.
: Uh-huh.
2
MR.
somehow
3
figures out, you guys don't have 73, you've got
4
72 and then either she or someone in Control or
5
whomever, keys him out.
6
MS.
: Uh-huh.
7
MR.
: And so what we want to
8
know is do you remember that happening or the
9
circumstances around that?
10
MS.
: No.
11
MR.
: No, you don't? Does this
12
tell you anything about if these counts were
13
conducted? The 4:00 p.m. and the 10:00 p.m.
14
and the 12:00 a.m.?
15
MS.
: This just shows that this was
16
conducted.
17
MR.
: No, not the E-ls, the
18
counts in the SHU.
19
MR.
: Count slips. If the counts
20
were wrong.
21
MR.
: So all of them are saying
22
73 all though there's only 72 people.
23
Fernandez leaves at 3:15. So knowing that you
24
work in SHU, you work in III
25
MS.
: Uh-huh.
EFTA00115106
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1
MR.
: -- and also you can look
2
at the -.
3
MS.
: Well -.
4
MR.
: So these III slips show
5
that there's one person in there.
6
MS.
: Uh-huh.
7
MR.
: Although -
8
MS.
: This is 9 -.
9
MR.
: Nine south.
10
MR.
: So what does that mean? So
11
so on this here, the midnight one, right?
12
MR.
: And also, just please
13
take note of the checks that are all over them.
14
There's no checks on these two. So, and that's
15
the 10:00 p.m. we're looking at. So, we're
16
just trying to piece this thing together.
17
MS.
: Normally, I'm just going to,
18
for my experience, when I've had to plus a one,
19
it's because it's a WITSEC inmate that we could
20
not key in because only certain individuals
21
have the authority and capacity to key those
22
individuals in. So, if I got an inmate in SHU
23
that's a WITSEC and staff can't key him in
24
until maybe the Unit Manager of the WITSEC Unit
25
comes in and keys him in or whatever unit team
EFTA00115107
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of the WITSEC Unit, we would plus that one
2
because that would show that that's the body
3
that's there that we cannot account for but
4
he's there. That would have - I don't know
5
what this is.
6
MR.
: Do you recognize whose
7
handwriting that is? The 9S plus one?
8
MS.
: No.
9
MR.
: Okay.
10
MR.
: Do you know if it's yours
11
by chance?
12
MS.
: No, that's -.
13
MR.
: Definitely not yours? My
14
assumption is that was written at midnight, but
15
we still can't figure it out. That's what
16
we're still trying to figure out. We would
17
have thought that the plus one stuff would have
18
happened at the 10:00 p.m. count since we
19
believe that that's when Reyes was keyed in.
20
he was keyed in on the 10th for the 9th because
21
- not Reyes, I'm sorry, Fernandez.
22
MS.
: Normally, when a Lieutenant
23
checks off the slips, it's because they're
24
verifying that it's the unit, it's the accurate
25
count, it's the accurate date, time and staff
EFTA00115108
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1
signature print of two staff members. That's
2
normally how Lieutenant would mark off a count
3
slip to verify that -.
4
MR.
: I want to show - so does -.
5
MR.
: Is that telling to you at
6
all that the fact that these aren't checked
7
off?
8
MS.
: I don't know why they aren't
9
checked off. I couldn't tell you why, I don't
10
know.
11
MR.
: But those plus ones,
12
aside from possibly a WITSEC type of thing,
13
would that make sense with whether it would be
14
a plus one on III and a plus one though on ZA?
15
MS.
: Minus - not unless there -
16
the only thing I can gather is that they're
17
saying that this plus one is the inmate that's
18
still keyed to SHU but is sitting in III
19
That's the only thing -.
20
MR.
: And that would be my
21
assumption too. IS that they're saying there's
22
73 bodies in SHU plus one who's actually in
23
24
MS.
: Right.
25
MR.
: But that 73 is still off
EFTA00115109
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1
so I guess what the question would be is, the
2
fact that they're using the number that Control
3
has, although they only have 72 in their actual
4
housing unit.
5
MS.
: Can I just --
6
MR.
: Absolutely.
7
MS.
read this again.
8
MR.
: It also tells us that -
9
or I won't say what it tells us, but I just
10
want to know what it tells you.
11
MR.
: Which one do you need?
12
MS.
: Yeah, I don't see -.
13
MR.
: It's the midnight one.
14
MS.
: Okay, now you had gave me -
15
you had another log.
16
MR.
: The 5:00 p
17
MS.
: Didn't you have two logs?
18
MR.
: So there was another one, but
19
that's -.
20
MR.
: There's the August 10th
21
log. Okay.
22
MR.
: But I didn't show you the
23
August 10th.
24
MS.
: No, you showed me something
25
with Lieutenant Perez.
EFTA00115110
LIMITED OFFICIAL USE
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1
MR.
: I know, that's in one
2
MS.
: Oh.
3
MR.
: -- but this is evening watch.
4
MS.
: Oh, okay.
5
MR.
: This -.
6
MS.
: Oh, that's the same. Okay.
7
MR.
: Yeah. So -.
8
MS.
: All right. I just want to -.
9
MR.
: There's a day watch and
10
night.
11
MR.
: You sure, you're getting
12
awful close.
13
MR.
: I'm okay. Unless she says I
14
need it.
15
MR.
: Would you like a piece?
16
MS.
: Okay, so his ending was 72
17
and he has this guy up here and this is 10
18
o'clock. This is the 9:00.
19
MR.
: So you want the 10:00 p.m.
20
count?
21
MS.
: Yeah.
22
MR.
: Here's the 10:00 p.m. count.
23
MS.
: Okay. So this is the 10
24
o'clock count. Okay, so, he's not keyed into
25
III. So, this is where your plus one is. So
EFTA00115111
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he's still showing in Special Housing but he's
2
in III during the 10 o'clock count. So this is
3
what makes your 73. This is the 10 o'clock?
4
MR.
: But is that also weird
5
though that this count cleared with an III
6
slip.
1 that's never checked off. There's
7
nothing on the E-1 for III?
8
MS.
: Hm, okay this is acting on
9
way before clock one.
10
MR.
: Before clock one, the one
11
we initially showed you where
12
MS.
: Okay.
13
MR.
: -- he's also never keyed
14
in. And it is our belief, per the person who
15
said that they keyed him in, it was done after
16
midnight.
17
MS.
: Hm.
18
MR.
: Are you allowed to count an
19
inmate that you can't see?
20
MS.
: No.
21
MR.
: If inmate Fernandez was moved
22
from the SHU at 3:15 p.m., who should have
23
counted him as part of their count slip?
24
MS.
: At 3:15?
25
MR.
: Yeah, he was moved at 3:15
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109
1
and the 4:00 p.m. count was a SHU that should
2
have counted him on the count slip or was it
3
supposed to be III?
4
MS.
: Well, to be honest with you,
5
because I work in III and I'm going to tell you
6
what goes on, they drop inmates in there and
7
they don't - a lot of the times, staff - that's
8
why now we tell them, "Tell us what you're
9
bringing inmates down here for." Because they
10
would bring an inmate down and place that
11
inmate in a cell. You won't know because
12
you're busy dealing with the Marshals, you're
13
dealing whatever movement you have going on in
14
III and you won't know that they brought an
15
inmate down in a cell. So, it could work both
16
ways that, you know, maybe they figured they
17
were just going to place him down there, keep
18
him down there and then maybe bring him back
19
upstairs. So, it could have been a number of
20
things, but I just know from experience,
21
inmates have been brought into my III that we
22
weren't aware of and we realized, walking
23
around III, "Yeah, we got an inmate in here."
24
"What is he down here for?" So -.
25
MR.
: So this, for me
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personally, the E-1 isn't as concerning on the
2
4:00 p.m., although
3
MS.
: Uh-huh.
4
MR.
: -- the count slip is.
5
Because the R&- it was so close to the 4:00
6
p.m. count. It's --
7
MS.
: So -.
8
MR.
: -- to the 10:00, this is
9
where I start getting like -.
10
MS.
: So, on -.
11
MR.
: Because there is no III
12
count slip although there's an III count slip
13
in this one that's never checked off, but it
14
also has no E-1 notification. So that -.
15
MS.
: And -.
16
MR.
: And to me, it seems like
17
the count slips were created after the fact or
18
manipulated or deleted or something, I don't
19
know.
20
MS.
: I don't know neither.
21
MR.
: So let
22
MS.
: Okay.
23
MR.
: As he mentions
24
MS.
: Wait a minute. I just want
25
to see. So at 4 o'clock they had 75.
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MR.
: But technically at that
2
point, they were missing three inmates. Reyes
3
had gone, Fernandez was moved and Epstein was
4
sitting in attorney conference.
5
MR.
: Yeah. And it doesn't -.
6
MS.
: Well -.
7
MR.
: For which
8
MS.
: Okay, but where's attorney
9
conference? Oh, here it is. So, this is
10
attorney conference right here. This is the
11
counselor for attorney conference.
12
MR.
: That would say, SATTY on top.
13
Okay.
14
MS.
: Yes. So this is attorney
15
conference.
16
MR.
: Right, that's the one.
17
MS.
: This is all the inmates out
18
to court with Southern District. Is it?
19
MR.
: So yeah, physically
20
present --
21
MS.
: So -.
22
MR.
: -- in the SHU at 4:00 was
23
the 75 although --
24
MS.
: Right.
25
MR.
:
I mean 74.
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MS.
: Not (Indiscernible
2
*01:33:26).
3
MR.
: Although they reported 75
4
because Fernandez --
5
MS.
: Okay, well you --
6
MR.
: -- was (Indiscernible
7
*01:33:31).
8
MS.
: -- Epstein accounted for in
9
attorney conference. But this is an out count.
10
MR.
: Correct.
11
MS.
: And he's keyed on the out
12
count and this is what shows where he is
13
actually sitting in key two at that time so
14
this shows that he's in attorney conference.
15
MR.
: Right.
16
MS.
: Because he's keyed out on the
17
out count to attorney conference. And what i
18
was expressing to you guys earlier about the
19
courts, how we used to do it, (Indiscernible
20
*01:34:01) maybe it's a couple (Indiscernible
21
*01:34:02). Okay, this is what we used to do
22
in III as far as the out count. So, this would
23
say the inmate out to court, name, register
24
number, what unit and cell he came from and how
25
many from whatever his unit is. So if we had
EFTA00115116
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three out from that unit to court, it would be
2
three or whatever, however many numbers and
3
this is how we would - this is what would show
4
in the system that the inmate went out to court
5
that day.
6
MR.
: And that's an inmate you're
7
expecting back?
8
MS.
: Right.
9
MR.
: So if Reyes is not on there,
10
does that mean that Reyes is gone and you're
11
not expecting him back?
12
MS.
: Well, if he was keyed out at
13
8 - what did that say, 8:33?
14
MR.
: 8:38, yeah.
15
MS.
: Then he wouldn't show up on
16
this as an out count because that means he's
17
keyed out.
18
MR.
: He's gone, okay.
19
MS.
: Right. So -.
20
MR.
: So people that are going
21
to court that are expected to come back would
22
be on that sheet.
23
MS.
: Right. But we don't -
24
MR.
: But Reyes was not
25
expected to come back.
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MS.
: Right. And from the looks of
2
this, I didn't work that shift. That wasn't my
3
shift.
4
MR.
: Yeah, no, and we didn't
5
believe it was. We're -.
6
MR.
: You might have left
7
beforehand?
8
MS.
: I might have left - this
9
might have been the day shift and I might have
10
worked the evening shift, so I might have
11
worked - I don't even know. But I just know
12
that I wasn't dealing with the courts, the
13
movement at that time, just from looking at the
14
out count.
15
MR.
: Okay. So now that we know
16
that the count was off over here and that the
17
10:00 p.m. count, according to the Lieutenant's
18
log, says 72, but 10:00 p.m. says 73 plus one -
19
20
MS.
: Uh-huh.
21
MR.
-- right, and now
22
actually is reporting that there is an inmate
23
in there
24
MS.
: Uh-huh.
25
MR.
: -- except they're still
EFTA00115118
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reporting 73 plus one.
2
MS.
: Uh-huh.
3
MR.
: And then at midnight - where
4
is the - midnight it says 72 over here and the
5
count slip shows 73. What does that tell you
6
about the counts that were done in the SHU?
7
MR.
: What he's asking, if
8
there's only 72 people in there and they're
9
reporting 73 and it just so happened to
10
coincide. And this one - and you need to know
11
that background information.
12
MS.
: Okay, so this is what -
13
MR.
: They reported 73 and the
14
Ops Lieutenant who took the count, found out it
15
was actually only 72, made the change and
16
changed Reye- and keyed Fernandez out.
17
MS.
: Okay.
18
MR.
: So what
is asking
19
you is the fact that they reported 73 on all
20
these, does that indicate anything to you about
21
the counts if they were done or were they not
22
done?
23
MS.
: Yeah, this looks like someone
24
wasn't paying attention because this - what
25
does this look like to you?
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MR.
: Well, that's what I was
2
going to ask. What is RA? That -.
3
MS.
: RA is where that guy was
4
sitting at on dry cell.
5
MR.
Is that III?
6
MS.
: Yes. So he was - so, because
7
it's now the 12 o'clock count and it's prior to
8
the count, they can go ahead and key him in
9
where he's actually assigned. So it seems that
10
during the 10 o'clock count, he was still keyed
11
to SHU so, what was it, plus one or something?
12
So now at 12 o'clock, because he wasn't keyed
13
there at 10 o'clock, they keyed him there now
14
before the 12 o'clock count which is correct
15
and accurate and what they should have done,
16
but now he's plus one - he's here where he
17
should be where he stated on this notification,
18
right, so that's accurate. But, if he's no
19
longer here, they should have been putting
20
what's here.
21
MR.
: Right.
22
MS.
: Because he's not plus one up
23
there no more.
24
MR.
: Yeah. So this one is
25
clearly that they're off. These guys though,
EFTA00115120
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are still even with that 73 plus one, it should
2
have been 72 plus one if they're trying to say,
3
"We got one outside." It shouldn't be 73 plus
4
one. They're utilizing the same number it
5
looks like on the E-1. Somehow it seems that
6
they had that number, that base count number
7
and they knew, "We need - this is the number we
8
need to report, but also we got a plus one over
9
in
n
10
MS.
: Right
11
MR.
: So they're still off on
12
their count. Does that indicate to you that
13
they didn't actually conduct the count, they
14
just used the number that they thought they
15
were supposed to report?
16
MS.
: It doesn't indicate that they
17
didn't count.
18
MR.
: Because if they counted -
19
20
MS.
: I -.
21
MR.
: -- wouldn't they have the
22
right number?
23
MS.
: Sometimes you can count stuff
24
25
MR.
: But wouldn't it be really
EFTA00115121
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coincidental if they miscount at the exact
2
number that they were supposed to actually
3
provide? They definitely miscounted, but
4
there's 72 people in there and they just happen
5
to miscount exactly what the E-1 shows that
6
they were supposed to count.
7
MS.
: Yeah.
8
MR.
: It's coincidences and the
9
fact that it happened twice in a row, what does
10
that tell you?
11
MR.
: No, three times in a row.
12
MR.
: Three times.
13
MR.
: 4:00 p.m.
14
MR.
: That's right.
15
MR.
: -- 10:00 p.m. and 12:00
16
a.m.
17
MS.
: I'm not going to answer that.
18
MR.
: Well, based on your
19
experience, right? You're experience of
20
working in Control, working in III, what do you
21
think happened? Do you think that they did the
22
count or not?
23
MS.
: I'm not going to answer that
24
one.
25
MR.
: How would have they
EFTA00115122
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gotten that number that they were supposed to
2
report?
3
MS.
: By probably just looking in
4
their log and seeing, "Okay, when you take over
5
my post, oh, we got 72 guys. One is in III but
6
they still got him keyed to our unit." Based
7
on maybe what someone told them.
8
MR.
: And when you worked in
9
the unit at midnight, do you remember this
10
being an issue at all? Because this is where
11
we're told the Ops Lieutenant who took the
12
count,
, she --
13
MS.
: She had -.
14
MR.
: -- had to run around and
15
try to figure this thing out. She's the one
16
who had to like come in and say like, "Okay,
17
where - who's what, where and I can verify
18
this." Do you remember that at all?
19
MS.
: No.
20
MR.
: Do you remember any
21
telephone calls with the SHU saying, "You got a
22
bad count, you got to recount?"
23
MS.
: No, if she's taking the
24
count, I let her deal with it. I don't - I
25
work on whatever else.
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MR.
: Okay. So you're not
2
actually involved with her while she's doing
3
it?
4
MS.
: No.
5
MR.
: Okay. And you wouldn't
6
have been, being that you came from III, you
7
wouldn't have been the person that she said,
8
"Can you verify with III that this person is
9
there?"
10
MS.
: If she asks me and that's
11
what I did then, but I don't recall that.
12
MR.
: You don't recall --
13
MS.
: I don't know anything about
14
that.
15
MR.
: -- doing that? Okay.
16
MS.
Huh-uh.
17
MR.
: You don't remember at all
18
though in that specific - you do - did you
19
recall her being there at all?
20
MS.
: Yeah, she was there.
21
MR.
: So you remember her being
22
in Control Center?
23
MS.
: Uh-huh.
24
MR.
: And you -.
25
MS.
: Because she also made rounds
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on the units. She walked around the
2
institution.
3
MR.
: All right. And then as
4
far as being keyed in and out, so I guess it's
5
he BP-38, would that show when Fernandez was
6
actually keyed in and out of the system on
7
August 10th?
8
MS.
: Fernandez? The guy from -.
9
MR.
: So Fernandez, 3:15, who
10
was never --
11
MS.
: Oh, the -.
12
MR.
: -- keyed out. He wasn't
13
keyed out.
14
MS.
: The dry cell guy?
15
MR.
: Yeah.
16
MS.
: Yeah, it would show on a 38.
17
MR.
: On the 38 it would
18
actually show what time?
19
MS.
: Uh-huh.
20
MR.
: And how do we get that?
21
So just make a note, we got to get the 38 for
22
MR.
: That (Indiscernible
23
*01:41:43).
24
MS.
: Since it goes back --
25
MR.
: That's the same document I
EFTA00115125
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showed you?
2
MS.
only 45 days.
3
MR.
: Okay. So we wouldn't
4
even be able to get it at this point?
5
Hopefully that day maintained that.
6
MS.
: Well, SENTRY only goes back
7
45 days, so
8
MR.
: You're talking about this
9
document?
10
MS.
: Yeah.
11
MR.
: Now what if they did save
12
these documents back then, would we be able to
13
see when he was keyed in?
14
MR.
: Yeah.
15
MS.
: If they saved it, yeah.
16
MR.
: Okay.
17
MS.
: But if it's
18
MR.
: And -.
19
MS.
: -- not saved, it only goes
20
back 45 days.
21
MR.
: Okay.
22
MR.
: All right, I got.
23
MR.
: So that will be very
24
telling as well if we can get that.
25
MR.
: Okay.
EFTA00115126
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MR.
: Before you start taking
2
everything away, there's an issue with initials
3
4
MR.
: Yeah.
5
MR.
: -- and dates.
6
MR.
: Being that I showed you these
7
8
MR.
: Just the top.
9
MR.
: -- documents, same as before.
10
MS.
: Uh-huh.
11
MR.
: Can you just initial and date
12
the top?
13
MS.
: (Indiscernible *01:42:27)
14
this one.
15
MR.
: Do you know anything
16
about counts not actually being conducted at
17
this time in August of 2019?
18
MS.
: No.
19
MR.
: When you would work on
20
the custody side of the house, would you be
21
involved in things like counts?
22
MS.
: If I'm counting a unit with
23
an officer, yeah. Or if I'm the one taking the
24
count, yes. If I'm -.
25
MR.
: Did you ever do any
EFTA00115127
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1
counts in the SHU?
2
MS.
: I've done counts in the SHU -
3
4
MR.
: You have.
5
MS.
: -- but -.
6
MR.
: And when you were there,
7
did they actually conduct the counts?
8
MS.
: When I do counts, I conduct
9
counts, yeah.
10
MR.
: Yeah, yeah, but I mean,
11
I'm not talking about you, I know you did, but
12
I mean --
13
MS.
: Uh-huh.
14
MR.
: -- the people that were
15
there with you, were they actually, you know,
16
you're supposed to have two people to count.
17
Was the other person --
18
MS.
: Well, if I --
19
MR.
: -- also counting?
20
MS.
: -- have - if I'm working,
21
you're counting, so it's no - it's not a
22
question. We're not even having that
23
conversation, so.
24
MR.
: Did you ever have anybody
25
push back on you like, "No, no, no, we're
EFTA00115128
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good?"
2
MS.
: No.
3
MR.
: Have you heard of people who
4
when they're starting the shift, just filling
5
out the counts slips and the round sheets and
6
be like -.
7
MR.
: Ahead of time.
8
MR.
: Ahead of time.
9
MS.
: Well, if they're on their own
10
unit, I can't tell you what they're doing on
11
their unit. I can only tell you what I'm doing
12
on my unit, so.
13
MR.
: But like in the SHU, have
14
you ever heard of like people coming in and
15
pre-filling out both count slips and round
16
sheets at the very start of their shift?
17
MS.
: If they've done it, I've
18
never seen it.
19
MR.
: You've never seen it?
20
MR.
: Have you ever heard of people
21
doing anything like that?
22
MS.
: I've heard of it, but I don't
23
- I've never seen it.
24
MR.
: Is that good practice?
25
MS.
: No.
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MR.
: Is it known that you
2
can't do that?
3
MS.
: You're not supposed to do
4
that.
5
MR.
: Does everyone know they
6
can't - especially if we're talking about round
7
sheets. Does everyone know that you can't go
8
and - say it goes from 8:00 a.m. until 12:00
9
p.m., you can't go in at 8:00 a.m. and write
10
out everything you did for a round all the way
11
to 12:00 p.m.?
12
MS.
: You cannot do that because
13
anything can happen. An emergency can take
14
place. An inmate could get removed from your
15
unit. You can get a new guy. Any - there's a
16
number of things that could take place that you
17
are not supposed to - even your log book, pre-
18
fill out your log.
19
MR.
: Is there any training
20
though that you all receive saying like, "You
21
got to do this when you're actually conducting
22
the rounds?" And certainly, you know, maybe
23
after the fact is okay because you already did
24
it, but beforehand -.
25
MS.
: Maybe if the Lieutenant sees
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it, you know, they might say, "Hey, you know,
2
you're not supposed to pre-fill out your count
3
slips." They might say, you know, "You can
4
fill out the date, the time, the unit," you
5
might could even fill in your name, but you're
6
not supposed to put in the actual number
7
because you don't know what can happen, so.
8
MR.
: But as far (Indiscernible
9
*01:45:26) talking about counts slips, I'm
10
talking about round sheets.
11
MS.
: Oh. No, you're not supposed
12
to. They always tell - they - the Lieutenants
13
always say that you're not supposed - they
14
always tell everybody that.
15
MR.
: And do you know if back
16
in August 2019, they were also saying that?
17
MS.
: No, I don't know about that.
18
MR.
: Right.
19
MS.
: I don't know -.
20
MR.
: And is there any training
21
that's provided to teach people how to actually
22
fill out round sheets and counts slips or is it
23
supposed to be common sense?
24
MS.
: Normally you're training on
25
the job as you go along, so if I'm new and, you
EFTA00115131
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know, I'm training up under your officer, you
2
might show me certain things and people just
3
learn by asking questions and maybe another
4
officer just showing him ropes and everybody
5
don't do everything the way they're supposed to
6
do so. I might come in as a new officer and
7
you might be showing me stuff and it could be
8
completely wrong, but I'm doing what you showed
9
me because that's all I know. So, it just
10
depends on who's training who and who's showing
11
who what to do and that's pretty much it
12
because on the job, right now, we have new
13
staff training new staff. We have staff that's
14
here like a month training staff that's here a
15
week. So, the blind leading the blind.
16
MR.
: So if someone makes the
17
excuse that, "No one ever told me I could do
18
that, but I saw other people filling out round
19
sheets ahead of time so that's why I did it,"
20
is that an excuse do you believe? So you think
21
that that is an actual excuse to say like,
22
"Well, he did it, so I did it," and that makes
23
it okay? Because don't you think it's pretty
24
common sense that, no, you can't - you're
25
certifying a document saying you conducted that
EFTA00115132
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1
round at that time?
2
MS.
: Yes, common sense to the
3
people that think outside the box and - but
4
common sense is not common to everybody and
5
and I'm not trying to be a smart ass --
6
MR.
: No, no, no, it's very -.
7
MS.
you know.
8
MR.
: It's a good point.
9
MS.
: And, you know, I've been
10
doing law enforcement for a while, you know,
11
corrections, juveniles, school safety. So,
12
I've seen things on the job that make me take
13
my job seriously. But when you have no
14
knowledge, you have no experience, no
15
correctional background, you've never been
16
placed in an environment that you felt was that
17
dangerous for you to be as mindful as you
18
should be, you don't - and then nothing
19
happens, you follow what you see everybody else
20
doing in past practice and it's not always
21
right and a lot of people don't read what
22
they're supposed to be doing, they just go by
23
what you tell them and what I could tell you
24
what to do, doesn't necessarily mean that
25
that's actually what you are supposed to be
EFTA00115133
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doing.
2
MR.
: Sure.
3
MS.
: And if you don't read it in
4
black and white for yourself, how would you
5
know that this is actually what you should be
6
doing? And it's just a lack of training around
7
here. Staff are not being trained and that's
8
what creates a lot of our problems. We don't
9
have a bad institution, we just have a lack of
10
training, you know, and I don't think that
11
people are not willing to work, I think they
12
want to work, but it's a lack of training and
13
it's a lack of morale in the institution, so I
14
think that's what the biggest problem is.
15
People are not being properly trained. So,
16
yeah, if I see you doing it, I think it's okay.
17
I'm not ever thinking, "Oh, you know what?
18
Maybe I shouldn't do that, something might
19
happen." If nothing ever really happens, so.
20
MR.
: I have a few more questions
21
22
MS.
: Uh-huh.
23
MR.
: -- a few more, but we can
24
come back. Some of the questions are going to
25
be redundant --
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MS.
: Uh-huh.
2
MR.
-- redundant because we asked
3
the questions --
4
MS.
: Uh-huh.
5
MR.
: -- so I just got to cover it.
6
MS.
: Uh-huh.
7
MR.
: Do you know why Reyes was
8
removed from the MCC?
9
MS.
: Is that the guy that went out
10
to court?
11
MR.
: Yes.
12
MS.
: I would only know that
13
because he went to court. But looking at that
14
document, off the top of my head, I wouldn't be
15
able to recall off the top of my head why he
16
was removed, but I just know he went out to
17
court.
18
MR.
: Were you ever instructed on
19
what actions to take -.
20
MR.
: Well, let's follow up
21
with that. Looking at the Lieutenant's log,
22
does that tell you something different? With
23
the Lieutenant's log and the BP-38?
24
MS.
: You mean the PP-38.
25
MR.
: Is it PP?
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MS.
: Uh-huh.
2
MR.
: All right. I thought it
3
was like Bureau of Prisons, like BP. So it's
4
PP.
5
MR.
: Somebody -.
6
MS.
: PP. PP-38.
7
MR.
: What does the PP stand
8
for?
9
MS.
: It's a SENTRY function. I
10
don't know. Okay. Repeat your question again.
11
MR.
: So looking at where it
12
says that Reyes left at --
13
MS.
: Okay.
14
MR.
: -- 8:38, and then as well
15
as with that document the III uses to key
16
people out, the PP-38. Does that tell you why
17
he would have left?
18
MS.
: No, because this does not
19
necessarily tell you. It just tells you he was
20
removed out of the institution.
21
MR.
: Okay.
22
MS.
: So, no - I mean, you just
23
know that he's gone. You don't know why he's
24
gone, you just know he left.
25
MR.
: Sure.
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MS.
: And same thing with that, you
2
just - you don't know why, you just know he
3
left.
4
MR.
: Okay. You're talking about
5
the PP-38, right?
6
MS.
: Yes.
7
MR.
: How would the institution
8
know if Reyes was coming back from court?
9
MS.
:
would know because he
10
would come back with the Marshals and we would
11
key him back in and we would send him back to
12
his unit.
13
MR.
: Now, if he wasn't - now that
14
he wasn't coming back, is there any other
15
notification that comes up throughout the day
16
through III that he isn't coming back?
17
MS.
: It would just be whatever
18
dispositions that the Marshals give us, provide
19
us with.
20
MR.
: When does that disposition
21
come?
22
MS.
: That just depends. Sometimes
23
we get it right away, sometimes they forget and
24
we got to pre-remove the inmate out because we
25
don't have nothing and we know that he went
EFTA00115137
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with the Marshals. But sometimes we get it as
2
soon as possible and sometimes we don't get it
3
until the next day.
4
MR.
: So there is a disposition
5
form that comes in afterwards.
6
MS.
: Uh-huh.
7
MR.
: What is it? What does the
8
form look like? What does it state on it?
9
MS.
: It's just a United States
10
Marshals form and it'll say, "Disposition of
11
- it'll be time served, maybe the judge
12
released somebody on recognizance. Just
13
whatever the judge just might - the judge might
14
have dismissed the case. Just whatever
15
happened at court is what will be - it might be
16
a bail bond. Might be a release to Probation.
17
MR.
: And where is that form kept?
18
MS.
: It would be in the inmate's
19
folder.
20
MR.
: Do you recall seeing any
21
forms for - disposition forms for inmate Reyes?
22
MS.
: I don't remember.
23
MR.
: And what is done with
24
that information once it's received?
25
MS.
: We retain it in the inmate's
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folder and we key the inmate out and
2
MR.
: Or is the information
3
disseminated throughout or no?
4
MS.
: Do we give Control those?
5
No, we don't give Control a copy. I don't
6
think we give Control a copy of the disposition
7
form because they - we don't give them a copy
8
of it.
9
MR.
: So this circles back to
10
what we talked about before. So once you find
11
out an inmate is definitively not coming back,
12
you do not contact anyone to say, "This guy
13
didn't come back."
14
MS.
: We key them out and normally
15
the Control Officer, if you have a good counts
16
and assignments officer, and he's paying
17
attention, he'll say, "Oh, you guys keyed one
18
out?" We'll say, "Yeah, he's not coming back,
19
he got time served or the Marshals took him and
20
he's not coming back."
21
MR.
: The III doesn't
22
proactively provide that information.
23
MS.
: No, because they're supposed
24
to automatically be checking the computer to -
25
like a checks and balance, so it's something
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that's automatic. When we have inmates going
2
out to court, we have a receipt that we give to
3
the Marshals and a copy also goes downstairs to
4
the Control Center as well, so the Control has
5
a copy of every move we do in III, so they get
6
a copy of that.
7
MR.
: Can you recall any situations
8
where an inmate leaves for court and III is
9
notified, "Hey, listen, the inmate is not
10
coming back," where III actually called the
11
unit to let them know, "Hey, he's not coming
12
back?"
13
MS.
: Yeah, we have. We have.
14
MR.
: Is that because they
15
requested to be notified or is it because, is
16
that something that III normally does?
17
MS.
: No, we might have - it might
18
have been that the inmate had property upstairs
19
and we might need him to secure the inmate's
20
property and bring it down. So, that's
21
normally sometimes why we might notify the unit
22
officer because sometimes the inmate, they'll
23
call back to the jail and say, "Oh, they
24
released me. I got my property upstairs." And
25
we'll call upstairs to the unit officer and
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say, "Hey, inmate so and so is not coming back,
2
can you secure his property?"
3
MR.
: Okay. Before you left for
4
the day on August 9th, do you recall talking to
5
any COs about Reyes leaving?
6
MS.
: I don't recall that, no.
7
MR.
: I know we covered this as
8
part of previous conversation, so I'm going to
9
go through it quick.
10
MS.
: Uh-huh.
11
MR.
: On August 10th when you came
12
on shift, which counts were you involved in?
13
MS.
: I didn't take the counts, I
14
was number one in the Control Center. So my
15
number two person takes the counts.
16
MR.
: Number two? Who was the
17
number two, do you recall?
18
MS.
: Was it
(Phonetic Sp.
19
*01:55:47)?
20
MR.
: You can just look at that
21
for the daily assignments.
22
MR.
: Just look at 10th, it's going
23
to be 10th.
24
MS. -:
25
MR. -:
(Phonetic Sp.
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*01:55:59).
2
MS.
: He was in the Control Center
3
with me.
4
MR.
: Okay. And do recall
5
taking the midnight count?
6
MS.
: I believe she came and took
7
the midnight count.
8
MR.
: Were you present for it?
9
MS.
: I was in the Control Center -
10
11
MR.
: But -.
12
MS.
: -- but I wasn't focused on
13
them taking the count. I was focused on
14
counting my equipment, accounting for my
15
equipment.
16
MR.
: Do you recall any issues with
17
the count?
18
MS.
: Not that I know of. Not that
19
I recall.
20
MR.
: And do you recall who called
21
in the count from the SHU?
22
MS.
: Not that I can recall.
23
MR.
: What about the 3:00 a.m. and
24
the 5:00 a.m.?
25
MS.
: I know one of them called the
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count in because that's the only way we can
2
clear a count.
3
MR.
: Okay.
4
MS.
: So I don't remember who
5
called but I know somebody did call in the
6
count.
7
MR.
: Do you recall during the
8
middle of the count
calling the
9
SHU, having conversation with the CO in there?
10
MS.
: I don't know because a lot of
11
times they'll call downstairs when they're
12
calling in the count and she'll have short
13
conversations with the officers, so I can't say
14
whether she called them or they called her, I
15
don't know.
16
MR.
: Do you recall if there was a
17
second count slip sent up for the SHU for the
18
midnight count?
19
MS.
: No, I can't recall, I don't
20
know.
21
MR.
: Can COs just call in the
22
previous number or do they have to physically
23
do the count?
24
MS.
: No, they have to count.
25
MR.
: Why?
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MS.
: You're counting for living,
2
breathing bodies.
3
MR.
: Once the counts are done, do
4
the COs have to notify you?
5
MS.
: They're supposed to call the
6
Control Center and call in their count. They
7
call the control two, which is 6468, and they
8
call in their count.
9
MR.
: Do the COs fill out any
10
paperwork for the count?
11
MS.
: A count slip. A count slip.
12
MR.
: Think we pretty much covered
13
a lot of the other questions. Do you have
14
anything on that topic?
15
MR.
: Who all has access to
16
update the E-1 document?
17
MS.
: Who all has access to update
18
it? The Control Center officers.
19
MR.
: When you say, "officer,"
20
just the Control Center officers is what you
21
mean?
22
MS.
: Whoever works in the Control
23
24
MR.
: Right.
25
MS.
: -- but a lot of times, most
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of the officers were shifted around working
2
Control, so primarily, if you work the Control
3
Center as a counts and assignments officer, you
4
had access to printing out an E-1. All the
5
Lieutenants have access, III had access, but we
6
don't have access to that no more.
7
MR.
: But at that point, did you
8
guys have access?
9
MS.
: Yeah, because you have to
10
prepare this for the count, so yeah.
11
MR.
: Okay.
12
MS.
: But we don't have access
13
anymore.
14
MR.
: So Control Officers,
15
Lieutenants, anyone else?
16
MS.
:
17
MR.
: And that anyone who has
18
worked in Control at that time, at least they
19
maintained the access for a certain amount of
20
period afterwards?
21
MS.
: Yeah, Uh-huh.
22
MR.
: Do you know how long that
23
period of time was at that point?
24
MS.
: I don't think - I think if
25
you had access to it, you just had access to
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it. It don't think it was no
2
MR.
: So, given access once,
3
you got it until --
4
MS.
: Uh-huh.
5
MR.
: -- they revoke it.
6
MS.
: Right. Uh-huh.
7
MR.
: Okay.
8
MS.
: I don't think it was - yeah,
9
it was no time frame that I know of.
10
MR.
: You have any other questions
11
on that? When you were in - are you aware
12
there were cameras inside the MCC on August 9th
13
and 10th?
14
MS.
: Uh-huh.
15
MR.
: When you were in Control, did
16
you have access to see the cameras?
17
MS.
: Yeah, you - the cameras in
18
the - it's like little TV screens with little
19
individual boxes of different areas of the
20
institution.
21
MR.
: Could you see the SHU in
22
there?
23
MS.
: No. You could only see over
24
a balcony looking down to the MP and it was
25
like far off so it's like the camera is up on a
EFTA00115146
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balcony and just looking all the way down over
2
there. You don't really - can't really see
3
nothing.
4
MR.
: Was it clear?
5
MS.
: No. It's like, if you see,
6
you might have seen a body move here and there,
7
but you can't really tell - you couldn't really
8
- it wasn't clear, no.
9
MR.
: Did you ever hear that the
10
cameras are not working, offline or not
11
recording?
12
MS.
: All the time.
13
MR.
: And was there complaints
14
filed - told to anybody specific? The Captain,
15
Lieutenant?
16
MS.
: I believe notifications were
17
made, like especially if we're in the Control
18
Center, we would call the com tech and say,
19
"Hey, this camera might have went out." So
20
yeah, notifications were made.
21
MR.
: And did they fix it
22
immediately?
23
MS.
: At that time, no, things
24
weren't getting fixed immediately, no.
25
MR.
: Do you recall seeing Michael
EFTA00115147
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Thomas (Indiscernible *02:00:56) on the camera
2
on the night - on the morning watch of August
3
10th?
4
MS.
: You can't see really from the
5
camera that I had access to, you can't really
6
see - you can't - you barely could see because
7
it's like, I don't know if you've ever been in
8
our SHU. Have you ever been in the SHU?
9
MR.
: That's -.
10
MR.
: No, we have pictures but
11
we've never --
12
MR.
: That's this picture.
13
MR.
actually been there.
14
MS.
: So, you can't really see.
15
MR.
: I'm showing you a picture.
16
MS.
: This is -.
17
MR.
: Is this the view?
18
MS.
: Yeah, that's exactly, yeah,
19
this is it. So like, if they were in a black
20
hoodie or something, you can't see nobody over
21
there. If their back is turned and the chairs
22
are - you can't really see. You might see a
23
body walk across or you might see a body walk
24
down, but you can't really see. It's not a
25
real good copy. But yeah, that's exactly what
EFTA00115148
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I'm talking about.
2
MR.
: Do you have anything else on
3
the cameras?
4
MR.
: No, just when you're in
5
the Control Center, does it - is there any
6
indication saying that if a camera is working
7
but not recording? No. There's no way for you
8
to know if a camera is recording or not?
9
MS.
: Yeah.
10
MR.
: Just if it was actually
11
live or not.
12
MS.
: Uh-huh. You would just know
13
that the camera is up. You don't know - I
14
wouldn't have been able to tell you that, I
15
don't know. Huh-uh.
16
MR.
: Okay. And did you, prior
17
to 6:33, when a body alarm was set off, did you
18
notice anything unusual happening in the
19
institution on any cameras? Specifically, i
20
guess the SHU one that you couldn't see that
21
well anyway?
22
MS.
: No.
23
MR.
: No. Okay.
24
MS.
: Huh-uh.
25
MR.
: There was no other angles
EFTA00115149
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from the SHU you could see?
2
MS.
: No. This is all I - that's
3
all you could see.
4
MR.
: Anything else on that?
5
MR.
:
No.
6
MR.
: Now just a few other
7
questions.
8
MS.
: Uh-huh.
9
MR.
:
Do you recall anyone going
10
into the SHU that night, on August 10th?
11
MS.
: August 10th, that's the
12
Saturday?
13
MR.
: That's Saturday, overnight.
14
MR.
: The morning that Epstein
15
was found dead.
16
MS.
: Going in? The morning he was
17
found or --
18
MR.
:
Yes.
19
MS.
: -- or the night prior to him
20
being found?
21
MR.
: Both is fine.
22
MS.
:
Well, I know the Lieutenant
23
made rounds.
24
MR.
: Lieutenant who?
25
MS. -:
, she made rounds
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because they have to call the door, so we have
2
to pop her in.
3
MR.
: So when he says "night,"
4
he's talking about midnight to 6:30 --
5
MS.
: Right. Yeah.
6
MR.
: -- right.
7
MS.
: So, Lieutenant, she made
8
rounds on the unit because the SHU staff called
9
the door for her to pop - for us to pop her
10
into the SHU and when they call the door, when
11
you hit that door, a visual of the door, who
12
standing in front of the door pops up in the
13
Control Center, so you know who is going into
14
the SHU. During the body alarm, our usual
15
staff just responds to a body alarm, so, you
16
know they say, "Hey, we have a medical
17
emergency in SHU," or wherever they call. You
18
got the SHU crew calling the door so staff can
19
run in and assist, so, whoever ran in, I
20
couldn't tell you. But whoever was on shift az
21
that time, responded.
22
MR.
: So the only one overnight
23
would be at that - before his body was found
24
would be Lieutenant
25
MS.
: Lieutenant
EFTA00115151
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internal. If he had -.
2
MR.
: Who is internal?
3
MS. _:
4
MR.
: Do you recall
5
requesting to go into the SHU?
6
MS.
: He would - he don't really
7
he wouldn't really have a reason to go into
8
SHU, not unless they're calling for you to come
9
in and do something or he's going in, you know,
10
because normally, the two officers will count,
11
they'll put their count slip on the door and
12
the internal officer, he'll pick up the count
13
slip on his rounds while he's counting the
14
other units. So, if he doesn't have a reason
15
to go in the SHU, he won't go in SHU.
16
MR.
: Okay. Do you know if there's
17
any other way that anyone can get through that
18
outer door of the SHU without Control buzzing
19
them in?
20
MS.
: No.
21
MR.
: Is the -.
22
MS.
: You would need an emergency
23
key that you would have to get from the Control
24
Center. But no one gets those keys. And
25
especially on morning watch when there's no
EFTA00115152
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1
need for us to give out those keys. Staff are
2
calling the door, so, no, there's no other way
3
to get in that unit.
4
MR.
: Are those keys kept open or
5
is it just it's locked up?
6
MS.
: It's behind a door in the
7
bathroom in the Control Center.
8
MR.
: And that would get you
9
through the first door. Do you know if there's
10
a second set of keys for the internal door for
11
the SHU kept in the Control Center?
12
MS.
: We have keys for most of the
13
doors, yes. But those door - the inner door,
14
the Unit Officer would have, the inner door, he
15
has access to that. So the Unit Officers have
16
those keys.
17
MR.
: We're just asking just to
18
clarify, if - do you know if anyone checked out
19
the keys for the inner door or the outer door
20
out of the Control Center that night?
21
MS.
: The outer door, those keys
22
never get checked out, but the inner door, that
23
key is a key pretty much like a - you have to
24
put a chit on the Control Center and
25
MR.
: Put a what?
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MS.
: A chit.
2
MR.
: What's that?
3
MS.
: So it's like a chit system.
4
I have a pair of keys. In order for me to get
5
these keys from Control, I have to turn in a
6
chit --
7
MR.
: So it's basically
8
MS.
-- with my name. Yeah, you
9
have to turn in a chit. So it's -.
10
MR.
: A key chain with your name on
11
it.
12
MS.
: Yeah, it's a chit. Uh-huh.
13
And you - it's like a - what is it, what would
14
you call it? Accountability.
15
MR.
: Okay.
16
MS.
: So, you put the chit on it,
17
you give the person a key. In order to get the
18
chit back, you got to give them the key back,
19
then you get the chit back.
20
MR.
: Do you recall if anyone did
21
that for the SHU keys that night?
22
MS.
: I don't recall. But I don' t
23
recall that, no.
24
MR.
: Okay. I've got nothing else.
25
Do you - is there any questions that you think
EFTA00115154
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that we didn't ask you about that you feel that
2
we should ask you about?
3
MS.
: Hm.
4
MR.
: In regards to this Epstein
5
investigation?
6
MS.
Mm, no, I think that's -.
7
MR.
: Do you believe Epstein
8
took his own life?
9
MS.
: I believe so.
10
MR.
: Do you have any reason to
11
believe that anyone took Epstein's life aside
12
from himself?
13
MS.
: No.
14
MR.
: Do you have any knowledge
15
of anyone assisting Epstein with taking his
16
life?
17
MS.
: No.
18
MR.
: Okay.
19
MS.
: No. I believe he had a lot
20
on his plate and this environment was a culture
21
shock to him then. I think that he took his
22
own life.
23
MR.
: Now the fact that we
24
don't have camera from that tier - oh, I wanted
25
to circle back with you. So our understanding
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from the camera technicians and everyone else
2
is that there were actually at that time
3
cameras down each range, they just weren't
4
recording.
5
MS.
: Oh.
6
MR.
: Do you know anything
7
about that?
8
MS.
: No.
9
MR.
: Do you know - do you have
10
any reason to believe that someone knocked
11
those cameras off line intentionally so that
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they stopped recording?
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MS.
: No. No. I don't believe
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that. No. No.
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MR.
: All right. And you don't
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know anything about that?
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MS.
: No. No. That's a good one.
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MR.
: Well, it's just there's a
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lot of coincidences in this one.
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MS.
: Yeah. It's unfortunate. You
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know, this building is still deteriorating as
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we speak, so, it just - a lot of repairs and
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maintenance that needs to be done in this
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institution. It's - yeah. Yeah.
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MR.
: That's all.
EFTA00115156
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MR.
: That's it?
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MR.
:
Yeah.
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MR.
:
Well, thank you for taking
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the time to talk to us.
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MS.
:
You're welcome. You're
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welcome.
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MR.
: This is Special Agent
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The time is 6:12 p.m. on Thursday,
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July 15, 2021. We're ending the interview and
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turning off the recorder.
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EFTA00115157
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CERTIFICATE
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I hereby certify that the foregoing pages
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represent an accurate transcript of the
electronic sound recording of the proceedings
before the Department of Justice, Office of the
Inspector General in the matter of:
Interview of
Transcriber
EFTA00115158
Extracted Information
Dates
Phone Numbers
Document Details
| Filename | EFTA00115005.pdf |
| File Size | 5608.2 KB |
| OCR Confidence | 85.0% |
| Has Readable Text | Yes |
| Text Length | 146,835 characters |
| Indexed | 2026-02-11T10:41:20.101229 |