UNITED STATES DISTRICT COURT
WESTERN DISTRICT OF WASHINGTON
AT TACOMA
CHERYL LINDSEY SEELHOFF,
a married woman,
Plaintiff, Tacoma, Washington
vs.
PAT and SUE WELCH,
husband and wife,
Defendants.
Docket No. C97-5383FDB
Tacoma, Washington
September 2, 1998
Trial
Volume 3
TRANSCRIPT OF PROCEEDINGS
BEFORE THE HONORABLE FRANKLIN D. BURGESS
UNITED STATES DISTRICT JUDGE, and a Jury.
APPEARANCES:
For the Plaintiff:
BARBARA J. DUFFY
GWENDOLYN PAYTON KLEIN
Lane Powell Spears Lubersky
1420 Fifth Avenue, Suite 4100
Seattle, Washington 98101-2338
For the Defendants:
RUDY R. LACHENMEIER
LORI DeDOBBELAERE
Lachenmeier, Enloe & Rall
9600 S.W. Capitol Highway
Portland, Oregon 97219
Court Reporter: Teri Hendrix
Union Station Courthouse, Room 3100
1717 Pacific Avenue
Tacoma, Washington 98402
(253) 593-6545
Proceedings recorded by mechanical stenography, transcript
produced by Reporter on computer.
Excerpt from transcripts Volume 3 September 2, 1998 Pages 446-683
How to use these documents.
A complete copy of the transcript are availble on an independent web site.
http://members.aol.com/Hsingcase/index.html
(Link provide by permission)
Documents can be ordered by writing to:
US District Court
Western District of Washington
P.O. Box 1935
Tacoma, Washington 98401
470
1 Q. At some point after that did you come to believe that?
2 A. Yes, I did.
3 Q. When was that?
4 A. My recollection to the first time I was made aware of that
5 was on July 1, 1994, after our convention -- convention had
6 concluded.
7 Q. Mr. Boutot, the court reporter has handed you what she's
8 marked as Exhibit 112 to your deposition and I'll just tell you,
9 these are documents that were produced to us by your counsel.
10 What I would like you to do is take a moment and read through
11 it, and I'm going to ask you a few questions about the documents
12 that have been marked as Exhibit 112.
13 I am going to ask you a few questions about it -- let me
14 just ask you this. Are all the pages of Exhibit 112 in your
15 handwriting?
16 A. Yes, they are.
17 Q. Tell me in general terms, Mr. Boutot, describe for me the
18 circumstances under which you put these handwritten notes
19 together?
20 A. On July 1, we had received a call at home from Sue Welch
21 advising us of matters pertaining to Cheryl Lindsey, and because
22 of the information received, I felt it necessary to begin
23 documenting the matter, should the need arise for me to refer
24 back to discussions pertaining to this matter.
25 Q. So is it fair to say that you put these notes together at or
471
1 about the time that you were experiencing the events that they
2 refer to?
3 A. Yes, ma'am.
4 Q. Is it fair to say that these notes, Exhibit 112f are notes
5 of telephone conversations?
6 A. Yes, ma'am.
7 Q. And were these notes of telephone conversations made
8 contemporaneous with the conversation?
9 A. To the best of my recollection, yes.
10 Q. So, in other words, while you were talking to an individual,
11 you were jotting down notes of the conversation during that
12 conversation, is that fair?
13 A. With the exception of the last page on July 5, next to the
14 last page, 11:25, 1 simply documented a call from Cheryl's mom.
15 I noted "see separate notes," which was documented afterwards,
16 afterwards. I'm not sure how many days had gone by or if it was
17 days, but it was not contemporaneously with the discussion of
18 Cheryl's mother.
19 Q. With that exception, the others were?
20 A. The other notes were contemporaneous, yes.
21 Q. These telephone notes, were these in a file of some short?
22 A. Yes, ma'am.
23 Q. What was the name of that file?
24 A. On the tab I wrote Cheryl Lindsey or Cheryl and Claude
25 Lindsey, I believe.