Testemunho de Gavin Arvizo
Testemony
1 Santa Maria, California2 Tuesday, March 15, 20053 8:30 a.m.45 THE COURT: Good morning.6 THE JURY: (In unison) Good morning.7 THE COURT: You ready to proceed.8 MR. MESEREAU: Yes, Your Honor.9 Thank you, Your Honor.1011 GAVIN-ANTON ARVIZO12 Having been previously sworn, resumed the13 stand and testified further as follows:1415 CROSS-EXAMINATION (Continued)16 BY MR. MESEREAU:17 Q. Mr. Arvizo, when you claim you were18 inappropriately touched by Mr. Jackson, you claim19 there were no witnesses watching, correct.20 A. Yes.21 Q. Now, at some point, do you recall giving a22 DNA swab to any Santa Barbara Sheriff.23 A. Yes. They gave me a DNA swab.24 Q. Do you know approximately when that was.25 A. No.26 Q. Did you ever learn what the results were of27 any DNA testing.28 A. No. 20211 Q. Did you ever discuss it with Prosecutor2 Sneddon.3 A. No.4 Q. Did you ever discuss it with any other5 prosecutor.6 A. No.7 Q. Did you ever discuss it with any sheriff.8 A. No.9 Q. How about any lawyer or paralegal.10 A. No.11 Q. Did you ever discuss it with any member of12 your family.13 A. No.14 Q. So as you sit here today, you don’t know15 what the results are of those DNA tests, right.16 A. No.17 Q. Okay. Now, you indicated that you were18 upset that there was no press conference in Miami19 when you and your family traveled to Miami to see20 Michael Jackson, correct.21 A. I said it wasn’t that big of a deal, because22 I was already having fun.23 Q. Well, you wanted a press conference in this24 case, didn’t you.25 A. Michael wanted it.26 Q. No --27 A. Michael told me he wanted it.28 Q. Sir, when you were testifying before the 20221 grand jury, you wanted to give a press conference,2 didn’t you.3 A. No, I thought we were going to have a press4 conference, because that’s what I was told.5 Q. Do you remember telling Mr. Sneddon and the6 grand jury that you wanted to have a press7 conference.8 A. I might have said that we wanted to have a9 press conference, because Michael wanted to.10 Q. Michael wanted to have a press conference11 when you were in front of the grand jury; is that12 what you’re saying.13 You can answer the question.14 A. No.15 Q. Remember telling Mr. Sneddon, “Oh, man, I16 was going to have a press conference”.17 MR. SNEDDON: Excuse me, Your Honor. Could18 we have a page reference on that, before Counsel19 reads it.20 MR. MESEREAU: Sure. Sure. It’s 449.21 MR. SNEDDON: That’s fine.22 Q. BY MR. MESEREAU: Okay. Do you remember23 when you were in front of the Santa Barbara Grand24 Jury, Mr. Sneddon told you there was an order that25 you not talk to the media, and your response was,26 “Oh, man, I was going to have a press conference”.27 Do you remember that.28 A. That was probably a joke. 20231 Q. That was a joke.2 A. Yeah.3 Q. So you’re in front of the Santa Barbara4 Grand Jury talking about this case and you’re5 telling a joke.6 A. Yes.7 Q. Okay. All right. Do you know someone who8 worked at Neverland named Julio Avila.9 A. I don’t remember.10 Q. Do you remember that name at all.11 A. I remember a guy that might have been named12 Julio, but I forgot his name.13 Q. Okay. And was he someone who worked around14 the amusement rides.15 A. Oh, yes. Well, he -- he was the manager of16 the whole Neverland, but then they moved him to the17 amusement park, if we’re talking about the same guy.18 Q. Do you remember anyone complaining about you19 and Star --20 MR. SNEDDON: Object, Your Honor. It’s a21 violation of a 403 ruling.22 MR. MESEREAU: I don’t think it is.23 THE COURT: I’m not remembering this. Give24 me another hint.25 MR. MESEREAU: It has to do with behavior at26 Neverland. Nonsexual nature.27 THE COURT: All right. I’ll sustain the28 objection. 20241 Q. BY MR. MESEREAU: Do you recall you and your2 brother Star being picked up by a FOX News reporter3 at your home.4 A. No.5 Q. Never happened.6 A. Well, I have a friend that works for FOX7 News, but --8 Q. What’s your friend’s name.9 A. Barbara.10 Q. Barbara Schroeder.11 A. I don’t know her last name.12 Q. Do you recall being picked up by Barbara13 Schroeder and taken for a spending spree.14 A. I remember going to the movies with her and15 her daughter.16 Q. Do you remember she and another member of17 the media treating you and your brother to shopping.18 A. I have a friend that used to work for FOX19 that I met at The Laugh Factory, but he works in,20 like, cell phones or something.21 Q. Do you recall Barbara Schroeder and another22 representative of FOX News taking you and Star23 shopping and paying your bills.24 A. They weren’t representing FOX News to us.25 They were our friends.26 Q. Do you remember them taking you shopping and27 paying your bills; yes or no.28 A. I don’t remember them paying my bills. And 20251 I remember going to the movies with them. I don’t2 remember going on shopping sprees.3 Q. Where did you go with them.4 A. We went to the movies.5 Q. Where.6 A. Galleria.7 Q. Which galleria.8 A. I don’t know. Somewhere in Los -- Hollywood9 somewhere.10 Q. In Los Angeles, right.11 A. Yes.12 Q. Okay. And you’re saying they never took you13 to any store and paid any bill for you.14 A. No.15 Q. Okay. You mentioned that someone named Gary16 Hearn had driven you and your family from time to17 time while you were at Neverland, correct.18 A. Yeah, Gary drove us around.19 Q. How many times do you recall Gary Hearn20 driving you around.21 A. I don’t remember.22 Q. Was it five times. Ten times.23 A. Well, no, it was less than that.24 Q. Okay. And where do you remember Gary Hearn25 driving you to.26 A. I remember he drove us one time from the27 hospital to Neverland, and once from our apartment28 to Neverland. 20261 Q. Do you remember your being in his car and2 your mother asking to stop so you could buy various3 things at stores.4 A. No.5 Q. Don’t recall him ever stopping so anyone in6 your family could go shopping.7 A. No.8 Q. Okay. Do you know someone named Andrew9 Lassak.10 A. No.11 Q. Okay. Now, you mentioned --12 A. Lassak. Police officer.13 Q. Yes. Do you know him.14 A. Yes.15 Q. How did you meet him.16 A. He was an LAPD officer that -- I forgot,17 really, how we met him. I think he was -- I don’t18 know. My mom met him or something, and then he19 visited us a lot.20 Q. Do you know approximately when you first met21 this LAPD officer, Mr. Lassak.22 A. After my father left. A few months after my23 father left, after I finished chemotherapy.24 Q. And he was a friend of your family, correct.25 A. Yes.26 Q. He used to visit your house, correct.27 A. Yes.28 Q. You spoke to him, right. 20271 A. Yes.2 Q. You saw your brother and sister speak to3 him, didn’t you.4 A. Yes.5 Q. And you saw your mother speak to him, right.6 A. Yes.7 Q. Do you recall anyone ever complaining to Los8 Angeles Police Officer Andrew Lassak that anyone was9 being held against their will.10 MR. SNEDDON: Your Honor, I’m going to11 object to the question as vague as to time frame.12 MR. MESEREAU: I’ll rephrase it, Your Honor.13 THE COURT: All right.14 Q. BY MR. MESEREAU: During the period you15 claim you escaped from Neverland three times, do you16 recall anyone in your family ever complaining to17 LAPD Officer Andrew Lassak that anyone was being18 mistreated or held against their will.19 A. His name is Lassak, and I don’t remember20 anything happening like that.21 Q. Okay. Now, correct me if I’m wrong, I think22 you testified that you used to stay up -- let me23 rephrase that.24 You would end up staying up most of the25 night when you were at Neverland, correct.26 A. Sometimes.27 Q. Not all the time.28 A. No. 20281 Q. Isn’t it true that you and your brother2 would sometimes roam around the main house starting3 at 7:00 a.m. in the morning.4 A. The cooks -- the chefs would be in there5 like 6:30 or 7:00 or something, and then we’d go in6 there to eat breakfast.7 Q. Okay. And how often do you remember doing8 that.9 A. Every morning when we would eat breakfast.10 Q. Do you know someone named Shane Meredith.11 A. No.12 Q. Never knew an employee named Shane Meredith13 at Neverland.14 A. If I did, I don’t remember that.15 Q. He caught you with an open bottle of alcohol16 at Neverland, didn’t he, when Michael Jackson wasn’t17 even around.18 A. No.19 Q. Now, you talked yesterday about someone20 named Brett Ratner. Do you remember that.21 A. Yes.22 Q. And he was working on a Rush Hour movie,23 right.24 A. Yes, he was the director for both of them.25 Q. And you met Brett Ratner at Neverland one26 time, right.27 A. Yes, he came to Neverland once.28 Q. And you saw him in the library, right. 20291 A. Michael and him were in the library, and2 they told me to go there.3 Q. You saw him in the library with Michael,4 correct.5 A. They told me to go in there.6 Q. Okay. And you sat down next to Michael7 Jackson, didn’t you.8 A. I sat on the couch. I sat on this red couch9 and Michael was sitting here on the seat, and Brett10 Ratner was sitting here also.11 Q. At one point during that meeting, you rested12 your head on Michael Jackson’s shoulder, didn’t you.13 A. No. It was early in the morning, and I14 was -- we were sitting -- he was sitting on another15 chair.16 Q. And you asked if you could go with Michael17 and Brett Ratner to Florida, didn’t you.18 A. I don’t remember asking that.19 Q. You don’t remember it or you’re not sure you20 did it.21 A. I don’t remember ever asking that.22 Q. Okay. Do you remember hearing your mother23 tell Jesus Salas that she was very concerned about24 all the media attention.25 A. I don’t remember. I remember my mom would26 say stuff like that, but -- she didn’t really like27 it, but, I mean, I don’t remember if she did say it28 to Jesus Salas. 20301 Q. Okay. Now, you indicated that you would get2 to the kitchen sometimes early in the morning,3 right.4 A. Well, yeah. Me and a bunch of other people,5 when we wanted to eat breakfast.6 Q. Now, you and your brother often would cook7 for yourselves, correct.8 A. We wouldn’t really cook. We might grab an9 apple or some ice cream, but we wouldn’t cook.10 Q. Ever see your brother Star cook in that11 kitchen.12 A. No.13 Q. Do you remember ever telling Chris Tucker14 that you didn’t make any money from the fund-raiser.15 A. No. Well, what fund-raising.16 Q. Fund-raiser for you at The Laugh Factory.17 A. No, because we did make money at The Laugh18 Factory.19 Q. Yes. So you never told Chris Tucker, “We20 didn’t make any money from the fund-raiser”.21 A. Why would I say that when we did. No, I22 never said that.23 Q. Okay. Do you recall yourself asking Chris24 Tucker for money.25 A. No.26 Q. Do you remember telling Chris Tucker that27 your family was being hounded by the media and could28 not leave your house. 20311 A. No.2 Q. Never said that.3 A. I might have told them about some media4 people that were around our house, but, I mean --5 Q. Do you remember telling Chris Tucker the6 media was hounding your family and there was no7 place for you people to go.8 A. No. Because --9 Q. Never said that.10 A. I might have talked to him about some guy11 that was holding a camera outside of my house, but,12 I mean --13 Q. Do you remember telling Chris Tucker that14 your family had nowhere to go.15 A. No.16 Q. Do you remember telling Chris Tucker that17 you knew Michael Jackson was in Miami and you wanted18 to go see him.19 A. No. Well, I -- well, the first time I flew20 in his plane over to Miami, so I don’t know if21 you’re trying to talk about that or what.22 Q. Well, before you flew on Chris Tucker’s23 plane to Miami, do you remember telling Chris Tucker24 that you wanted to go to Florida to see Michael25 Jackson.26 A. No.27 Q. Never said that.28 A. Michael called, and they arranged it so that 20321 we can go on Chris’s plane.2 Q. But you never told Chris you wanted to go3 see Michael in Florida, right.4 A. I don’t remember if I said in those exact5 words.6 Q. Okay. Do you know Vernee Watson.7 A. I kind of remember her name. But --8 Q. She was an acting teacher for you, wasn’t9 she.10 A. Was she on a show with Will Smith, the Fresh11 Prince of Bel Air show.12 Q. Excuse me, I couldn’t understand what you13 said.14 A. I think I remember who she is, but I don’t15 remember.16 Q. Did she teach you acting at a school owned17 by Belinda Johnson.18 A. I went to some -- I mean, I don’t know if19 we’re talking about the same Renee Watson.20 Q. Just asking you if you know someone named21 Vernee Watson.22 A. I kind of remember her name. But, I mean, I23 haven’t --24 Q. Do you know who she is.25 A. As I said, I kind of think I do, but I don’t26 know if it’s that person -- if that name goes with27 that face.28 Q. Well, can you please describe the Vernee 20331 Watson that you know.2 A. She has like dreadlocks and she’s3 African-American. And she -- she played Will4 Smith’s mother on Fresh Prince of Bel Air. And --5 yeah.6 Q. And how do you know her.7 A. I don’t remember. She’s been our friend for8 a long time.9 Q. Is she still your friend.10 A. Um, we -- we haven’t called her in a while.11 But I think I met her through a dance company, a12 dance class -- a dance studio I was with.13 Q. Do you recall ever asking her for money.14 A. No.15 Q. Do you recall your mother ever asking Vernee16 Watson for money.17 A. No.18 Q. Now, correct me if I’m wrong, I think you19 said yesterday that you did not call Chris Tucker on20 February 4th, 2003; is that right.21 A. I said that I don’t really remember if I22 said that or not, but I don’t know if I called Chris23 Tucker on February 4th, 2003.24 Q. Do you remember calling Chris Tucker before25 you went to Miami and telling him you’re being26 harassed by the media.27 MR. SNEDDON: Your Honor, object as asked28 and answered. 20341 THE COURT: Sustained.2 Q. BY MR. MESEREAU: Did your mother ask you to3 call Chris Tucker.4 A. No, I don’t think so.5 Q. How did you know Michael Jackson was in6 Miami.7 A. Because he called us and told us that he was8 in Miami.9 Q. Did you call Chris Tucker on a regular basis10 at that particular time.11 A. Yeah, I was still talking to him.12 Q. Okay. Did you typically call him from home.13 A. Sometimes.14 Q. Where else would you call him from.15 A. I don’t know. At my grandma’s house.16 Q. Now, Chris told you that he was going to17 Orlando, right.18 A. I don’t know.19 Q. Do you remember him saying that.20 A. No.21 Q. Okay. And to your knowledge, did Evvy22 Tavasci book a commercial flight for your family to23 fly to Miami to see Michael Jackson.24 A. I don’t know.25 Q. Okay. Do you know who was in charge of26 deciding how you would get to Miami.27 A. I don’t know who was in charge of that.28 Q. Okay. Do you know how you ended up on Chris 20351 Tucker’s plane rather than a commercial flight.2 A. Chris wanted to see Michael. And then we3 could just -- we could have just went on a ride with4 him because he was going over there.5 Q. Okay. Do you recall you, your brother, your6 sister and your mother going to a dental office7 around February 24th, 2003.8 A. I remember we might have went to a dental9 office. I mean, I used to have braces.10 Q. And you went to that office to have your11 braces removed, right.12 A. I believe so.13 Q. Pardon me.14 A. I believe so.15 Q. Okay. Well, do you remember going there16 from Neverland.17 A. Yes.18 Q. And it was a Dr. Seamont you went to, right.19 A. I don’t know.20 Q. He was not too far from Neverland, right.21 A. I think they were in Solvang.22 Q. And you had your braces removed, right.23 A. Yes. Because my teeth started separating24 because the wires were all broken.25 Q. And who took you to that dental office.26 A. I think it was Frank.27 Q. Do you know the approximate date.28 A. No. 20361 Q. And you left Neverland and went into town2 that day about 2:34 in the afternoon, right.3 A. I don’t know.4 Q. Okay. And do you remember how long you were5 away that day, from Neverland.6 A. I don’t know.7 Q. It was about five and a half hours, wasn’t8 it.9 A. As I said, I don’t know.10 Q. Okay. Do you remember stopping in Solvang.11 A. I thought that’s what the orthodontist was,12 in Solvang.13 Q. Do you remember, when you left the office,14 going anywhere else.15 A. No.16 Q. Do you remember anybody complaining at the17 office that anyone in your family was being held18 against their will.19 A. I don’t remember.20 Q. Did you have dinner or any meal in Solvang.21 A. I don’t remember having a dinner or a meal.22 Q. Do you remember going shopping in Solvang23 that day.24 A. No.25 Q. No.26 A. No.27 Q. Now, your mother was mad at your L.A.28 dentist that put the braces on originally, right. 20371 A. I don’t know if she was mad at him.2 Q. You never noticed that at all.3 A. No.4 Q. Okay. Do you know who paid for your dental5 work in Solvang on that day.6 A. I don’t know who paid for it.7 Q. And your mother was there, right.8 A. I think so.9 Q. Davellin was there, right.10 A. I think so.11 Q. And Star was there, right.12 A. I think so.13 Q. Okay.14 A. They never -- they hardly ever let us be15 apart. They wanted to keep us together.16 Q. Excuse me.17 A. They never wanted us to be in separate18 areas. They always wanted to keep us together.19 Q. Well, remember you went to Toys R Us with20 Michael.21 A. Yeah, I remember.22 Q. Your mother wasn’t there.23 A. My mom was at Neverland, where they can24 still keep her.25 Q. Oh, was your mother on the trip to Toys R26 Us.27 A. No, she was in Neverland in her unit, where28 they could still keep her and watch her. 20381 Q. I see. So you went into town with Michael2 Jackson, correct.3 A. Yeah. Michael took us to Toys R Us.4 Q. You picked up some fans, correct, on the5 way.6 A. Yeah, Michael invited some people into7 our -- the thing.8 Q. You never complained to anyone in the store9 or any of these fans that anyone was being held10 against their will, correct.11 A. I was actually happy to be at Neverland all12 the time.13 Q. And you were happy to go --14 A. That’s something you don’t really15 understand, is that the majority of those times16 was -- the first few escapes that you talk about,17 I liked being at Neverland. That was like18 Disneyland. I loved being there. I had lots of19 fun.20 I mean, my mom was the one always worried.21 It wasn’t until the last time that I realized22 “I don’t want to be here.”23 Q. Your mother was worried, but she always came24 back, right. Right.25 A. I guess so.26 Q. Okay. I’m going to show you some27 photographs that have been premarked.28 They’ve been shown to the prosecutor, Your 20391 Honor.2 THE COURT: All right.3 MR. MESEREAU: May I approach.4 THE COURT: They’re not in evidence yet.5 MR. MESEREAU: Not yet.6 THE COURT: Can you just give me the numbers.7 It’s for my notes. No, just -- what’s the run.8 MR. MESEREAU: It’s Exhibit 5020 through9 Exhibit 5029.10 THE COURT: Thank you.11 MR. MESEREAU: Thank you, Your Honor.12 Q. Mr. Arvizo, I’m going to show you some13 photographs, and ask you if they appear accurate to14 you. The first one says “Jean Seamont, DDS.” Do15 you see that.16 A. Yes.17 Q. Do you remember going to that office.18 A. That might be a little -- it’s like the -- a19 little -- I don’t know exactly how it is, but --20 Q. It’s like a sign.21 A. Yeah, a sign. There we go.22 Q. Okay. And that’s -- that looks accurate to23 you, right.24 A. Yes.25 Q. Okay. And that is Exhibit 5020.26 Now I’m showing you Exhibit 5021. Does that27 look familiar to you.28 A. A little bit. Yeah. That looks like the 20401 place that they took us to.2 Q. That’s the dentist’s office, right.3 A. Yes.4 Q. Appears accurate to you.5 A. Yes.6 Q. Okay. Now I’m showing you Exhibit 5022. Do7 you see that.8 A. Yes, I see it.9 Q. And that’s downtown Solvang, right.10 A. I don’t know.11 Q. That’s near the dental office, isn’t it.12 A. I don’t know if that was the same place.13 Q. Does it look accurate to you.14 A. I don’t know where that is.15 Q. Okay. Now I’m showing you Exhibit 5023. Do16 you see that.17 A. Yes.18 Q. And does that look like the inside of the19 dentist’s office.20 A. I think so.21 Q. Okay. Looks accurate to you.22 A. I think it was the dentist’s office.23 Q. Okay. And now I’m showing you Defense24 Exhibit 5024. Do you see that.25 A. Yes.26 Q. And that’s the inside of the dentist’s27 office, right.28 A. I think so. 20411 Q. Looks accurate to you.2 A. Yes.3 Q. And now I’m showing you Defense Exhibit4 5025. Do you see that.5 A. Yes.6 Q. And that’s the inside of the dentist’s7 office, right.8 A. I don’t know if that’s the same place they9 did my stuff, but, I mean, it looks --10 Q. Looks accurate to you.11 A. Yeah.12 Q. Okay. I’m showing you now Exhibit 5026.13 Do you see that.14 A. Yes.15 Q. Inside of the dentist’s office, right.16 A. Yes.17 Q. Look accurate to you.18 A. Yes.19 Q. Now I’m showing you Exhibit 5027. Do you20 see that.21 A. Yes.22 Q. And that’s also the inside of the dentist’s23 office, right.24 A. I think so, yes.25 Q. Look accurate to you.26 A. Yes.27 Q. I’m now showing you Exhibit 5028. Do you28 see that. 20421 A. Yes.2 Q. That’s the outside of the dentist’s office,3 right.4 A. I don’t know. I never went out there.5 Q. Does it look accurate to you.6 A. I don’t know. I never went out there.7 Q. Okay. And now I’m showing you Exhibit 5029.8 Do you see that.9 A. Yes.10 Q. That’s the outside of the dentist’s office,11 right.12 A. I don’t know.13 Q. Does it look accurate to you.14 A. I don’t know. I never went out there.15 Q. Okay.16 Unless there’s an objection, I’ll move these17 photographs into evidence.18 MR. SNEDDON: Well, excuse me, Your Honor.19 There is an objection to the ones he said he didn’t20 know anything about, so that would be --21 THE COURT: I’ve got it. 5023 is not22 admitted. 5025 and 502 -- no, 5028 and 5029 are not23 admitted. The others are all admitted.24 Q. BY MR. MESEREAU: You don’t know how long25 you were at that dental office, correct.26 A. No.27 Q. Did you ever see any telephones --28 THE BAILIFF: Is your microphone on. 20431 MR. MESEREAU: Oh. Pardon me. Let me start2 again.3 Q. You don’t know how long you were at that4 dental office, right.5 A. No.6 Q. Did you ever see any phones in that dental7 office.8 A. No -- well, there’s probably one in the9 front. But I didn’t see one in that picture,10 though.11 Q. Did anyone in your family ever complain12 while you were at that dental office, “We’re being13 held against our will,” to your knowledge.14 A. No.15 MR. MESEREAU: Your Honor, I’d like -- I16 have in front of me a Neverland Valley guest book17 I’d like to be marked next in order.18 THE COURT: That would be 5030.19 MR. MESEREAU: Yes, please.20 MR. SANGER: There is a 5030.21 THE CLERK: We already have a 5030. So that22 would be 5031.23 THE COURT: Excuse me. 5031.24 THE CLERK: Yes.25 Q. BY MR. MESEREAU: Mr. Arvizo, I have --26 Excuse me, Your Honor.27 Oh.28 MR. SNEDDON: Excuse me, you know, could -- 20441 Your Honor, we’ve never seen this. It wasn’t2 provided to us.3 MR. MESEREAU: We produced it to them, Your4 Honor.5 MR. SNEDDON: I haven’t seen the book. And6 I’d like to look at it before he asks any questions.7 THE COURT: We’ll organize this. You let8 her -- there you go. You got the label on it.9 Would you show it to the District Attorney.10 MR. MESEREAU: Yes, Your Honor.11 (Off-the-record discussion held at counsel12 table.)13 MR. MESEREAU: Your Honor, I have in front14 of me Defense Exhibit 5034 (sic).15 THE COURT: They can’t hear you.16 MR. MESEREAU: Oh. Here we go again.17 I have in front of me Defense Exhibit 5031,18 which is a Neverland Valley guest book.19 May I approach the witness.20 THE COURT: Yes.21 Q. BY MR. MESEREAU: Mr. Arvizo, I’m showing22 you a Neverland Valley guest book that’s listed as23 Exhibit 5031. Have you seen that before.24 A. Yes.25 Q. Where have you seen this before.26 A. In the front of the -- the -- where you walk27 in the front entrance, there’s like this podium-type28 thing, and it sat on there.6. 204512 Q. Now, there’s some writing on the cover of3 that book. Do you see that.4 A. Yes.5 Q. Is that your writing.6 A. No.7 Q. You didn’t write that.8 A. No. That’s my brother’s, I think.9 Q. Well, it says “Gavin,” doesn’t it.10 A. Yeah.11 Q. You didn’t write that.12 A. It says “Blow Hole and Gavin.”13 Q. Okay. Do you know who wrote that.14 A. “Blow Hole’s” my brother.15 Q. You didn’t write that at all.16 A. No.17 Q. Okay. Do you know why your brother wrote on18 the cover of the guest book.19 A. Because it looked cool. Because it’s on the20 part where you can see it. I don’t know. You21 should ask my brother.22 Q. Did you see him do that.23 A. No.24 Q. Did you ever talk to him about it.25 A. No.26 Q. Now, you had looked through this guest book27 before, correct.28 A. I didn’t really look through it, but I 20461 signed it once.2 Q. Okay. So your signature would be in there.3 A. I don’t know if my signature would be in4 there. But I remember --5 Q. I’m sorry.6 A. I don’t know if my signature was in there,7 but I remember saying, like, “Thanks for letting us8 come to Neverland,” and it was the first time I’d9 ever been to Neverland.10 Q. Okay. But this is the book you saw at11 Neverland, right.12 A. Yes.13 Q. Okay.14 Move to admit Defense Exhibit 5031.15 MR. SNEDDON: Your Honor, I have no16 objection to either option. They can put in a17 photocopy of the front, which is what he was18 questioned about, but as to the entire contents, I19 object.20 THE COURT: All right. The objection is21 sustained as to the contents.22 MR. MESEREAU: Okay. With your permission,23 Your Honor, we can just get a duplicate of the24 cover.25 THE COURT: That would be fine.26 MR. MESEREAU: Okay. Okay.27 THE COURT: You can leave -- is there an28 agreement that once he gets the duplicate of the 20471 cover, that he can exchange the duplicate for the2 original and remove the original. Or do you want to3 wait until the end of the trial for that.4 MR. SNEDDON: No, that would be fine, Your5 Honor. I’m just at a little bit -- “duplicate”6 meaning --7 THE COURT: The duplicate of the cover is8 what he was saying.9 MR. MESEREAU: Yeah.10 MR. SNEDDON: Will it have the same writing11 on it.12 THE COURT: “Duplicate” usually means the13 same. I mean, it’s a duplicate.14 MR. SNEDDON: All right. I’ll wait till the15 duplicate comes in, and we can talk about it then.16 How’s that.17 THE COURT: Okay. All right. Go ahead,18 Counsel.19 MR. MESEREAU: Thank you, Your Honor.20 Q. Mr. Arvizo, according to you, it’s your21 brother’s handwriting, right.22 A. It kind of looks like it. But I don’t know23 if it is.24 Q. And it says, “Hi, Doe-Doe, it’s your Blow25 Hole. I love with you all my heart. Love forever,26 your Blow Hole, Gavin.” Do you see that.27 A. It says “Blow Hole and Gavin.” It doesn’t28 say “Blow Hole” -- 20481 Q. It looks like an “F.”2 THE COURT: Counsel, you’re testifying.3 MR. MESEREAU: I’m sorry, Your Honor. Okay.4 Q. You didn’t see your brother do this, right.5 A. No --6 MR. SNEDDON: Asked and answered, Your7 Honor.8 THE COURT: Sustained.9 MR. MESEREAU: Your Honor, I have in front10 of me an exhibit, No. 5032, which is a photocopy of11 a mannequin.12 I’d like to approach the witness, if I may.13 Q. Mr. Arvizo, I’m showing you a document14 that’s labeled Exhibit 5032. Do you see that.15 A. Yes.16 Q. And that appears to be a photograph of a17 mannequin, correct.18 A. Yes.19 Q. Appears to be an African-American girl with20 braids, right.21 A. Yes.22 Q. With a blue jean jacket, right.23 A. Yes.24 Q. And a pink shirt. Do you see that.25 A. Yes.26 Q. Have you seen that mannequin before.27 A. Yes, I saw it in Michael’s bedroom.28 Q. Is that the mannequin that you’re claiming 20491 Mr. Jackson simulated a sex act with.2 A. Yes.3 Q. Okay. Now, did you ever discuss with Mr.4 Jackson where that mannequin came from.5 A. No. He said that -- there was a bunch of6 mannequins all over his bedroom.7 Q. Well, did he ever tell you this was8 something that was custom made and it’s a mannequin9 of a cousin of his.10 A. No. He just said that he has lots of11 mannequins.12 Q. So you never discussed with him what this13 mannequin was all about, right.14 A. No.15 Q. You never knew that this mannequin was16 something that was paid for and custom made because17 it’s his cousin.18 A. He never told me that.19 Q. Okay. Okay. When did you first see this20 mannequin.21 A. In his bedroom. Where the bed actually is.22 Q. And do you know approximately when that was.23 A. I don’t -- probably the first time I went in24 his room I saw it there. And then the second time I25 was in his room. All the way after Miami was when26 we made the joke about it.27 Q. At some point you learned that somebody had28 defaced that mannequin, right. 20501 A. Defaced. What do you mean.2 Q. Yes. Somebody had taken like a magic marker3 and messed up that mannequin, right.4 A. No, I don’t remember that.5 MR. MESEREAU: Your Honor, at this time I’d6 like to approach the witness and show him Exhibit7 No. 5033, which is a photograph --8 THE COURT: All right.9 MR. MESEREAU: -- of a mannequin as well.10 Q. Mr. Arvizo, I’m showing you Defense11 Exhibit No. 5033. Do you see that.12 A. Yes.13 Q. And do you see where somebody went into the14 vaginal portion of that mannequin and defaced it15 with a magic marker.16 A. Yes. I see that, I guess.17 Q. You know who did that, don’t you.18 A. No.19 MR. MESEREAU: May I publish this, Your20 Honor.21 THE COURT: No.22 Q. BY MR. MESEREAU: You don’t know who did23 that at all.24 A. No.25 Q. You didn’t do it.26 A. No.27 Q. Your brother didn’t do it.28 A. No. 20511 MR. MESEREAU: May I approach one more time.2 THE COURT: Yes.3 Q. BY MR. MESEREAU: Do you see the skirt on4 the mannequin in Defense Exhibit 5032.5 A. Yes.6 Q. Same material as you see on the mannequin in7 Defense Exhibit 5033, right.8 A. I guess so. Yeah.9 Q. But you’ve never seen this defaced10 portion --11 A. No.12 Q. -- right.13 A. No. No.14 Q. Do you know why your brother defaced the15 guest book.16 MR. SNEDDON: Your Honor, I’m going to17 object. Counsel’s testifying. And he’s already18 said he didn’t do it.19 MR. MESEREAU: I didn’t ask if he did it.20 THE COURT: Sustained; calls for speculation.21 MR. MESEREAU: Okay. Move to admit Defense22 Exhibits 5032 and 5033, Your Honor.23 THE COURT: They haven’t been properly24 identified. So it’s denied.25 MR. MESEREAU: Exhibit 5032 is the26 photograph of the mannequin that I showed27 Mr. Sneddon.28 THE COURT: That one is admitted. 20521 MR. MESEREAU: And 5033 is also a photograph2 of the same mannequin.3 THE COURT: But it hasn’t been identified as4 to the marking you’re talking about. He has never5 seen it that way, so we don’t know who did it, when6 it was done. There’s no foundation.7 MR. MESEREAU: We’ll do it -- we’ll do it8 later, then.9 THE COURT: All right. No foundation.10 MR. MESEREAU: Okay. All right.11 Q. Finally, Mr. Arvizo, in your direct12 examination, you commented a couple of times on13 Mr. Jackson wearing makeup. Do you remember that.14 A. Here.15 Q. When you were answering Prosecutor Sneddon’s16 questions, a couple of times you used the word17 “makeup” in referring to Michael Jackson, right.18 A. I said one time when he was -- a story about19 a time when we were in the room where his makeup20 was, but I don’t remember me saying it a lot of21 times.22 Q. Now, you knew that Michael Jackson has a23 skin disease called vitiligo, right.24 A. He told me about it.25 Q. And he told you that he’s an26 African-American man with a skin disease that eats27 up pigment in his skin, correct.28 A. Yes. 20531 Q. And you knew that that disease was causing2 certain patches of white and brown on his skin,3 right.4 A. Yes. I guess.5 Q. And --6 A. I don’t know. It’s not like I was making7 fun of him yesterday, if that’s what you’re trying8 to imply.9 Q. Well, you knew that his skin is vulnerable10 to sunlight, correct.11 A. Yes.12 Q. And that’s why you see him with an umbrella,13 correct.14 A. Yes.15 Q. And you also knew, because of the patches16 that appear on his skin from that disease, he does17 sometimes put some makeup on, right.18 A. I didn’t know about patches. I thought he19 was just all white.20 Q. Well, you discussed the skin disease with21 him, right.22 A. Yes.23 Q. You knew the skin disease was changing the24 color of his skin, right.25 A. That’s what he told me.26 Q. And you knew that’s why he put makeup on;27 true.28 A. Not really. I thought it was just because 20541 he had, like -- because he -- he didn’t have pink on2 his lips, so he would put makeup on his lips.3 I mean, I wasn’t making fun of him4 yesterday, if that’s what you are trying to say.5 Q. You weren’t making fun of him at all.6 A. No.7 Q. Okay. Now, you’re aware, are you not, that8 you have until the age of 18 to file a lawsuit9 against Mr. Jackson if you choose to, correct.10 A. No.11 Q. You’ve never discussed that with your12 mother.13 A. No.14 Q. Never discussed that with Larry Feldman, the15 attorney.16 A. No.17 Q. And never discussed it with Bill Dickerman,18 the attorney.19 A. No.20 Q. Okay. You’re also aware that if Mr. Jackson21 is convicted, you could automatically win that civil22 suit, right.23 A. No.24 Q. No one’s ever discussed that with you.25 A. No. We said things like, oh, we don’t want26 his money, and stuff like that.27 Q. Never discussed that issue with any28 attorney, right. 20551 A. No.2 Q. First time you’ve heard about it.3 A. About that I can -- you just told me now4 that I can sue him till I’m 18 or something like5 that. I didn’t even know about that stuff.6 Q. Didn’t even know about that, right. And7 never heard your mother mention it.8 A. No.9 MR. MESEREAU: No further questions.10 THE COURT: Redirect.11 MR. SNEDDON: Yes.1213 REDIRECT EXAMINATION14 BY MR. SNEDDON:15 Q. Morning, Gavin.16 A. Hey, Tom.17 Q. I’m going to ask you just a few questions.18 It won’t be long.19 First of all, with regard to this particular20 case, Mr. Mesereau has asked you a lot of questions21 about did you have conversations with your brother22 and your mother and other people about what you’ve23 testified here in court today.24 A. Uh-huh.25 Q. Do you recall those questions.26 A. Yes.27 Q. And you said you did not.28 A. Yes. 20561 Q. Were you given some instructions with regard2 to who you could talk to and who you couldn’t talk3 to about this case.4 A. You guys told us that we can’t talk to5 anybody about this case. Well, our family and --6 anyone that was, like, involved; you know what I7 mean.8 Q. When were you told that.9 A. When the case first started.10 Q. So from the time you were first involved in11 the case till today, those were the instructions you12 were given.13 A. Yes.14 Q. And have you followed those instructions15 faithfully.16 A. Yes.17 Q. Mr. Mesereau asked you yesterday about the18 fact that when you went through chemotherapy you had19 some temporary memory loss and inability to20 concentrate at some points in time.21 A. Yes.22 Q. At the time that these events occurred at23 Neverland Ranch involving you and the defendant,24 Michael Jackson, were any of those effects from the25 chemotherapy still present with you.26 A. No, they went away after a while.27 Q. Do you remember Mr. Mesereau asking you28 about a video that was taken during one of your 20571 first trips to Neverland, with you and Mr. Jackson,2 when we saw the music “I’ll Be There”. Do you3 remember that one.4 A. The one where he carried me and stuff.5 Q. Yeah. Do you remember that video.6 A. Yes.7 Q. When was the first time you saw that video.8 A. Um, it was probably -- I think they brought9 it to Chris at his house, and that was the first10 time I saw it.11 Q. Who brought it to Chris.12 A. I think it was -- or -- I don’t remember the13 first time. It could have been either at the hotel14 in Miami or at Chris’s house before we left. But15 I’m not sure.16 Q. So up until the time -- that photograph was17 taken back in 2000 when you were just starting your18 chemotherapy, correct.19 A. Yes.20 Q. So from the time in 2000 when the video was21 produced until the time that you went to Miami, or22 shortly before Miami, with Chris Tucker, you had23 never been given a copy of that by Mr. Jackson.24 A. No.25 Q. Did Mr. Jackson ever visit you in the26 hospital when you were sick.27 A. Never.28 Q. Now, you told us that you had some telephone 20581 numbers for Mr. Jackson that had been given to you2 by Mr. Jackson or somebody else.3 A. Yes.4 Q. Who gave you the phone numbers.5 A. It was usually Michael. But, like, Frank6 gave me his phone and he said that he was usually7 with Michael, so that I can call his phone and then8 he can give me Michael.9 Q. Were there times when you called Frank’s10 phone and got ahold of Mr. Jackson.11 A. Yes.12 Q. Now, did you have conversations with the13 defendant, Mr. Jackson, about his relationship with14 the person that you call Frank Tyson.15 A. Yeah. Frank told me, like, he’s like his --16 MR. MESEREAU: Objection; hearsay.17 THE COURT: Sustained.18 Q. BY MR. SNEDDON: You say you had a19 conversation.20 A. Yeah. I had a conversation, yes.21 Q. All right. Now, first of all, I want to ask22 you, did Mr. Jackson make statements about his23 relationship with Frank.24 A. Yes.25 MR. SNEDDON: Your Honor, offered under26 1223.27 MR. MESEREAU: Same objection.28 THE COURT: I’ll admit it. These are 20591 statements by Mr. Jackson.2 MR. SNEDDON: They are, Your Honor. About3 his relationship with a co-conspirator.4 THE COURT: All right. These are admitted5 conditionally, as the other statements were.6 Q. BY MR. SNEDDON: Now, what did the7 defendant, Mr. Jackson, say about his relationship8 with Frank Tyson.9 A. He told us that Frank was like his second10 cousin or something. And then that Michael would11 change his diapers when he was a baby, and stuff12 like that.13 Q. So he had known him for a long, long time.14 A. Yes.15 Q. Now, when you testified, you were asked by16 Mr. Mesereau some questions concerning the Martin17 Bashir documentary. Do you recall that.18 A. Yes.19 Q. Now, what I want to ask you is, before you20 went to Miami and saw Mr. Jackson in Miami -21 okay. --22 A. Uh-huh.23 Q. -- what was it -- what portions of that24 video had you seen at anyplace.25 A. I haven’t seen it -- I didn’t see it at all.26 I just saw news media talking about it, talking27 about a movie or something. I didn’t really know28 what it was until I got to Miami. 20601 Q. So before you went to Miami you had heard2 media talking about it. Did you actually see any3 footage on T.V..4 A. No.5 Q. You just heard the voices.6 A. Yes.7 Q. When you got to Miami, did you see the8 Bashir video.9 A. No, Michael didn’t want us to see it in his10 hotel so --11 Q. Did you see any parts of it.12 A. No.13 Q. Now, you told the ladies and gentlemen of14 the jury that when you went to Miami that you were15 upset with somebody over the Bashir documentary. Do16 you recall that.17 A. Um --18 Q. Actually, let me rephrase that.19 Mr. Mesereau asked you if your mother was20 upset with somebody when you went to Miami. Do you21 recall that.22 A. Not really.23 Q. Were you upset with anybody, or angry.24 A. I was angry at -- kind of angry at Martin25 Bashir.26 Q. At who.27 A. Martin Bashir.28 Q. Do you know what your mother’s attitude was 20611 towards that, if you know.2 A. I don’t remember.3 Q. Now, you told the ladies and gentlemen of4 the jury a few moments ago that when Mr. Mesereau5 asked you how you knew Mr. Jackson was in Miami, do6 you recall that question.7 A. I’m sorry, can you repeat the question.8 Q. I want to take you to that point in time9 with regard to where you -- when you learned that10 Mr. Jackson was in Miami.11 A. Okay.12 Q. Before you went to Miami.13 A. Okay.14 Q. Okay. Who was it that told you that15 Mr. Jackson was in Miami.16 A. Michael. Evvy said that Michael’s going to17 call me in a few minutes. Well, I told my mother.18 And then Michael called on the phone, and I19 picked up, and he told me that he was in Miami and20 he wanted me to go over there.21 Q. Was that the first time that you learned22 that Mr. Jackson was in Miami.23 A. Yes.24 Q. And that’s when he invited you to be a part25 of a press conference.26 A. Yes.27 Q. Just a couple of questions about things that28 happened at the ranch. You were questioned by Mr. 20621 Mesereau about the nanny named Grace. Do you recall2 that.3 A. Yes.4 Q. And about -- specifically about the area5 upstairs, where it had some -- a chalkboard and some6 tables and things.7 A. Yes.8 Q. During the time that you were at the ranch,9 did you ever see anybody other than Grace come in as10 a teacher to the children.11 A. I think they switched -- I think Grace went12 away for a while. And then some other lady came.13 Q. Do you know who that lady was.14 A. No.15 Q. Okay. Now, you’ve identified in one of the16 photographs a person by the name of Aldo. Do you17 recall that.18 A. Yes.19 Q. Was Aldo at the ranch during times that you20 were there with Mr. Jackson.21 A. Yes.22 Q. Do you recall when it was that you were23 there -- when -- Tuesday morning.24 Do you recall in relationship to when you25 and Mr. Jackson were there, what part of the visit26 was it that Aldo was there.27 A. In the beginning.28 Q. Now, there was a considerable amount of 20631 discussion about the codes that were needed to get2 into certain areas of the ranch.3 A. Uh-huh.4 Q. Do you recall that.5 A. Yes.6 Q. Now, with regard to the -- let’s just run7 through this real quickly. With regard to the8 theater, did you need a code to get in there.9 A. No.10 Q. With regard to the arcade, did you need a11 code to get in there.12 A. No.13 Q. With regard to the main house, did you need14 a code to get in there.15 A. Yes.16 Q. In the front door.17 A. No, in the back door. Oh, it was in the18 front door, I never really saw one. But, I mean, we19 always went through the back door.20 Q. So there was a code that was necessary to21 know to get into the back door of the house.22 A. Yes.23 Q. And then there was a code to get into Mr.24 Jackson’s bedroom, we’ve heard a great deal about.25 A. Yes.26 Q. Were there any other areas on the ranch that27 you know of that you needed a code to get into those28 areas. 20641 A. No, there was no other place.2 Q. How about Mr. Jackson’s office.3 A. I don’t really remember if there was a code4 needed to get in there. I don’t think there was.5 Q. When you went to Miami with Chris Tucker on6 his charter plane to meet Mr. Jackson, did you want7 to meet Mr. Jackson.8 A. Yes.9 Q. Gavin, when you testified in front of the10 grand jury, did you tell the truth.11 A. Yes.12 Q. And when you testified in front of the grand13 jury, were the things that you told the grand jury14 fresh in your mind at that time.15 A. They were probably fresher.16 MR. MESEREAU: Objection; leading.17 MR. SNEDDON: Your Honor, I’m laying the18 foundation for an Evidence Code section exception.19 THE COURT: All right. The objection is20 overruled. The answer was already in. Next21 question.22 Q. BY MR. SNEDDON: Yesterday Mr. Mesereau23 showed you a number of cards, greeting cards, that24 were sent to Mr. Jackson by you and other members of25 your family.26 A. Yes.27 Q. Were some of those -- were any of those28 cards in handwritings other than yours. 20651 A. Yes. Some were mine.2 Q. Yesterday you made a statement to the jury3 in response to one of Mr. Mesereau’s statements.4 You made a statement something to the effect, “God5 gave me cancer to guide me in a certain way.” Do6 you recall that.7 A. Yes.8 Q. What did you mean by that.9 A. Well, through -- when I had cancer, I got10 really close to God.11 And they had like missions all over the West12 Coast down to Mexico praying for me. They had --13 I don’t know. Something happened where they had a14 picture and they put on a wall.15 And then my friend went to Israel and put a16 picture on this wall where they put, like, all these17 people that have, like, diseases and stuff like18 that.19 And then -- I don’t know. Because of my20 cancer, my parents started fighting more, I guess.21 And -- I mean, it sounds kind of sad that they got22 divorced, but, I mean, it was kind of a window, I23 believe, to find my stepdad and -- because it’s a24 lot better than it was before having my stepdad in25 my life.26 Q. Now, you’re currently in school, correct.27 A. Yes.28 Q. Just -- are you in school. 20661 A. Yes.2 Q. You’re in a high school.3 A. Yes.4 Q. What grade are you.5 A. I’m in ninth grade.6 Q. And yesterday you were asked -- I think you7 made the statement rather candidly, you were asked8 by Mr. Mesereau, were you a discipline problem, and9 you said yes, when you were at John Burroughs.10 A. Yes.11 Q. Okay. Currently in the high school that12 you’re in, do you get good grades.13 A. Yes.14 Q. Did you make the honor roll.15 A. Yes.16 Q. Do you get in fights anymore.17 A. No.18 MR. MESEREAU: Objection; relevance.19 THE COURT: Overruled. The answer was “No.”20 Next question.21 Q. BY MR. SNEDDON: Have you had any discipline22 problems.23 A. No.24 Q. Are you involved in after-school activities.25 MR. MESEREAU: Objection; relevance.26 THE COURT: Sustained.27 Q. BY MR. SNEDDON: During the time that you28 were -- let’s go back just a second. In the year, I 20671 believe you testified 2001, at some point your2 father left; is that correct.3 A. Right after I was done with cancer, I didn’t4 see him anymore.5 Q. What was the impact on you when your dad6 left.7 A. I cried every night.8 Q. For -- why.9 A. Because, I mean, I didn’t have a dad10 anymore. I mean, I was kind of happy that he left11 because he hit my mom a lot, but I didn’t -- I just12 felt like I didn’t have anybody. Any father; you13 know what I mean.14 Q. Yeah. And you don’t feel that way anymore.15 A. No.16 Q. Because of.17 MR. MESEREAU: Objection; relevance.18 THE WITNESS: My stepdad.19 THE COURT: Overruled.20 THE WITNESS: Because of my stepdad.21 Q. BY MR. SNEDDON: So it was the relationship22 with your stepdad that changed that feeling.23 A. Yes.24 Q. So let’s talk a little bit about some of the25 things Mr. Mesereau talked about yesterday. Mr.26 Geraldt. He talked about an incident where you had27 a run-in with Mr. Geraldt that ended up you going to28 see Mr. Alpert. Do you recall that. 20681 A. I don’t know if I saw Mr. Alpert, but I2 remember seeing a -- some -- someone that was in the3 office.4 Q. Did you ever receive any discipline as a5 result of that incident with Mr. Geraldt.6 A. No, I don’t think -- no, they never even did7 anything.8 Q. Now, when you went back to school after you9 left Neverland Ranch - okay. --10 A. Yes.11 Q. -- March and April, you were at John12 Burroughs, correct.13 A. Yes.14 Q. Did -- what was -- what was it like when you15 went back to school.16 A. All the kids would laugh at me and try to17 push me around and stuff, and say, “That’s the kid18 that got raped by Michael Jackson,” and stuff like19 that.20 Q. Did -- what was your reaction to that.21 A. I would sometimes not say anything and just22 walk away. And if they got close enough, sometimes23 I would fight them. After they hit me first,24 because I didn’t like to throw the first punch,25 because I believe that -- I mean --26 MR. MESEREAU: Objection; nonresponsive.27 THE COURT: I’ll sustain the objection.28 In the middle, “After they hit me first,” is where 20691 it stops.2 MR. SNEDDON: Thank you, Your Honor.3 Q. So there were fights that you got into after4 you left Neverland Valley Ranch because of the5 things that the kids were saying to you.6 A. Yes.7 Q. And when you get in a fight, what happens.8 Where do you have to go.9 A. They took us to Dean Alpert.10 Q. Now, you were asked yesterday whether you11 had a conversation with Dean Alpert where he asked12 you whether or not Mr. Jackson had touched you. Do13 you recall that.14 A. Yes.15 Q. And you recall that you probably told him it16 didn’t happen, correct.17 A. I told him that it didn’t happen.18 Q. Okay. You told him it didn’t happen.19 A. Yes.20 Q. Okay. Why did you tell him that.21 A. Because all the kids were already making fun22 of me in school, and I didn’t want anybody to think23 that it really happened.24 Q. Gavin, have you ever been a member of a25 gang.26 A. No.27 Q. Did anybody ever ask you to join a gang.28 A. Yes. 20701 Q. What happened.2 A. They jumped me because I said no. So I got3 in a fight with a bunch of guys.4 Q. Because you wouldn’t join a gang.5 A. Yes.6 Q. Almost done. Just a couple more easy7 questions and --8 Mr. Mesereau asked you yesterday about going9 to Anchor Blue. Do you recall that.10 A. Yes.11 Q. How many times do you recall going to shop12 at Anchor Blue.13 A. Once.14 Q. Now, the suitcases that they bought you --15 I just want to talk about you individually, okay. --16 A. Okay.17 Q. -- was it more than one.18 A. It was -- like, they had this package thing19 where you would buy one, and they would have all --20 they would have this big one, and in the inside it21 would be one smaller, and another one that was even22 smaller that was a carry-on bag.23 Q. So you had a series of suitcases.24 A. Yeah, and -- yes.25 Q. And when you left Neverland, did you take26 all those suitcases with you, you personally.27 A. I think I just took the -- no, I didn’t take28 them. They -- after we left and we stopped -- we 20711 didn’t want to go back --2 Q. Okay.3 A. -- Frank and Vinnie showed up on our door4 and they were knocking on the door. And then we5 waited until they left, and we looked outside and6 our suitcases were there.7 Q. Did you open your suitcase and go through8 it.9 A. Yes.10 Q. Was there anything missing.11 A. Yeah.12 Q. What.13 A. Some of my underwear, some of my shirts, a14 couple pants, and stuff like that. And they put in15 some other guy’s pants.16 Q. Did you ever have a conversation with the17 defendant in this case, Mr. Jackson, about your18 underpants.19 A. Yes.20 Q. Tell the jury about it.21 MR. MESEREAU: Objection; beyond the scope.22 THE COURT: Overruled.23 THE WITNESS: There was one time that I slept24 in his room - and he was probably joking but I kind25 of took it serious - I had pajamas on and -- I was26 using his pajamas. And I told him I was going in to27 take a shower in my unit.28 And then he was like, “Leave your stinking 20721 underwear in the hamper,” or something like that.2 And then so -- because I had to change out3 of my clothes to go to my unit. And then I don’t4 know if he was joking or not, but I actually did.5 Q. BY MR. SNEDDON: Did what.6 A. Put my underwear in the hamper.7 Q. Did you ever get those back.8 A. No.9 Q. With regard to the items that were dropped10 at your -- at your door by Frank and Vinnie, that11 was after you left Neverland for good.12 A. Yes.13 Q. Okay. Gavin, I just have one last question14 to ask you: Yesterday in response to Mr. Mesereau’s15 questions, you told him that Mr. Jackson was like a16 father figure to you; is that correct.17 A. Michael Jackson.18 Q. Yeah.19 A. Yes.20 Q. And that you thought he was one of the21 coolest guys in the world, correct.22 A. Yes.23 Q. And that you admired him.24 A. Well, I only admire God, but he was a pretty25 cool guy.26 Q. How do you feel about Mr. Jackson now in27 light of what he did to you.28 MR. MESEREAU: Objection. 352; relevance; 20731 leading.2 THE COURT: Overruled.3 THE WITNESS: I don’t really like him4 anymore. I don’t think he’s really that deserving5 of the respect that I was giving him and as the6 coolest guy in the world.7 MR. SNEDDON: Nothing further, Your Honor.8 THE COURT: Recross.9 MR. MESEREAU: Yes, please, Your Honor.1011 RECROSS-EXAMINATION12 BY MR. MESEREAU:13 Q. Mr. Arvizo, did you discuss your testimony14 of yesterday with anyone last evening.15 A. No.16 Q. Did you discuss any of it with Mr. Sneddon.17 A. No.18 Q. Was the last meeting you had with Mr.19 Sneddon Sunday night.20 A. Yes.21 Q. Did you discuss your testimony with any22 attorney or employee of an attorney last night.23 A. No.24 Q. Okay. Did anyone talk to you about what25 Mr. Sneddon was going to ask you today.26 A. No.27 Q. Okay. Now, did you have a meeting at a law28 office last Saturday. 20741 A. No.2 Q. Anyone in your family go to a law office3 last Saturday, to your knowledge.4 A. No.5 Q. Never heard about it.6 A. No.7 Q. Okay. When is the last time you talked to8 any lawyer associated with Larry Feldman’s office.9 MR. SNEDDON: Your Honor, I’m going to10 object as beyond the scope of the redirect.11 THE COURT: Sustained.12 Q. BY MR. MESEREAU: Mr. Arvizo, when you were13 having disciplinary problems at school, they went14 far beyond just fighting with students, didn’t they.15 A. No, it was everything that I told you.16 That’s what happened.17 Q. You were repeatedly accused of disrespecting18 teachers, right.19 A. That’s what I told you yesterday.20 Q. Okay. And you didn’t even show up for21 detention much of the time when you were ordered to,22 right.23 A. No, I showed up at every detention.24 Q. Well, do you recall never showing up for a25 detention that Teacher Parker ordered you to attend.26 A. No.27 Q. Don’t recall that.28 A. No. 20751 Q. Okay. You were accused of getting up in the2 middle of class and disrupting everything, right.3 MR. SNEDDON: Your Honor, I’m going to4 object as asked and answered. We went through this5 yesterday.6 THE COURT: Sustained.7 MR. MESEREAU: No further questions, Your8 Honor.9 THE COURT: All right. Do you have anything10 further, Mr. Sneddon.11 MR. SNEDDON: No, Your Honor.12 THE COURT: You may step down.13 Call your next witness.14 MR. MESEREAU: Your Honor, may the witness15 be subject to re-call.16 THE COURT: Yes. He’s not excused.17 MR. MESEREAU: Thank you, Your Honor.
Gavin Arvizo Cross Examination
3 THE COURT: Cross-examine.45 CROSS-EXAMINATION6 BY MR. MESEREAU:7 Q. Gavin, my name is Thomas Mesereau and I8 speak for Mr. Jackson. Okay.9 A. Okay.10 Q. I’m on his side. All right.11 A. All right.12 Q. Not the government. I’m on Mr. Jackson’s13 side. Okay.14 We’ve never spoken before, right.15 A. No.16 Q. We’ve never met, right.17 A. No.18 Q. If I ask you any question and you don’t19 understand the question, just say so. Don’t answer20 it. Okay.21 A. Okay.22 Q. If something seems unclear, just say, “It’s23 unclear, I don’t understand it.” Okay. And I’ll24 try and rephrase it.25 A. Okay.26 Q. Now, you’ve told the jury that it was not27 till after your interview with three social workers28 that any inappropriate touching happened, right. 16861 A. Hmm.2 Q. Did you tell the jury that it was not until3 after your interview with three social workers in4 Los Angeles --5 A. Yes.6 Q. -- that Mr. Jackson inappropriately touched7 you.8 A. It was after.9 Q. It was after, right.10 A. Yes.11 Q. Now, in that interview, you told the three12 social workers that Mr. Jackson was a good guy,13 right.14 A. Yes.15 Q. You said he had been like a father figure to16 you, right.17 A. Yes.18 Q. You said he had helped you with your cancer,19 correct.20 A. Um, I don’t know in that interview if I did.21 But I just said he was a good guy.22 Q. You said a lot of good things about him,23 true.24 A. Pretty much, yeah.25 Q. Okay. Now, that was the point in time where26 you claim that Mr. Jackson wanted your family to go27 to Brazil, right.28 A. I don’t know if I told the social workers 16871 that we were going to go to Brazil. I don’t think I2 did.3 Q. But your statement about Mr. Jackson and4 Frank wanting you to go to Brazil was before or5 after the three social workers interviewed you.6 A. The statement to who.7 Q. You said that Mr. Jackson said something8 about wanting you to go to Brazil, didn’t you.9 A. Yes.10 Q. And when was that, approximately.11 A. When Michael wanted me to go to Brazil.12 Q. Yes.13 A. I’m not too sure.14 Q. Was it before or after you interviewed the15 three social workers -- or, excuse me, they16 interviewed you.17 A. I’m not too sure, but I believe --18 Q. Well, you left Neverland --19 MR. SNEDDON: Your Honor, he’s answering the20 question.21 MR. MESEREAU: Pardon me. Pardon me.22 THE COURT: Go ahead.23 THE WITNESS: I believe we went to Calabasas24 after -- I think it was after the social workers.25 Q. BY MR. MESEREAU: So you went to Calabasas26 after the interview with the social workers, right.27 A. Yes.28 Q. The interview with the social workers was at 16881 Jay Jackson’s apartment, right.2 A. Yes.3 Q. And Vinnie took you to Calabasas, correct.4 A. Yes.5 Q. You stayed at the Calabasas Inn, right.6 A. Vinnie and Frank took us there.7 Q. Yes. You went right to the Calabasas Inn8 from the interview, right.9 A. No.10 Q. Where did you go after the interview.11 A. Aja took us up to Neverland.12 Q. And you had a discussion -- the plans for13 Brazil were already being discussed, weren’t they.14 A. Not with me.15 Q. Well, you’d heard about it.16 A. I don’t know if I had.17 Q. Well, let me just ask you this: You18 complained after the Bashir documentary that people19 in the school yard were making fun of you, correct.20 A. Yes.21 Q. You went to Florida right after that.22 A. Yes.23 Q. You came back, right.24 A. Yes.25 Q. There were media around your house, right.26 A. I can’t -- I don’t know, because I didn’t27 even -- from Miami I went to Neverland.28 Q. Well, the DCFS interview, the interview with 16891 the social workers, had to do with an investigation2 of Mr. Jackson, true.3 A. Yes, and as a result of the Martin Bashir4 documentary.5 Q. Yes. And you went to Calabasas after that,6 right.7 A. No, I went up with Aja to Neverland.8 Q. How long were you at Neverland then.9 MR. SNEDDON: Your Honor, excuse me, the10 witness didn’t get a chance to finish his answer.11 MR. MESEREAU: I’m sorry. I’m sorry.12 THE WITNESS: After -- after the DCSF, we13 went up to Neverland with Aja.14 Q. BY MR. MESEREAU: Yes.15 A. Yes.16 Q. And to the best of your knowledge, there17 were plans in effect to take you to Brazil, right.18 A. I don’t know. I’m not sure if I knew about19 them at that time.20 Q. So what you’re telling the jury is that21 after you were interviewed by three social workers22 investigating Michael Jackson and after all the23 commotion that followed the Bashir documentary,24 somehow Mr. Jackson starts to improperly touch you,25 correct.26 A. No, it was more toward the end. Toward when27 we were already about to leave, after we’d been28 drinking alcohol and all that stuff. It wasn’t 16901 directly after the DCSF. It was more toward the end2 of the --3 Q. So right before you’re supposed to leave to4 Brazil --5 A. No, right before we left Neverland.6 Q. Oh, right before you left Neverland for7 good.8 A. No, right before -- maybe a few days.9 Q. A few days before you left Neverland for10 good.11 A. Yes, because -- yeah.12 Q. Okay. So it’s actually a little bit after13 the interview with the social workers, then, right.14 A. Maybe it’s a little bit after. And it’s15 probably -- I don’t think it happened right -- like,16 it didn’t happen, like, the day -- like, he did it,17 and then the day after, we left. I don’t think it18 happened like that.19 Q. But it’s right before you leave Neverland20 for good, right.21 A. Maybe a week before, or something like that.22 Q. Okay. Okay. And you’ve already had the23 interview with the social workers, as you said,24 right.25 A. Yes.26 Q. You’ve already been to the Calabasas Inn,27 right.28 A. Yes. 16911 Q. And you’ve already left the Calabasas Inn2 and gone by The Laugh Factory and met with an3 attorney, right.4 A. I believe so.5 Q. So after you meet with an attorney, you6 suddenly come up with a story that you were7 masturbated by Michael Jackson, correct.8 MR. SNEDDON: Object. Argumentative, Your9 Honor.10 THE WITNESS: No, because --11 MR. SNEDDON: Excuse me.12 THE COURT: Overruled.13 You can go ahead and answer.14 Q. BY MR. MESEREAU: Correct.15 A. No, because I did not tell the attorney16 anything about what Michael was doing.17 Q. But you’re saying it started after --18 A. Yes, I did not tell the attorney anything19 about alcohol or anything like that.20 Q. Okay. Okay. Vinnie takes you, your mom,21 and Star to The Laugh Factory on Sunset, correct.22 A. Yes.23 Q. You and your mom get out of the car, right.24 A. Yes.25 Q. You go into The Laugh Factory on Sunset,26 correct.27 A. Yes.28 Q. You meet with Jamie Masada and an attorney 16921 named William Dickerman, correct.2 A. Yes.3 Q. You have a meeting with the two of them,4 right.5 A. Yes.6 Q. You come back, you get in the car, right.7 A. Yes.8 Q. You go back to Neverland, right.9 A. I think we did.10 Q. And then you leave Neverland again, right.11 A. I don’t know. I think. I guess.12 Q. And not long after your meeting with the13 attorney, you say that Mr. Jackson inappropriately14 masturbates you, true.15 A. No, because I didn’t really say it right16 after I met him. I didn’t.17 Q. It was a while after you met him, right.18 A. Yeah.19 Q. That’s when the inappropriate touching20 starts.21 A. I didn’t -- the only person I said it to was22 to my psychologist, Dr. Katz, and the officer, Steve23 Robel, and Paul Zelis, that’s --24 Q. We’ll get to that. You first went to25 Attorney Larry Feldman after Attorney William26 Dickerman, correct.27 A. Yes.28 Q. And Attorney Larry Feldman then referred you 16931 to a psychologist, right.2 A. Yes.3 Q. When you first went to Attorney William4 Dickerman, you were talking about being harassed and5 things of that sort, correct.6 A. I -- I don’t remember what I talked about.7 Q. Well, you met with him with your mom, true.8 A. Yes.9 Q. And then you and your mom met with Larry10 Feldman, right.11 A. Yes.12 Q. It was only after you met with Larry Feldman13 that you started talking about inappropriate14 touching, true.15 A. I didn’t talk -- I didn’t randomly talk16 about it with people.17 Q. Well, I didn’t ask if you randomly talked18 about it. I asked if you talked about it.19 A. Who are you specifying that I talked about20 it to.21 Q. Larry Feldman, whom you knew had sued22 Michael Jackson in the early ‘90s, right.23 A. No, I did not tell anything like that to24 Larry Feldman. The only person I told anything even25 resolving (sic) to that was Dr. Katz. And I told26 the whole story to Steve Robel and Paul Zelis.27 Q. But, no, you first went to the two lawyers,28 a psychologist, before you went to any police 16941 officer, true.2 MR. SNEDDON: I’m going to object as3 argumentative by saying “no” in the beginning.4 MR. MESEREAU: I’ll rephrase it, if you5 want, Your Honor.6 THE COURT: All right.7 Q. BY MR. MESEREAU: You went to two lawyers,8 and a psychologist whom Larry Feldman referred you9 to, before you went to any police officer, right.10 A. Yes.11 Q. Now, these weren’t the first attorneys12 you’ve ever talked to, correct.13 A. I’ve talked to other people, other attorneys14 before.15 Q. Well, you had an attorney representing you16 in the J.C. Penney case, correct.17 A. I think so. I’m pretty sure.18 Q. You testified under oath in that case,19 correct.20 A. Yes.21 Q. Did you tell the truth under oath in that22 case.23 A. Of course.24 Q. Didn’t tell one solitary lie.25 A. No.26 Q. You said that security guards had body27 slammed your mother in a parking lot.28 MR. SNEDDON: Your Honor, I’m going to 16951 object. 403 ruling.2 THE COURT: Sustained.3 Q. BY MR. MESEREAU: How many days -- just a4 couple of days before you left Neverland for good,5 you’re saying this inappropriate touching went on.6 A. No, I said probably -- maybe a week or two.7 Q. Couple of days. You said a couple days8 before, didn’t you.9 A. No, I said maybe a week or two.10 Q. Well, but after you went with the lawyer,11 though, right.12 MR. SNEDDON: Object as argumentative, Your13 Honor.14 MR. MESEREAU: All right. It’s asked and15 answered. I’ll rephrase.16 MR. SNEDDON: That, too.17 Q. BY MR. MESEREAU: Now, you told the jury18 yesterday that Michael Jackson didn’t do much for19 your cancer, correct.20 A. Yes.21 Q. Was that a true statement.22 A. Yeah, because I didn’t see him much. He23 would tell me that he wasn’t there, when he was24 there at the ranch. And it made me really sad,25 because in my mind, he was my best friend in the26 whole world, and my best friend was trying to avoid27 me while I had cancer.28 Q. Did Michael Jackson call you at the hospital 16961 while you had cancer.2 A. Yes, he called me and invited me up to the3 ranch.4 Q. He talked to to you a lot in the hospital,5 didn’t he.6 A. No.7 Q. Do you remember telling the police in your8 first interview -- you were asked the question, “And9 did you talk to him a lot while you were in the10 hospital.”11 “A. I talked to him a lot. Like, he would12 call and I’d call him and stuff, and we’d just13 talk about, like, video games.”14 Do you remember that.15 A. Yeah. I probably meant lengthy conversation16 as in time.17 Q. You were then asked, “How often did he call18 you.”19 “I don’t know. But I think it was probably20 at least three times a week or something.”21 Do you remember that.22 A. Yeah. Including outside of the hospital.23 My grandmother’s house.24 Q. But that’s not what you told the sheriffs,25 was it. You told him that he called you26 approximately three times a week.27 MR. SNEDDON: Excuse me. He’s not even28 giving the witness a chance to answer the question. 16971 MR. MESEREAU: I thought he answered the2 question.3 THE COURT: You’re cutting him off.4 MR. MESEREAU: I apologize. Pardon me.5 Let’s go over it again.6 Q. You told Santa Barbara Sheriffs in your7 first interview, Mr. Arvizo, that Michael Jackson8 called you about three times a week at the hospital9 and you would talk for two or three hours at a time,10 correct.11 A. Yeah. During the -- probably during the12 period of when -- in the beginning, of the first13 few -- two months of my cancer where I was actually14 going and hanging out with Michael. And after those15 two months, it was all cut off.16 Q. Did you tell the Santa Barbara Sheriffs that17 when you were in the hospital with cancer --18 A. Uh-huh.19 Q. -- Michael Jackson would call you at least20 three times a week, and speak to you for an hour,21 two hours or three hours at a time.22 A. Michael would call me during the --23 probably -- during the beginning of my cancer,24 probably three times a week. And I would call him25 and we would talk for a long time. We would talk26 about video games. We would talk about people he27 knew, people I knew, stuff like that.28 Q. In the hospital, right. 16981 A. Sometimes he would call me in the hospital.2 Q. I’d like to explore your statement to the3 jury that he didn’t do much to you -- much for you4 when you had cancer.5 A. Okay.6 Q. You’ve just talked about the calls, right.7 A. Yeah.8 Q. He invites your family to his home, correct.9 A. He invited us to Neverland in the beginning,10 yeah.11 Q. He lets your family stay at his home for12 weeks, correct.13 A. Yeah.14 Q. He gives you a car to use, true.15 A. Yes, same car he takes back in the middle of16 the time that I really needed a -- that my family17 needed a car.18 Q. Gives your family an SUV so they can go back19 and forth to the hospital, right.20 A. Yes.21 Q. Gives you a computer, right.22 A. Yes.23 Q. Flies your family to Florida and lets them24 stay at a resort for two nights, right.25 A. No, he took me to Florida in result of the26 Martin Bashir documentary that was being aired.27 Q. Did your family stay at the resort hotel28 called Turnberry in Florida. 16991 A. Michael put us up in the resort, in the2 Turnberry.3 Q. Did you get a massage.4 A. Yes. Chris Tucker paid for that massage.5 Q. Okay. Did you get a massage.6 A. Yes. Chris Tucker paid for that massage.7 Q. Did you get a watch --8 A. Yes.9 Q. -- from Mr. Jackson.10 A. Yes.11 Q. Did you get a jacket from Mr. Jackson.12 A. Yes.13 Q. Did your family go back and forth and stay14 at Neverland free.15 A. Everyone stays at Neverland for free.16 Q. Well, who do you think pays the bills.17 MR. SNEDDON: Object as argumentative, Your18 Honor.19 THE COURT: Well, on both parts. Let’s start20 another question. Don’t --21 Q. BY MR. MESEREAU: Mr. Arvizo --22 THE COURT: Just a minute. I’m sorry. I’ll23 instruct both the witness and the attorney not to24 argue with each other.25 Q. BY MR. MESEREAU: Mr. Arvizo, your family26 would stay for weeks free of charge at Neverland,27 true.28 A. Yes. 17001 Q. Your meals would be paid by -- for by Mr.2 Jackson, true.3 A. Probably. Yes.4 Q. Do you know someone else that paid for it.5 A. No. But I was pretty sure it was Michael.6 Q. You would travel by limousine back and7 forth, true.8 A. Yes.9 Q. You also traveled by Rolls Royce on10 occasion, true.11 A. No, I only traveled in a Rolls Royce when I12 was escaping from Neverland with Jesus.13 Q. When you were escaping.14 A. Yes.15 Q. And you went back -- how long after you16 escaped did you go back there again.17 A. I think a few days later, when Vinnie and18 Frank came down.19 Q. Okay. Okay. When you escaped, where did20 Jesus take you.21 A. He took me to my grandmother’s house.22 Q. And then two days later you went back with23 Vinnie.24 A. I don’t know about two days, but maybe a few25 days.26 Q. So you went back, and then you escaped a27 second time, right.28 A. I think so. Whatever. 17011 Q. And then you went back and you escaped a2 third time, right.3 A. No.4 Q. Well, there were like three escapes, weren’t5 there.6 A. I don’t know.7 Q. Okay. Have you ever talked to Mr. Sneddon8 about how many times you people went back9 voluntarily and then escaped from Neverland.10 A. Mr. Sneddon.11 Q. Yes.12 A. I think we did. I’m pretty sure we did.13 Q. When you were at Neverland, you would use14 the amusement park when you wanted, correct.15 A. Yes. But -- well, I couldn’t always do it16 because I would feel sick all the time --17 Q. Well --18 A. -- with cancer.19 Q. -- who do you think paid the utilities to20 run all the amusement rides at Neverland.21 A. Probably Michael.22 Q. And you would use the zoo when you wanted,23 correct.24 A. No, because I wouldn’t go to the zoo.25 Michael would take us over there when he wanted to26 take us over there, and we’d see the tigers.27 Q. Who do you think was paying for all of that.28 A. Michael, because Michael wanted all that in 17021 his house.2 Q. Oh. And do you think he was really being3 good to you by letting you stay there and go to the4 zoo, the amusement rides.5 A. He probably was. But, I mean, this is6 talking about the first few months. And I don’t7 really -- see, Mr. Mesereau, it takes more --8 MR. MESEREAU: Objection, Your Honor. Could9 he just answer the question.10 THE COURT: Sustained.11 Just answer the question.12 Q. BY MR. MESEREAU: Did you use ATV’s at13 Neverland.14 A. Yes. Yes.15 Q. Who paid for the ATV’s.16 A. I’m pretty sure Michael paid for the ATV’s.17 Q. What else did you do at Neverland when you18 used to hang out there with your brother, your19 sister, your father, your mother.20 A. Probably be in my unit, because I was sick.21 Q. Was there a blood drive for you at22 Neverland.23 A. Yeah.24 Q. And Mr. Jackson put that together, didn’t25 he.26 A. Probably.27 Q. You don’t know.28 A. No, I heard something about a blood drive, 17031 but I can’t really remember too much about it.2 Q. You don’t remember a blood drive at3 Neverland that Mr. Jackson put together for you when4 you had cancer.5 A. I remember -- I remember something about my6 friend -- my friend had come down to the hospital7 and told me about it, but I don’t -- I remember8 something about a blood drive, but I’m not too sure9 about it. He -- I’m pretty sure he did.10 Q. Now, I believe you told the jury yesterday11 you thought George Lopez did more for you when you12 had cancer than Michael Jackson, correct.13 A. Yeah. For my 11 year-old mind, he came and14 visited me and would always talk to me and buy me15 shirts and stuff.16 Q. Did Mr. Lopez let your family move into his17 home.18 MR. SNEDDON: Object as argumentative, Your19 Honor.20 THE COURT: Sustained.21 Q. BY MR. MESEREAU: Mr. Arvizo, did Mr. Lopez22 give you a Rolls Royce for your family to ride23 around town in.24 A. No.25 Q. Did he provide limousines for your family to26 ride around town in.27 A. No.28 Q. Did he pay a lot of your bills so your 17041 family could stay at hotels.2 A. I don’t know. That’s up to my --3 Q. Did he pay for flights so your family could4 go cross country.5 A. I’m pretty sure he did, to pay for us to go6 to Miami.7 Q. How many times do you think your family8 visited Neverland and stayed there.9 A. Every time Michael wanted us to.10 Q. But you went there many times when Michael11 wasn’t even there, right, Mr. Arvizo.12 A. Only with Michael’s permission.13 Q. Did you and your family go to Neverland and14 stay many times when Michael Jackson wasn’t even15 around.16 A. I would. Not my whole family. Me and my17 father would. Because in the first two months of my18 cancer, when I was -- when I thought I was pretty19 close to Michael, I would go up there and stay with20 him between my rounds of chemotherapy.21 Q. Can you look this jury in eye and tell them22 Michael Jackson did nothing for you when you had23 cancer.24 A. I never said Michael did nothing for me.25 Q. Did you say he did very little.26 A. Yeah. He didn’t do as much as I felt, as my27 11-year-old mind felt.28 Q. He should. 17051 A. No. He shouldn’t -- it’s not his obligation2 to do anything.3 Q. Well, are you telling the jury you deserved4 a lot more from Michael Jackson than you and your5 family got.6 A. No.7 Q. Is that what you’re saying.8 A. No. I’m just saying that -- see, when I9 have a friend, Michael, and you’re saying all these10 things that he did, but, you know, when my11 11-year-old mind -- and when I see my friend say12 that he’s not there, and he’s not at Neverland Ranch13 trying -- and I see him walking and I see his car14 that he only drives going down at Neverland, you15 know, it felt like my heart broke right there.16 Q. So by doing all of these things --17 A. And I don’t remember George Lopez or Jamie18 Masada or Louise Palanker ever doing that to me.19 Q. Did they take your family into their homes,20 any of them.21 A. Actually, I went over to -- actually, I22 spent a night at Chris Tucker’s house.23 Q. Did he let your family move into his home;24 yes or no.25 A. I’m sure he probably would have if we really26 got to a point where we couldn’t live at our house27 no more.28 Q. There isn’t one celebrity that you 17061 approached who let your family move into his home,2 except Michael Jackson, true.3 A. I didn’t --4 MR. SNEDDON: Excuse me. I’m going to5 object to the question. Assumes a fact not in6 evidence, and it’s argumentative.7 THE COURT: Overruled.8 THE WITNESS: I never moved into Michael’s9 house. I never moved my stuff over there and lived10 there permanently. I stood there and visited.11 Q. BY MR. MESEREAU: Your family was there for12 weeks at a time, correct.13 A. Yes. And they also kept us there for weeks14 at a time when we wanted to leave.15 Q. Is this one of your many escapes where you16 came back.17 MR. SNEDDON: Object as argumentative, Your18 Honor.19 THE COURT: Sustained.20 MR. MESEREAU: I withdraw it, Your Honor.21 Q. Mr. Arvizo, when your family decided not to22 go to Brazil, where did they go.23 A. What do you mean.24 Q. Well, when your family decided they didn’t25 want to go to Brazil, they went to your26 grandparents’ house, right.27 A. When we left with Jesus, we went to my28 grandma’s house. I don’t really understand. 17071 Q. When you left with Vinnie for the final2 time, you went to your grandparents’, right.3 A. I don’t really -- as I told Mr. Sneddon, I4 don’t really remember how it came about that we left5 the last time.6 Q. I’m not asking you how it came about. But7 you got in a car with Vinnie and went to your8 grandparents’ the last time.9 A. Now you’re telling -- right now you’re10 telling me how it came about. I don’t know how it11 came about.12 Q. Do you recall Vinnie taking your family to13 your grandparents’ when you left Neverland for good.14 A. No, because I do not remember what happened15 when we left for the last time.16 Q. Do you remember leaving for the last time at17 all.18 A. I know that we left, because I remember, I19 went to my grandma’s house.20 Q. When you say you escaped with Jesus, where21 did you escape to.22 A. We went to my grandma’s house.23 Q. Jesus took you in a Rolls Royce to your24 grandma’s house, right.25 A. Yes.26 Q. When your family wanted to leave, they left,27 right.28 MR. SNEDDON: Object; argumentative. 17081 THE COURT: Overruled.2 THE WITNESS: Can you repeat the question.3 Q. BY MR. MESEREAU: When your family wanted to4 leave Neverland, you either had a limousine or a5 Rolls Royce take you where you wanted to go, right.6 A. No. It wasn’t a limousine. And we never7 left in a limousine, because when we left it was8 when they didn’t really know.9 Q. It was a Rolls Royce, wasn’t it.10 A. Yes, because that was the only car11 available. It wasn’t as if we told Jesus to take us12 in a Rolls Royce.13 Q. Okay.14 A. It was a vehicle. An automobile that we can15 use to leave.16 Q. Has any lawyer told you what to say in this17 courtroom.18 A. No.19 Q. Has any lawyer ever told you what to say20 under oath.21 A. No.22 Q. Remember, your deposition was taken in the23 J.C. Penney case.24 A. Yes. It was taken when I had cancer,25 because I was unable to show up at the court case.26 Q. And that was when you and your mom were27 suing J.C. Penney, correct.28 A. I believe it was my whole family that was 17091 suing them.2 Q. Did a lawyer tell you what to say in that3 case.4 A. No.5 Q. Remember, you said under oath, “Did anyone6 tell you what you should testify about here today or7 how you should say things,” and your answer was,8 “Only our lawyer”.9 A. What.10 Q. Do you remember saying that in the J.C.11 Penney deposition.12 A. No.13 Q. Would it refresh your recollection if I just14 show that to you.15 A. Uhh, sure, I guess.16 MR. MESEREAU: May I approach, Your Honor.17 THE COURT: Yes.18 Q. BY MR. MESEREAU: Have you had a chance to19 review that page of your deposition in the J.C.20 Penney case.21 A. Yes.22 Q. Remember testifying that a lawyer had told23 you what to say.24 A. They didn’t tell us what to say.25 Q. Huh.26 A. They didn’t tell us what to say.27 Q. But that’s what you said when you had your28 deposition taken, right. 17101 A. They probably -- I don’t know, because, I2 mean, I was eight years old. And I don’t really3 remember what was going on.4 Q. You were ten years old, right.5 A. Maybe -- ten years old probably at the6 deposition. But, I mean, I was eight years old when7 it happened.8 Q. Did you and your mom talk about the facts of9 that case before your deposition was taken.10 A. No, I don’t think we were allowed to.11 Q. So you never discussed it with your mom12 before the deposition was taken.13 A. No.14 Q. Have you ever talked about the facts of this15 case with your mother.16 A. No. I don’t think we’re allowed to either.17 Q. So you’ve never discussed the facts of this18 case with your mother.19 A. Um, no.20 Q. Have you ever discussed the Bashir21 documentary with your mother.22 A. Yeah.23 Q. When.24 A. We had talked about it with her sometimes,25 like how I felt about what I said on there.26 Q. And when did you last discuss the Bashir27 documentary with your mother.28 A. I do not remember. 17111 Q. Pardon me.2 A. I don’t remember.3 MR. MESEREAU: Okay.4 THE COURT: We’ve come to the end of the day.5 MR. MESEREAU: Thank you, Your Honor.6 THE COURT: We’re going to do something7 different. Everyone remain seated, please.8 Take the jury and the witness out.9 I’ll see you all Monday.10 A JUROR: Bye.1112 (The following proceedings were held in13 open court outside the presence and hearing of the14 jury:)1516 THE COURT: I just didn’t want to say this in17 front of the jury.18 This morning I issued a warrant for Mr.19 Jackson’s arrest and held it for an hour. The20 warrant is recalled.21 The Court also forfeited Mr. Jackson’s bail22 at the request of Mr. Jackson. His bonding company23 has agreed to resume the liability on the bond, and24 has given the Court permission to reinstate the25 bond. The Court therefore reinstates the bond as26 previously -- as previously filed and orders that27 the reinstatement be filed with the Court.28 Court’s in recess. Thank you. 17121 (The proceedings adjourned at 2:30 p.m.)2 --o0o--345678910111213141516171819202122232425262728 17131 REPORTER’S CERTIFICATE234 THE PEOPLE OF THE STATE )5 OF CALIFORNIA, )6 Plaintiff, )7 -vs- ) No. 11336038 MICHAEL JOE JACKSON, )9 Defendant. )101112 I, MICHELE MATTSON McNEIL, RPR, CRR,13 CSR #3304, Official Court Reporter, do hereby14 certify:15 That the foregoing pages 1534 through 171316 contain a true and correct transcript of the17 proceedings had in the within and above-entitled18 matter as by me taken down in shorthand writing at19 said proceedings on March 10, 2005, and thereafter20 reduced to typewriting by computer-aided21 transcription under my direction.22 DATED: Santa Maria, California,23 March 10, 2005.24252627 MICHELE MATTSON McNEIL, RPR, CRR, CSR #330428 17141 SUPERIOR COURT OF THE STATE OF CALIFORNIA2 IN AND FOR THE COUNTY OF SANTA BARBARA3 SANTA MARIA BRANCH; COOK STREET DIVISION4 DEPARTMENT SM-2 HON. RODNEY S. MELVILLE, JUDGE567 THE PEOPLE OF THE STATE OF )8 CALIFORNIA, )9 Plaintiff, )10 -vs- ) No. 113360311 MICHAEL JOE JACKSON, )12 Defendant. )1314151617 REPORTER’S TRANSCRIPT OF PROCEEDINGS1819 MONDAY, MARCH 14, 20052021 8:30 A.M.2223 (PAGES 1794 THROUGH 1864)24252627 REPORTED MICHELE MATTSON McNEIL, RPR, CRR, CSR #330428 BY: Official Court Reporter 17941 APPEARANCES OF COUNSEL:23For Plaintiff: THOMAS W. SNEDDON, JR.,4 District Attorney -and-5 RONALD J. ZONEN, Sr. Deputy District Attorney6 -and- GORDON AUCHINCLOSS,7 Sr. Deputy District Attorney 1112 Santa Barbara Street8 Santa Barbara, California 9310191011 For Defendant: COLLINS, MESEREAU, REDDOCK & YU BY: THOMAS A.MESEREAU, JR., ESQ.12 -and- SUSAN C. YU, ESQ.13 1875 Century Park East, Suite 700 Los Angeles, California 9006714 -and-15 SANGER & SWYSEN16 BY: ROBERT M. SANGER, ESQ. 233 East Carrillo Street, Suite C17 Santa Barbara, California 9310118 -and-19 OXMAN and JAROSCAK BY: R. BRIAN OXMAN, ESQ.20 14126 East Rosecrans Boulevard Santa Fe Springs, California 906702122232425262728 17951 I N D E X23 Note: Mr. Sneddon is listed as “SN” on index.4 Mr. Zonen is listed as “Z” on index. Mr. Auchincloss is listed as “A” on index.5 Mr. Mesereau is listed as “M” on index. Ms. Yu is listed as “Y” on index.6 Mr. Sanger is listed as “SA” on index. Mr. Oxman is listed as “O” on index.789 PLAINTIFF’S WITNESSES DIRECT CROSS REDIRECT RECROSS1011 ARVIZO, Gavin-Anton 1797-M (cont’d)1213141516171819202122232425262728 17961 Santa Maria, California2 Monday, March 14, 20053 8:30 a.m.45 THE COURT: Good morning.6 COUNSEL AT COUNSEL TABLE: (In unison)7 Good morning, Your Honor.8 THE COURT: Let’s see, the witness is in his9 place.10 I’ll remind you that you’re still under11 oath.12 Mr. Mesereau, you may proceed.13 MR. MESEREAU: Thank you, Your Honor.14 Good morning.15 THE JURY: (In unison) Good morning.1617 GAVIN-ANTON ARVIZO18 Having been previously sworn, resumed the stand19 and testified as follows:2021 CROSS-EXAMINATION (Continued)22 BY MR. MESEREAU:23 Q. Mr. Arvizo, on Thursday you testified about24 how you learned what masturbation was. Remember25 that.26 A. I believe so.27 Q. Pardon me.28 A. I believe so. 17971 Q. Okay. And you testified that Mr. Jackson2 told you what masturbation is, right.3 A. Uh-huh.4 Q. Is that true.5 A. Yes.6 Q. And you testified to the jury that Mr.7 Jackson said that if men don’t masturbate, that they8 can get to a level where they can -- might rape a9 girl. Remember that.10 A. Uh-huh.11 Q. Do you remember saying that.12 A. Yes.13 Q. Do you remember being interviewed by the14 Santa Barbara Sheriff’s Department on a number of15 occasions.16 A. Yes.17 Q. And do you remember who interviewed you.18 A. Most likely Steve Robel or Paul Zelis.19 Q. Do you remember being asked, “Before we get20 started on the next set of questions, can you21 describe to us what your opinion is, what you think22 masturbation is.” Do you remember one of the23 sheriffs asked you that during an interview.24 A. I believe so.25 Q. And you knew those interviews were being26 recorded, right.27 A. Yes.28 Q. Remember you said, “My grandma explained it 17981 to me. She told me that -- that your -- the only2 reason is because like if -- if men don’t do it, men3 might get to a point where they might go ahead and4 rape a woman”. Do you remember saying that to the5 sheriffs.6 A. I believe so.7 Q. Why did your story change between that8 interview and your testimony last Thursday.9 A. Well, what do you mean “changed”.10 Q. Well, you told the police your grandmother11 made that quote to you, and you came into court12 under oath and told the jury Mr. Jackson made that13 quote to you.14 A. That didn’t change. Because Michael tried15 to explain to me first. And I -- he was more16 pushing on me that men have to masturbate.17 Now, later when I came back from Neverland,18 I guess my grandmother saw that I was very confused19 about sexuality and things like that. And my20 grandmother explained to me a lot of things.21 Q. So it just so happened that after Mr.22 Jackson told you, “If a man doesn’t do it, they may23 get to a point where they rape a woman,” your24 grandmother made the almost identical quote to you.25 Is that what you’re saying.26 A. Not really. She didn’t make the same exact27 thing that Michael said. But I’m not exactly sure28 what my grandmother said. I know my grandmother 17991 explained a lot of things to me.2 Q. Would it refresh your recollection if I show3 you a transcript of your sheriff’s interview.4 A. Probably.5 MR. MESEREAU: May I approach, Your Honor.6 THE COURT: Yes.7 MR. MESEREAU: Whoops, I’m sorry.8 Your Honor, I spilled a little water with my9 notebook, so --10 THE BAILIFF: How about you put that over11 here.12 Q. BY MR. MESEREAU: Mr. Arvizo, have you had a13 chance to look at that page of transcript.14 A. Yes.15 Q. Does it refresh your recollection about what16 you told the sheriffs about what masturbation was.17 THE COURT: Just a moment, Counsel.18 THE WITNESS: It refreshes my --19 THE COURT: Just a moment. Let’s take care20 of one thing at a time.21 You may start again on that.22 MR. MESEREAU: Yes, thank you, Your Honor.23 Q. Mr. Arvizo, have you had a chance to look at24 that page of transcript of your sheriff’s interview.25 A. Uh-huh.26 Q. Does it refresh your recollection about what27 you told the sheriffs your grandmother said.28 A. It refreshes -- I can recall what my 18001 grandmother was telling me. She was -- she saw that2 I was embarrassed about things like masturbation and3 growing up, and my mother was telling me that it’s4 okay to do it. And Michael was telling me that you5 have to do it.6 Q. Well, Mr. Arvizo, I understand your7 position. But when the sheriffs asked you what8 masturbation was, you didn’t say, “Mr. Jackson told9 me if a man doesn’t do it, he may rape a woman.”10 You said if -- “My grandmother told me that if a man11 doesn’t do it, he may rape a woman,” correct.12 A. I believe so. That’s what you showed me.13 But --14 Q. And between the time of that interview --15 MR. SNEDDON: Excuse me.16 Your Honor, he was about to say something17 when he got cut off by counsel.18 MR. MESEREAU: Oh, I apologize. I had no19 idea.20 THE WITNESS: But --21 MR. MESEREAU: Excuse me. Go ahead.22 THE WITNESS: But that still doesn’t mean23 that Michael did not tell me.24 Q. BY MR. MESEREAU: But what you’re telling25 the jury is it was sort of a coincidence that both26 your grandmother and Michael used almost the27 identical phrase about raping a woman.28 A. Both my grandmother and Michael were trying 18011 to talk to me about the -- pretty much the birds and2 the bees story.3 Q. Okay. And they pretty much said the4 identical thing, is that what you’re telling me.5 A. Not exactly.6 Q. Not exactly.7 A. No.8 Q. Well, the quotes are almost identical,9 aren’t they.10 A. You see, Michael was trying to tell me that11 I have to masturbate. My mom -- my grandmother was12 actually telling me -- giving me the talk. Michael13 was just talking about masturbation.14 Q. But your grandmother said to you, “If men15 don’t do it, men might get to a point where they16 might go ahead and rape a woman,” correct.17 A. Michael also told me that.18 Q. Well -- so you’re saying they basically said19 the same thing.20 A. My grandmother said it’s okay to do it,21 because sometimes, some men, they can’t control22 themselves and might do that.23 Q. But in that police interview, you never24 mentioned that Michael Jackson had said that to you,25 did you.26 A. I’m sure in one of the other transcript I27 mentioned about Michael.28 Q. Not in that interview, correct. 18021 A. But I’m sure in another one I did.2 Q. Okay. I’d like to ask you just about the3 allegations in the J.C. Penney case, okay. We’re4 not going to go into the evidence, just what the5 allegations were. Okay.6 A. Uh-huh.7 Q. Do you remember that case.8 A. Uh-huh.9 Q. And you and your mother Janet sued J.C.10 Penney, correct.11 A. I think we did. I’m pretty sure we did.12 Q. Okay. And originally your family sued for13 battery, false imprisonment and infliction of14 emotional distress, right.15 A. I don’t know.16 Q. Okay. Later on, your mother amended the17 complaint to add sexual assault. Do you remember18 that.19 A. Not really.20 Q. Do you remember that you were asked21 questions about that in a sworn deposition.22 A. I don’t remember being asked about my mom23 being -- whatever.24 Q. Do you remember being asked questions about25 your mother’s allegations that J.C. Penney guards26 fondled her breasts in a parking lot.27 MR. SNEDDON: Your Honor, I’m going to28 object; 403. 18031 THE COURT: Sustained.2 Q. BY MR. MESEREAU: Do you remember that case3 at all.4 A. Um, a little bit. I mean, I was in the5 middle of my chemotherapy.6 Q. Okay. Your chemotherapy was going on at the7 same time.8 A. At the same time as those depositions.9 Q. Okay. And how many -- how many appointments10 for chemotherapy had you had at that point, if you11 know.12 A. They would have it once a month -- once13 every three weeks, actually. Then I had ten rounds.14 And I wasn’t like a regular kid that had cancer that15 would just go in for a few hours and get one bag of16 chemotherapy. I would go there for a week, in the17 hospital, and -- in a bed, and they would give me18 chemotherapy.19 Q. Okay. And approximately when did the20 chemotherapy end.21 A. June 2001.22 Q. Okay. Do you remember last Thursday I asked23 you when these alleged acts of masturbation by24 Michael Jackson occurred. Do you remember that.25 A. Uh-huh.26 Q. And within an approximately 20-minute period27 you first said a couple of days before you left with28 Jose Salas, right. 18041 A. What do you mean.2 Q. Jesus Salas, excuse me.3 A. Couple days before I left with Jose Salas.4 Q. Yes. You said a couple of days before you5 left Neverland with Jose Salas the masturbation6 occurred. Do you remember that.7 A. No, I did not say that.8 Q. You didn’t say that.9 A. No, I said that it happened approximately10 the last two weeks of when we left Neverland for11 good.12 Q. Well, first you said a few days, and then13 you said a week, and then you said a couple of14 weeks, right.15 A. Maybe you said that it was a few days.16 Q. Did you discuss over the weekend these facts17 with anybody.18 A. No.19 Q. Did you discuss the case with anybody over20 the weekend.21 A. I had a brief conversation with Mr. Sneddon.22 Q. Okay. And what did you talk about.23 A. We talked about certain things that you24 might ask me.25 Q. And like what.26 A. Just things about me.27 Q. Pardon me.28 A. Things that you might ask about me. 18051 Q. Like what.2 A. Like my history.3 Q. Your history.4 A. Uh-huh.5 Q. And what do you mean, your “history”.6 A. In school maybe.7 Q. Pardon me.8 A. In school maybe.9 Q. And what did Mr. Sneddon say to you about10 that.11 A. He just told me to answer honestly.12 Q. And what else did he talk to you about.13 A. That’s pretty much it right there.14 Q. How long was the discussion.15 A. 15 minutes.16 Q. Did he say anything to you about an17 interview he had with a witness over the weekend.18 A. With a witness besides me.19 Q. Yes.20 A. No.21 Q. Did he ask you anything about one of your22 teachers at school.23 A. Um, yes. He asked me about it.24 Q. And who was that.25 A. My teacher.26 Q. Yes.27 A. It’s -- he wasn’t really my teacher. His28 name is Richard Geralt. 18061 Q. What did Mr. Sneddon say to you about2 Mr. Geralt.3 MR. SNEDDON: I’m going to object. It4 assumes facts not in evidence that I said anything.5 MR. MESEREAU: I’ll rephrase the question,6 Your Honor.7 THE COURT: All right.8 Q. BY MR. MESEREAU: Did Mr. Sneddon say9 something to you about Mr. Geralt.10 MR. SNEDDON: Same objection.11 THE COURT: Overruled.12 THE WITNESS: Can you repeat the question.13 Q. BY MR. MESEREAU: Did Mr. Sneddon say14 anything to you over the weekend about Mr. Geralt.15 A. He didn’t have to tell me anything. I told16 him everything. I told him the facts about Mr.17 Geralt.18 Q. Let me ask the question again. Did Mr.19 Sneddon over the weekend say anything to you about a20 Mr. Geralt.21 A. He asked me about Mr. Geralt, so it’s kind22 of knowing, I guess.23 Q. What did he ask you about Mr. Geralt.24 A. He asked me what do I know of Mr. Geralt.25 Q. And did you tell him.26 A. Yes.27 Q. What did you tell him.28 A. I told him about -- that I knew Mr. Geralt. 18071 Q. Excuse me.2 A. I told him that I knew of Mr. Geralt.3 Q. Did you tell him anything else.4 A. About Mr. Geralt.5 Q. Yes.6 A. I told him about school and how Mr. Geralt7 was.8 Q. And what did you tell him.9 A. About Mr. Geralt.10 Q. Yeah. What did you tell him about Mr.11 Geralt and school.12 A. I told him that -- about a time when he --13 he was a detention teacher. And I had detention,14 and I was in there.15 Q. Pardon me.16 A. I was in his detention.17 Q. Okay. What else did you tell Mr. Sneddon18 about Mr. Geralt.19 A. I told him that one time when I was in20 detention, I was sitting there, and he told us we21 had to do work, our homework. I didn’t have a22 pencil. So I asked him, “Mr. Geralt, may I have a23 pencil.” And then he put me against the wall,24 because I asked if I could have a pencil.25 Q. Did you tell Mr. Sneddon anything else about26 Mr. Geralt.27 A. Uh-huh.28 Q. What else. 18081 A. That sometimes in the middle of his class he2 would go outside and smoke a cigarette.3 Q. What else.4 A. Um, that he always tried to handle his5 classes as if he was a drill sergeant.6 Q. Okay. What else.7 A. I told him a story about -- that detention.8 Q. Okay. What did you tell him.9 A. I told him there was one time that I was in10 detention, same -- and then when I was against the11 wall, I asked Mr. Geralt, “Why is it that I’m12 against the wall. I would like to do my work as you13 told me to do.”14 Q. What else did you tell Mr. Sneddon.15 A. And then Mr. Geralt asked me, he said if I16 was on drugs. He said that if I was on -- doing17 marijuana or doing crack or something, and he told18 me he was going to give me a drug test.19 Q. What else did you tell Mr. Sneddon.20 A. I told him that I was -- “Mr. Geralt, I’m21 not on drugs.” And then Mr. Geralt said that he’s22 going to call the cops, and this and that, because23 he was saying that I was on drugs. But he was doing24 it in a way that he was making fun of me.25 Q. Now, Mr. Geralt was a teacher, correct.26 A. He was a teacher at the school.27 Q. At what school.28 A. John Burroughs Middle School. 18091 Q. Did you tell Mr. Sneddon anything else about2 Mr. Geralt.3 A. Yes.4 Q. What else did you tell him.5 A. I -- then I told Mr. Geralt that, “Why is it6 that you’re going to call a police officer here who7 would rather be doing something more important than8 something as my minute and dumb as this.”9 Q. And anything else you told Mr. Sneddon about10 Mr. Geralt.11 A. And then after I told Mr. Geralt that, he12 realized that I was right, and he put his phone13 away. And then he called the campus supervision.14 And then he kept on going on that I was doing drugs15 and this and that. He said he -- he was just saying16 stuff like that.17 And then he went into -- he called campus18 supervision, and then they took me into the office.19 And then I told the teachers what happened, and they20 said they know how Mr. Geralt is.21 Q. Did you tell Mr. Sneddon anything else when22 you spoke to him over the weekend.23 A. No. We talked about a lot -- we talked24 about a few things. I don’t remember too much.25 Q. You don’t remember too much.26 A. Well, I do, and -- I don’t remember the27 exact things, I mean, word for word.28 Q. Why don’t you just tell us generally what 18101 you talked about.2 A. My history, mostly.3 Q. Pardon me.4 A. My history.5 Q. Your history.6 A. Yes.7 Q. Please tell the jury what you told Mr.8 Sneddon about your history.9 A. I just told you.10 Q. Anything else come up in that discussion.11 A. Yeah.12 Q. What else.13 A. Are you trying to specify something.14 Q. No, I’m just simply asking you to tell the15 jury what you told Mr. Sneddon when you spoke to him16 over the weekend about your testimony in this case.17 A. Please be specific.18 Q. Well, I’m just asking you. I wasn’t in the19 conversation. What else do you remember. Please20 tell the jury anything else that was discussed.21 A. Talked about my father.22 Q. Did you talk about a Mr. Alpert.23 A. Oh, yes. Yes, we did.24 Q. Did I just jog your memory a little bit25 about that.26 A. Yes.27 Q. Did Mr. Sneddon tell you he had been in an28 interview with a Mr. Alpert on Saturday. 18111 A. Yes. Well, I don’t know if -- no, he said2 if I was -- if Mr. -- the dean, Alpert, interviewed3 me or talked to me.4 Q. And did he ask you questions about any5 discussions you ever had with Dean Alpert at John6 Burroughs School.7 A. Yeah, he asked some questions about it.8 Q. In fact, Mr. Arvizo, he asked you whether9 you had been interviewed by Dean Alpert and whether10 you had confessed to him that Mr. Jackson never did11 anything to you of a sexual nature, right.12 A. Yeah.13 Q. Why didn’t you say that at the beginning.14 A. I told Mr. Alpert that he didn’t do anything15 to me.16 Q. You told Dean Alpert that twice, correct.17 A. I don’t know how many times I told him.18 Q. Well, that was the reason Mr. Sneddon19 telephoned you, wasn’t it, as far as you knew.20 A. What do you mean.21 Q. Mr. Sneddon telephoned you --22 A. Oh, telephoned.23 Q. -- to ask you whether you had ever confessed24 to Dean Alpert that Michael Jackson never did25 anything to you of a sexual nature, right.26 A. I don’t remember Mr. Sneddon calling me and27 asking me that question.28 Q. You don’t recall Mr. Sneddon asking you any 18121 questions like that over the weekend.2 A. Over the weekend, if Michael had done3 anything to me.4 Q. No, Mr. Arvizo. Let me just -- let me just5 try and rephrase it, if I have confused you.6 Mr. Sneddon called you over the weekend,7 right.8 MR. SNEDDON: Your Honor, I’m going to9 object. That’s a misstatement of his testimony and10 it assumes facts not in evidence that I called him.11 THE COURT: Sustained.12 Q. BY MR. MESEREAU: Did Mr. Sneddon telephone13 you over the weekend.14 A. No, he did not.15 Q. Did you telephone Mr. Sneddon over the16 weekend.17 A. No, I did not.18 Q. Did you engage in a conversation with Mr.19 Sneddon over the weekend.20 A. Yes, I did.21 Q. Where did that conversation take place.22 A. In a house.23 Q. Okay. Did Mr. Sneddon come to see you.24 A. No.25 Q. Did you go to see Mr. Sneddon.26 A. Yes.27 Q. Where did you go to see Mr. Sneddon.28 A. In a house. 18131 Q. In his house.2 A. In a house.3 Q. Okay. Who was with you, if anybody.4 A. Detective Robel. Mr. -- Ron, Gordon and5 Mr. Sneddon, and I believe Mr. Mag was there.6 Q. Okay. Let me just get it straight. Mr.7 Robel was there from the Santa Barbara Sheriffs,8 right.9 A. Yes.10 Q. Mr. Sneddon was there, right.11 A. The attorneys were there.12 Q. Prosecutors. Prosecutor Zonen was there,13 right.14 A. All of the district -- all of the attorneys15 were there.16 Q. Prosecutor Auchincloss was there, right.17 A. Auchincloss.18 Q. Yes. The fellow seated right to my left.19 A. Oh, Gordon, yeah.20 Q. Anyone else there besides those four.21 A. Mag.22 Q. Who.23 A. Mag. I don’t know his full name.24 Q. Okay. Is this another sheriff.25 A. No, this is an attorney.26 Q. Another prosecutor.27 A. He’s another attorney.28 Q. So you met with four prosecutors and a Santa 18141 Barbara Sheriff over the weekend, right.2 MR. SNEDDON: Your Honor, I’m going to3 object again. It assumes facts not in evidence that4 all of those people were present during the meeting.5 MR. MESEREAU: I think that’s what he just6 said.7 MR. SNEDDON: No, he didn’t.8 THE COURT: Sustained.9 Q. BY MR. MESEREAU: Did you meet over the10 weekend with three prosecutors.11 A. No.12 Q. Did you meet with four prosecutors.13 A. No.14 Q. Did you meet with any prosecutors.15 A. Yes.16 Q. Who were they.17 A. One, Mr. Sneddon. And Steve Robel -- and18 Detective Steve Robel was present.19 Q. Okay. Was anyone else present.20 A. They were there, but they were in another21 room.22 Q. Okay. Who was there but in another room.23 A. Ron, Mr. Zonen, Gordon and Mag.24 Q. Okay. I’m not hearing that. Is it Meg or25 Mick.26 A. Mag.27 Q. Mag. Okay. And as far as you know, Mag’s a28 prosecutor, correct. 18151 A. Yes, I believe so.2 Q. Okay. Now, what day did you have this3 meeting.4 A. I believe it was yesterday.5 Q. And approximately what time did the meeting6 take place.7 A. 6:00, maybe 7:00.8 Q. So that would be last evening, right.9 A. Uh-huh.10 Q. Did you learn in advance that the meeting11 was going to take place.12 A. A couple hours before.13 Q. And how did you learn the meeting was going14 to take place.15 A. They -- they told me.16 Q. Okay. Who’s “they”.17 A. Detective Steve Robel told me.18 Q. Okay. Did he call you on the phone.19 A. No, he told me.20 Q. Did he call you on the phone.21 A. He told me.22 Q. Okay.23 A. No, did he not call me on the phone.24 Q. Did you call him on the phone.25 A. No.26 Q. Did he show up at your house.27 A. No. I don’t live up here.28 Q. I’m just trying to ask you how you found out 18161 about the meeting. That’s all I’m asking.2 A. I told you, he told me.3 Q. Okay. Where did he tell you about the4 meeting.5 A. He told me at a house.6 Q. Where you’re staying, right.7 A. Yes.8 Q. Okay. Did he come to the house.9 A. Yes.10 Q. Okay. Approximately what time did Mr. Robel11 come to the house to tell you there was going to be12 a meeting that evening with all the prosecutors.13 MR. SNEDDON: Your Honor, I’m going to14 object to that question. There was no meeting with15 all those prosecutors. Misstatement of his16 testimony.17 MR. MESEREAU: I’ll rephrase it, Your Honor.18 THE COURT: All right.19 Q. BY MR. MESEREAU: Mr. Arvizo, at20 approximately what time yesterday did you learn you21 were going to travel to another location to meet22 with Mr. Sneddon and others.23 A. Um, other -- it was around maybe 5:00 or24 something like that.25 Q. Okay. And you obviously attended the26 meeting, right.27 A. Yes.28 Q. Do you know if the conversation was 18171 recorded.2 A. I don’t believe it was recorded.3 Q. Do you know if anyone was taking notes.4 A. Um, no, I don’t think anyone was taking5 notes.6 Q. Okay. Did anyone tell you what the purpose7 of the meeting was.8 A. No.9 Q. No one explained why you were having a10 meeting last night.11 A. No. They told me that Tom was going to have12 to talk to me about some things.13 Q. Okay. And Mr. Sneddon did talk to you about14 some things, correct.15 A. Yes.16 Q. And he talked to you about an interview that17 had been conducted on Saturday, right.18 A. No.19 Q. Did Mr. Sneddon ever tell you he had20 conducted an interview with a Mr. Alpert on21 Saturday.22 A. No, did he not tell me that he conducted an23 interview.24 Q. Okay. Did he ever tell you he had spoken25 with Mr. Alpert.26 A. Yes.27 Q. And what did he say about that.28 A. He asked me about Mr. Alpert. 18181 Q. Okay.2 A. What I knew.3 Q. And did he ask you if you ever had a meeting4 with Mr. Alpert, correct.5 A. Yes.6 Q. And you told him you did, right.7 A. Yes.8 Q. You told him you met --9 A. I told him that I’m pretty sure I did -- I10 did. Because I didn’t really remember too good.11 Q. You didn’t remember too good that you had12 told Mr. Alpert that Mr. Jackson had never touched13 you sexually.14 A. Well, I believe it happened, because he was15 a dean of the school. And so -- I’m pretty sure I16 had a conversation with him.17 Q. Okay. And did you tell Mr. Sneddon you were18 pretty sure you had had a conversation with Dean19 Alpert at John Burroughs School.20 A. Yes.21 Q. Did you tell Mr. Sneddon approximately when22 you had that discussion.23 A. No.24 Q. Did Mr. Sneddon ever ask you when you had25 that discussion.26 A. No.27 Q. Where did the discussion with Dean Alpert28 take place. 18191 A. I don’t remember. It was probably in his2 office.3 Q. Okay. And the purpose of the discussion was4 what, if you know.5 A. It was probably about Michael.6 Q. Okay. You say “probably about Michael”.7 A. Uh-huh.8 Q. But you’re not sure.9 A. I’m not sure what the whole conversation was10 about.11 Q. Okay. But sometime in that conversation,12 Dean Alpert looked you in the eye and said, “Are13 these allegations that Mr. Jackson sexually abused14 you true,” right.15 A. Uh-huh.16 Q. And you said they were not true, right.17 A. Yeah. I told him that Michael didn’t do18 anything to me.19 Q. Okay. Mr. Alpert asked you twice whether or20 not Michael Jackson had ever done anything of a21 sexual nature to you, correct.22 A. I don’t know if he asked me twice.23 Q. Well, the first time he asked you, you shook24 your head “No,” right.25 A. I don’t know.26 Q. And the second time he asked you, you said27 to him, “No, he did not touch me in any sexually28 inappropriate way,” correct. 18201 A. I don’t know.2 Q. You don’t know.3 A. I’m pretty sure I told him that.4 Q. Okay.5 A. But, I mean, I don’t know how exactly it6 happened.7 Q. Okay. Now, based on what you’ve already8 said, you also discussed a teacher named Geralt,9 right.10 A. Yes.11 Q. When I started asking you questions about12 your discussion with Mr. Sneddon, the first person13 you mentioned was Mr. Geralt, correct.14 A. Yes.15 Q. Mr. Geralt was also a teacher at the school,16 right.17 A. Yes.18 Q. Okay. And in summary, you had some19 disciplinary problems with Mr. Geralt, right.20 A. I had a lot of disciplinary problems.21 Q. Excuse me.22 A. I had a lot of disciplinary problems.23 Q. You had a lot of them.24 A. Uh-huh.25 Q. What disciplinary problems did you have.26 A. I would get into fights sometimes at school.27 Q. Pardon me.28 A. I would get into fights sometimes at school. 18211 Q. Okay. You got into a lot of them, didn’t2 you.3 A. Not a lot. I got into a few.4 Q. Okay. And were you ever asked to leave the5 school.6 A. No, I don’t think so.7 Q. Were you ever asked to leave class.8 A. Yes.9 Q. Okay. And approximately when did that10 happen.11 A. Um, well, a lot of teachers at John12 Burroughs Middle School, once anyone even talks out13 of turn, they’ll send you out of class.14 Q. Well, you got up in class and accused15 Teacher Geralt of having his balls in his mouth,16 right.17 A. His balls in his mouth.18 Q. Yes.19 A. No, because I was never in one of his20 classes.21 Q. Do you deny doing that.22 A. I don’t even remember ever doing that.23 Q. Were you in any programs after school with24 Teacher Geralt.25 A. I believe he was an ROTC instructor.26 Q. Okay. So you were in ROTC at the time,27 right.28 A. No. Not exactly. Because I had so much 18221 experience in that field of marching, and military,2 military aspects, he -- they liked me being an3 advisor there.4 Q. Well, you were accused by Mr. Geralt of5 being totally disruptive in that program, right.6 A. In the ROTC program.7 Q. Yes.8 A. I don’t remember that. I remember them9 loving me there because the whole -- the whole --10 their whole cadet corps was disciplined, and -- and11 knew what they were doing. It was getting better at12 marching.13 Q. And you accused the cadet core of being14 stupid, right.15 A. I might have called a few cadets -- that16 they looked stupid with their uniforms. But -- if17 their uniforms look ugly, that they need to make18 them look better. But I don’t think I remember19 calling the whole core stupid.20 Q. Now, you said you were accused of being on21 drugs, right.22 A. Yes.23 Q. And you say that was false, right.24 A. Yes. I don’t -- will never go on drugs.25 Q. Okay. Who accused you of being on drugs.26 A. Mr. Geralt.27 Q. Okay. And did he ask you if you were on28 drugs. 18231 A. He was doing it in a way that he was trying2 to make fun of me.3 Q. Were you escorted away from the other4 students at one point.5 A. During the detention.6 Q. Yes.7 A. Actually, all of the students in there were8 kind of cheering me on because they all knew how9 Mr. Geralt is, and no one’s ever stood up to him10 before.11 Q. But you stood up to the teacher, right.12 A. I was already standing up, so --13 Q. Excuse me. I’m sorry, I didn’t hear what14 you said.15 A. I guess so.16 Q. You did stand up to Teacher Geralt, right.17 A. Yes.18 Q. You confronted him, right.19 A. Yes, after he had brought himself down to my20 level by doing those things. By not -- see, because21 I believe teachers are higher than me because I’m22 just a student. When a teacher does something like23 that and makes fun of me and tries to say I’m on24 drugs, he’s no longer the level of a teacher, he’s25 come down to my level.26 Q. And you were angry about that, right.27 A. Um, I felt as if he was -- didn’t deserve28 respect as a teacher. 18241 Q. Didn’t deserve respect as a teacher.2 A. No.3 Q. Okay. So you did not respect him because4 you didn’t think he deserved it, right.5 A. I didn’t respect him as a person.6 Q. And you told him that, didn’t you.7 A. I didn’t tell him those exact words.8 Q. Pardon me.9 A. I didn’t tell him, “I don’t respect you.”10 I didn’t tell him in those exact words.11 Q. Okay. Did Teacher Geralt do anything to12 discipline you, that you can recall.13 A. He gave me detention once, I think.14 Q. Okay. And when you say “detention,” what do15 you mean.16 A. Detention with him again.17 Q. Excuse me.18 A. A detention with him again.19 Q. Okay. And what was detention. What did he20 take you do.21 A. He had us go in this -- the auditorium,22 because there was a lot of kids. Well, first we’d23 be in his classroom, and usually there would be a24 lot of kids, so we would usually move over to the25 auditorium because it was bigger, and then we would26 do our homework in there. It was after school.27 Q. Okay. Since we’re on the subject of school,28 I’d like to just ask you some questions about your 18251 experiences at school. Okay.2 A. Uh-huh.3 Q. Did you know a teacher named Murphy.4 A. Mr. Murphy, yes.5 Q. You were disciplined by Mr. Murphy as well,6 correct.7 A. I don’t remember too much about Mr. Murphy.8 Q. Well, was Mr. Murphy one of your teachers.9 A. He was for a while, but I asked the10 counselor -- my counselor to move me out of his11 class.12 Q. Why did you want to get out of Mr. Murphy’s13 class.14 A. I didn’t like how he conducted his15 classroom.16 Q. What didn’t you like about it.17 A. He was just hard to understand, the way he18 was trying to teach.19 Q. Well, he accused you of being disruptive in20 his class, didn’t he.21 A. Uh-huh. Yes.22 Q. Okay. Were you disruptive.23 A. Um, now that I look back, yes. I -- I was24 dis --25 Q. How were you disruptive in Mr. Murphy’s26 class.27 A. I might ask a question without raising my28 hand. 18261 Q. Excuse me.2 A. I might ask a question without raising my3 hand.4 Q. Okay. Your answer is, “I might ask a5 question.” Did you or did you not do that.6 A. I’m pretty sure I did. I mean --7 Q. Well, he accused you of being uncooperative8 and disruptive, didn’t he.9 A. He accused me of being uncooperative because10 I didn’t sign a detention he gave me because I11 didn’t believe it was correct.12 Q. I’m sorry, you’re speaking a little fast.13 I couldn’t understand that. Could you just repeat14 it.15 A. He accused me of being uncooperative because16 of a detention he had given me and I did not want to17 sign it because I didn’t believe it was a --18 Q. What didn’t you want to sign.19 A. A detention.20 Q. Excuse me.21 A. A detention that he had written up.22 Q. Did you refuse to sign it.23 A. Yes.24 Q. And what happened after you refused to sign25 it.26 A. He told me -- he gave me -- he wrote up a27 referral, and I believe he sent me to Dean Alpert.28 Q. Did you know a Mr. Parker at school. 18271 A. Yes.2 Q. Who was Mr. Parker.3 A. He was a new guy that came. I think he was4 going to take Dean Alpert’s spot, and Dean Alpert5 was going to move up or something.6 Q. At one point you apologized to Mr. Parker,7 didn’t you.8 A. Yes.9 Q. What did you apologize to Mr. Parker for.10 A. Probably apologized about the way I was in11 school and stuff.12 Q. And what do you mean by that.13 A. About how I disrespected teachers sometimes.14 Q. Okay. And that was correct, wasn’t it. You15 did disrespect your teachers sometimes, correct.16 A. Yes.17 Q. Did you know a Mr. Collins.18 A. I don’t remember Mr. Collins.19 Q. Do you remember anyone named Collins at the20 school.21 A. No.22 BAILIFF CORTEZ: I need you to speak up a23 little louder. Okay.24 THE WITNESS: Okay.25 Q. BY MR. MESEREAU: How about a Mr. or Mrs.26 Slaugh, S-l-a-u-g-h.27 A. Probably talking about Miss Slaughter.28 Q. Okay, Slaughter. 18281 A. Uh-huh.2 Q. Do you remember a Miss Slaughter.3 A. Yes.4 Q. Do you remember having problems in -- with5 Miss Slaughter.6 A. I was -- not really. I mean --7 Q. You don’t recall arguing with that teacher.8 A. Oh, yeah. I remember.9 Q. What was that argument about.10 A. It’s because I asked to go to the rest room.11 And I told her that I had to go to the rest room or12 else I’ll have problems. And then she still13 wouldn’t let me go.14 Q. And then what happened.15 A. I told her about how I had cancer and stuff,16 and she still wouldn’t let me go to the rest room.17 Q. And what did you do about that.18 A. I sat back in my seat.19 Q. You requested to be transferred out of that20 class, right.21 A. Well, it’s like they had all these -- I22 didn’t really request to get out of Miss Slaughter’s23 class, but I wanted to get out of Mr. Murphy’s24 class. They have different -- they have A, B, C and25 D, I think. And then C was what I was in. And C is26 a whole block of teachers that everyone is in, and27 they all switch around.28 Q. Okay. Well, you were accused of screaming 18291 words that the other students were jumping around2 like retarded people, right. Do you remember that.3 A. I don’t know.4 Q. Do you remember that.5 A. Yes.6 Q. And --7 A. Well --8 Q. Please tell the jury --9 A. Barely.10 Q. -- what happened.11 A. I don’t really remember what I said. It12 probably happened, because a lot of times there13 was -- I would stand up to the teacher. A lot of14 the kids would kind of congratulate me, and then --15 Q. You were kind of a hero for standing up to16 teachers.17 A. Sometimes.18 Q. Okay. Do you remember a teacher named Fink.19 A. I think you’re talking about Mr.20 Finklestein.21 Q. Who is Mr. Finklestein.22 A. He was my math teacher.23 Q. You had problems in that class also, didn’t24 you.25 A. I think everyone in his class had a problem26 with him.27 Q. Let me just ask about you. Did you have28 problems in Mr. Finklestein’s class. 18301 A. I was “everyone.”2 Q. Pardon me.3 A. I was one of the “everyone.”4 Q. You’re saying everybody had a problem.5 A. If everyone had a problem, then I would be6 one of them, right.7 Q. I’m just asking about yourself. Okay. Did8 you have problems with your conduct --9 A. Yes.10 Q. -- in Mr. Finklestein’s class.11 A. Yes.12 Q. Please tell the jury what those problems13 were.14 A. Same problems with every other teacher.15 Q. And what do you mean by that.16 A. I was kind of argumentative sometimes, and I17 shouldn’t have been. I didn’t like the way he18 taught because I wasn’t learning anything.19 Q. And what did you do in his class that caused20 a disruption.21 A. I would argue sometimes about the way he22 would teach, and that he wouldn’t use our textbooks.23 And I asked him why we have these textbooks, if he24 didn’t let us use them.25 Q. And were you disciplined at all.26 A. Yes, sometimes he would send me out of27 class.28 Q. And how many times were you asked by this 18311 teacher to leave the class.2 A. I don’t know.3 Q. Was it more than five.4 A. I don’t know.5 Q. Was it -- do you think it was ten.6 A. I don’t know.7 Q. Do you have any idea at all.8 A. I remember him -- I know I got sent more9 than once, but, I mean, I don’t remember the exact10 number.11 Q. Okay. But you were accused of disrupting12 that class, right.13 A. Yes.14 Q. Do you remember someone named Moon. Is15 there a teacher named Moon.16 A. I remember the name, but I’m not sure which17 teacher it was.18 Q. Well, you were accused of singing in the19 classroom and disrupting the class, right.20 A. Can you tell me more about Mr. Moon.21 Because I don’t remember really who he is.22 Q. Let me ask you this: Were you accused of23 being defiant, singing in the classroom, talking,24 disrupting testing, and they had to call your25 parents.26 A. Mr. Moon. Mr. Moon. Oh, he’s my home room27 teacher. I don’t know.28 Q. You don’t recall any problems with that 18321 teacher.2 A. No, because he was my home room teacher, and3 I hardly do anything in that class.4 Q. Okay. So you don’t recall any problem with5 a teacher named Moon, right.6 A. No.7 Q. Okay. Now, how many times did you refuse to8 write an apology to teachers.9 A. I don’t remember being asked to write an10 apology.11 Q. Well, didn’t you just say before you were12 asked to apologize at one point.13 A. No, I have -- they didn’t ask me to14 apologize. I apologized to Mr. Parker.15 Q. But you were asked to write an apology to a16 child who you insulted in class, correct.17 A. I don’t remember that.18 Q. Okay. Would it refresh your recollection if19 I just show you a note from your school records.20 A. Yes.21 MR. MESEREAU: May I approach, Your Honor.22 THE COURT: Yes.23 MR. SNEDDON: Go ahead.24 THE WITNESS: I can’t really understand that25 writing.26 Q. BY MR. MESEREAU: You can’t read that.27 A. I see “apology” -- it’s kind of messed up28 writing. 18331 THE COURT: Wait a minute. Just a moment.2 He’s just asking you to read that and see if it3 refreshes your memory, not to comment on it.4 Just -- no, you just read it and see if it refreshes5 your memory.6 THE WITNESS: I can’t understand it.7 Q. BY MR. MESEREAU: You didn’t read that at8 all.9 A. It looks like -- kind of like scribbles.10 Q. I’m sorry.11 A. It’s like doctor’s writing.12 Q. You can’t read any of it.13 A. I can’t read that. It’s unlegible.14 Q. Okay. Do you recall an incident like that.15 A. Writing to a student, no.16 Q. Pardon me.17 A. Writing an apology letter to a student, I18 don’t remember.19 Q. Do you recall being asked to write an20 apology to a student.21 A. No.22 Q. Okay. Do you recall being accused of not23 completing your school assignments and tasks.24 A. Yeah, I wouldn’t ever do my homework or25 anything.26 Q. You would never do it.27 A. Okay. I did it sometimes. Like in eighth28 grade I did it for my science class, because I kind 18341 of liked it.2 Q. Now, you testified last week that Mr.3 Jackson didn’t help you with your homework, right.4 A. No. I said that he might have helped me for5 that one little bit of homework that I did, but he6 didn’t really help me too much.7 Q. Okay. But he helped you a little bit,8 right.9 A. Foe that one little bit of the assignment.10 Q. Okay. Do you know a Mr. Davy.11 A. Yeah, he was the vice principal. He was a12 cool guy.13 Q. Which school.14 A. John Burroughs.15 Q. Okay. Do you remember having discussions16 with Mr. Davy about your disciplinary problems.17 A. Yes.18 Q. And please tell the jury what those19 discussions were all about.20 A. I don’t really remember too good. Probably21 the same thing I talked about like with dean -- or22 Mr. Parker, that to get better.23 Q. Well, you had discussions with Mr. Davy,24 right.25 A. Uh-huh.26 Q. The subject of the discussions was your27 being disruptive, right.28 A. Probably, yes. 18351 Q. Please tell the jury what you and he2 discussed.3 A. I don’t really remember. It was in the4 eighth grade. Well, it was a while ago.5 Q. Would it refresh your recollection if I just6 show you one of your school records. And this is7 typed up.8 A. Oh, yes.9 MR. MESEREAU: May I approach, Your Honor.10 THE COURT: Yes.11 Now, when he shows you that, he’s just going12 to ask you if that refreshes your memory. You’re13 not to say what’s on the page or you’re --14 THE WITNESS: Oh, okay.15 THE COURT: -- not to discuss it. There’s16 only one issue in front of you. Go ahead.17 THE WITNESS: All right.18 Oh, I remember Miss Super.19 Q. BY MR. MESEREAU: Have you had a chance to20 read that document.21 A. Yes.22 Q. Does it refresh your recollection about23 problems you had with Mr. Davy.24 A. Well, that wasn’t a letter from Mr. Davy.25 That was a letter from --26 THE COURT: Just a moment. He’s just asked27 you whether or not that refreshes your recollection28 about problems you had with Mr. Davy. That’s a 18361 “yes” or “no” answer.2 THE WITNESS: No, I never had problems with3 Mr. Davy.4 THE COURT: That’s not the question.5 Listen. Did that paper refresh your recollection6 about any problems you have had with Mr. Davy.7 “Yes” or “no.”8 THE WITNESS: No.9 THE COURT: All right. Next question.10 MR. MESEREAU: Yes, Your Honor.11 Q. Did you ever have a discussion with Mr. Davy12 about your disciplinary problems with other13 teachers.14 A. Yes.15 Q. Please tell the jury what went on in that16 discussion.17 A. I don’t really remember too good. I mean,18 he would tell me to get better, or stuff like that.19 Q. Anything else.20 A. Pretty much that’s it.21 Q. Do you know someone named Bender.22 A. Yes, yes. Miss Bender.23 Q. Who is Miss Bender.24 A. She was my history teacher.25 Q. And she was your history of teacher in26 November of 2002, correct.27 A. Yeah, I think so.28 Q. Okay. And she complained to Mr. Davy about 18371 you having disciplinary problems in school, right.2 A. Probably.3 Q. Do you remember that.4 A. Not really. But, I mean, she probably did.5 Q. Would it refresh your recollection if I show6 you a memo from her to Mr. Davy.7 A. I don’t think so, because I would never8 really see those. They would -- the teachers would9 give them to them about me. They wouldn’t, like,10 pass it to me to give to them. They wouldn’t have11 me read it.12 Q. To your knowledge, she did complain about13 your behavior, true.14 A. She probably did. Because a lot of teachers15 did.16 Q. In her class, right.17 A. Yeah.18 Q. Okay. You got complaints from almost every19 teacher at John Burroughs School, right.20 A. Uh-huh.21 Q. And you were going to John Burroughs School22 in 2002, correct.23 A. Uh-huh.24 Q. Were you there in 2001.25 A. I had cancer in 2001.26 Q. So you weren’t at John Burroughs School27 then.28 A. I had -- that was -- I had finished my 18381 chemotherapy in June 2001. So I started -- I2 believe I started in seventh grade in -- or -- I’m3 not sure. Probably the sixth grade. I don’t know.4 All I know is what -- because when I got out of5 cancer, I think I was in the sixth grade at LeConte6 Middle School.7 Q. But you entered Miss Bender’s class in world8 history and geography in 2002, right.9 A. Uh-huh.10 Q. Okay. And she complained that you were11 defiant on a regular basis and disrespectful to her,12 correct.13 MR. SNEDDON: Your Honor, I’m going to14 object as asked and answered. He’s already answered15 this question.16 THE COURT: Overruled.17 You may answer.18 THE WITNESS: Can you repeat the question.19 THE COURT: I’ll have it read back.20 THE WITNESS: Thank you.21 (Record read.)22 THE WITNESS: Yes, I believe so.23 Q. BY MR. MESEREAU: She also said you appeared24 to have good acting skills, right.25 A. I don’t know if she said that.26 Q. Would it refresh your recollection if I show27 you her memo to Mr. Davy.28 A. Probably not, because I never saw the memo 18391 before.2 Q. Well, do you recall her ever saying anything3 to the effect, “You have good acting skills”.4 A. No.5 Q. Okay. When you were at John Burroughs6 School, what kind of grades did you get, generally7 speaking. Were they good.8 A. No.9 Q. Were they poor.10 A. Yeah.11 Q. Okay. And how long were you at John12 Burroughs School.13 A. Seventh and eighth grade, I believe.14 Q. Okay. So that would be two years.15 A. Probably. I mean, because I don’t think I16 stood there the whole seventh and eighth grade.17 Q. I’m sorry, I couldn’t hear that.18 A. I don’t think, because, I mean, a few months19 I was at Neverland, I don’t think I stood there the20 whole two years of school.21 Q. Did you discuss these disciplinary problems22 that you had at John Burroughs School with23 Mr. Sneddon last night.24 A. Yes.25 Q. Did he ask you about all these teachers.26 A. No.27 Q. Well, he asked you about some teachers,28 didn’t he. 18401 A. Yes.2 Q. What teachers did Mr. Sneddon ask you about3 last night.4 A. He asked me -- well, I don’t think he asked5 me about teachers. I think he just -- I just recall6 Mr. Geralt. And Alpert, the dean.7 Q. Do you recall a teacher named Martinez.8 A. Oh, yes.9 Q. Martinez was your drama teacher, correct.10 A. Yes.11 Q. And you were accused of being disruptive in12 that class, weren’t you.13 A. Probably.14 Q. Now, were you taking -- excuse me, let me15 rephrase that.16 Let’s talk about the year 2002 when you were17 having these disciplinary problems in John Burroughs18 School, okay. Were you taking any medication then.19 A. I was taking my 500 milligrams of20 Amoxicillin, the antibiotics I have to take for like21 the rest of my life, and the -- and five milligrams22 of Lycinopril for my kidney.23 Q. Now, at some point you entered into an24 agreement to do independent study, right.25 A. Yes.26 Q. And approximately when was that.27 A. I’m not sure. Toward the end -- probably28 the second semester of the eighth grade. 18411 Q. And approximately what year would that be.2 A. 2003, I think.3 Q. Excuse me.4 A. Maybe 2003.5 Q. Okay. You attended Roosevelt High School at6 one point, right.7 A. No.8 Q. Did you ever go to Roosevelt High School.9 A. No.10 Q. Did you ever go to City of Angels.11 A. No.12 Q. Ever do an independent study program with13 City of Angels.14 A. I don’t know if it was with City of Angels,15 but I did an independent study program.16 Q. Okay. Again, what year was that, if you17 know.18 A. Probably 2003.19 Q. Okay. And how about Bernice Carlson20 Hospital School. Do you recall that school.21 A. No.22 Q. Don’t recall ever being enrolled there.23 All right. Before Burroughs, which school24 did you go to.25 A. I think it was LeConte Middle School.26 Q. Excuse me.27 A. LeConte Middle School.28 Q. Is it LeComt. 18421 A. LeConte.2 Q. LeConte. And where was that located.3 A. North Hollywood. It was a magnet school.4 Q. Did you ever have any disciplinary problems5 at that school.6 A. Yeah, probably.7 Q. Please tell the jury what disciplinary8 problems you had at that school.9 A. Same stuff. I mean, I was -- I wasn’t that10 good of a kid then.11 Q. Okay. And what did you do that was a12 problem.13 A. Argue with teachers, stuff like that.14 Q. Did you get disciplined at that school.15 A. Yeah, I’m pretty sure I did.16 Q. Please tell the jury how you were17 disciplined.18 A. They would probably give me detention or19 something like that.20 Q. And what were you accused of doing at that21 school.22 A. Being argumentative and confrontational and23 stuff like that.24 Q. Let me get back to your conversation with25 Mr. Sneddon last night. Did he ask you who Jeffrey26 Alpert is.27 A. He asked me who Dean Alpert was.28 Q. And did you tell him who Jeffrey Alpert is. 18431 A. I don’t know if Dean Alpert was the same2 Jeffrey Alpert, because, I mean, I only call him3 Dean Alpert. So I don’t know if we’re talking about4 the same guy, because there’s -- I think there’s5 another guy named Alpert there.6 Q. Okay. Did you tell Mr. Sneddon you knew who7 Dean Alpert was.8 A. Yes.9 Q. Did you tell him when you first met Dean10 Alpert.11 A. Yes. Well --12 Q. What did you tell Mr. Sneddon.13 A. Well, I didn’t really tell him when I first14 met him, but I told him that I knew that I met him.15 Q. Okay. Did the conversation begin with a16 discussion about Mr. Alpert or Mr. Geralt.17 A. I believe it was about Mr. Geralt first.18 Q. Okay. And you told Mr. Sneddon your history19 with Mr. Geralt, right.20 A. I told him about that one story that I told21 you.22 Q. Pardon me.23 A. I told him about that one story that I told24 you.25 Q. Okay. And after you finished telling Mr.26 Sneddon about your experiences with Mr. Geralt, did27 you then start talking about Mr. Alpert.28 A. No, he asked me if I remember who Mr. Alpert 18441 was.2 Q. Okay. Now, you were sent to Mr. Alpert’s3 office many times for disciplinary problems,4 correct.5 A. Uh-huh.6 Q. Generally fights, correct.7 A. Um, not really. Because I didn’t want to8 fight in the seventh grade -- well, every time I9 would get into a fight, I would be sent there. I10 got into one fight in seventh grade with an eighth11 grader, and I’m not -- I remember one fight, but I12 know I got into more than one in the eighth grade.13 Q. Okay. But you were -- you had a lot of14 meetings with him about --15 A. Yes.16 Q. -- allegations, at least, that you were a17 discipline problem, right.18 A. No, I had meetings with him because I was a19 disciplinary problem.20 Q. Okay. Okay. And do you know approximately21 when Dean Alpert called you in his office to ask you22 if any of these allegations involving Michael23 Jackson were true.24 A. I believe it was after I came back from25 Neverland.26 Q. Pardon me.27 A. I’m pretty sure it was after I came back28 from Neverland, the eighth grade. 18451 Q. Okay. And he looked at you, and he said,2 “Look at me, look at me, Gavin. I can’t help you3 unless you tell me the truth. Did any of this4 happen. Did anything bad happen.” Remember that.5 A. Um, yeah, I believe so.6 Q. And your response was, “No, nothing7 happened,” right.8 A. Yeah.9 Q. Okay. You used to send a lot of letters and10 cards to Michael Jackson, correct.11 A. Yes.12 Q. When did you begin sending letters and cards13 to Michael Jackson.14 A. When I met him, I guess.15 Q. Excuse me.16 A. When I met him.17 Q. Would that be the first trip to Neverland.18 A. Yeah, I don’t think I gave him a card19 when -- the first day I met him, but, I mean, it was20 probably around the times that I knew him.21 Q. You also were sending cards to his assistant22 named Evvy, right.23 A. Yes. She was a really nice lady.24 Q. Please tell the jury who Evvy is.25 A. I think she’s like the assistant to Michael26 or something like that.27 Q. You sent a card to her saying that you loved28 her, right. 18461 A. Yeah -- I believe I did.2 Q. Yeah, your whole family did, right.3 A. I think we did.4 Q. Said, “Evvy, sweetheart, we love you,”5 right.6 A. I don’t know if we said that, but I mean --7 Q. Would it refresh your recollection if I just8 show you a copy of a card.9 A. Sure. Yes.10 MR. MESEREAU: May I approach, Your Honor.11 THE COURT: Yes.12 MR. SNEDDON: Could I see the card for just13 a second.14 THE WITNESS: It’s --15 THE COURT: Just a moment. He’s just showing16 you the card, remember.17 THE WITNESS: Okay.18 THE COURT: Now he’s going to ask you if it19 refreshes your recollection.20 THE WITNESS: All right.21 Q. BY MR. MESEREAU: Have you had a chance to22 look at that card.23 A. Yes.24 Q. Does it refresh your recollection about25 sending a card to Evvy.26 A. A little bit. Because I knew we sent cards27 to Evvy.28 Q. Okay. You called her a sweetheart and said 18471 you loved her, right.2 MR. SNEDDON: Your Honor, I’m going to3 object to that question, because counsel’s not laid4 the foundation that he recognizes the handwriting as5 being his.6 THE WITNESS: That’s my mom’s --7 THE COURT: Just a moment.8 MR. SNEDDON: Lack of foundation.9 MR. MESEREAU: I’ll go into it, Your Honor.10 THE COURT: The objection is overruled.11 THE COURT: You may answer. I’ll have the12 question -- do you want the question read back.13 THE WITNESS: Yes.14 (Record read.)15 THE WITNESS: Yes.16 Q. BY MR. MESEREAU: And you used to write17 cards to Michael and call him “daddy,” correct.18 A. Yes.19 Q. And you would refer to yourself as his son,20 right.21 A. Well, I called him “daddy,” and then he22 would call me his son.23 Q. Well, you yourself wrote to him and said,24 “To Daddy Michael, from your son Gavin,” correct.25 A. That’s probably after he called me “son.”26 Q. Let me just ask you the question again,27 because you got to answer the question.28 A. Okay. 18481 Q. Isn’t it true that you sent a letter to2 Michael Jackson, you addressed it to “Daddy Michael,3 from your son Gavin”.4 A. I mean, I’m -- I don’t know every letter I5 ever sent to him, but, I mean, I probably did.6 Q. Do you remember doing that.7 A. Not really.8 Q. Would it refresh your recollection if I just9 show you that, the letter.10 A. Yes.11 MR. MESEREAU: May I approach, Your Honor.12 THE COURT: Yes.13 THE WITNESS: Yeah.14 Q. BY MR. MESEREAU: Have you had a chance to15 look at that document.16 A. Yes.17 Q. Does it refresh your recollection about18 sending Michael Jackson a letter that said, “To19 Daddy Michael, from your son Gavin”.20 A. Yes.21 Q. Do you remember sending another card to22 Michael Jackson that said, “I miss you, Daddy23 Michael”.24 A. I don’t know -- I probably did send him25 that.26 Q. Do you know for sure if that happened.27 A. Not for sure, but I’m pretty sure I did.28 Q. Would it refresh your recollection if I just 18491 show you the card.2 A. Yes.3 MR. MESEREAU: May I approach, Your Honor.4 THE COURT: Yes.5 THE WITNESS: Oh, yes.6 Q. BY MR. MESEREAU: Okay. Have you had a7 chance to look at that document.8 A. Yes.9 Q. Does it refresh your recollection about your10 sending a card to Michael Jackson that said, “I miss11 you, Daddy Michael”.12 A. Yes.13 Q. Okay. How often would you send cards or14 letters to Michael Jackson.15 A. I’d probably send them maybe once a month or16 something like that.17 Q. And you used to ask him for his phone18 numbers, right.19 A. He would give me some of his phone numbers.20 Q. Pardon me.21 A. He would give me some of his phone numbers.22 He gave them.23 Q. But correct me if I’m wrong, did you tell24 the jury last week that he gave you phone numbers25 that ended up not working.26 A. No, I told you he gave me phone numbers, and27 after a while they didn’t work.28 Q. And you would then routinely ask him for 18501 numbers that did work, right.2 A. Not really routinely. But, I mean, I asked3 him.4 Q. Okay. Do you know approximately when you5 began sending letters or cards to Michael Jackson.6 A. Probably when the numbers didn’t work no7 more, and all we had was Evvy to talk to.8 Q. Do you remember sending a letter to Michael9 Jackson that said, “I love you, Daddy Michael. And10 tell my little brother and little sister that I love11 and care about them. Thank you for everything,12 Daddy Michael. Thank you for being my Daddy13 Michael. Thank you for helping me be happy and beat14 cancer.” Do you remember sending him a letter like15 that.16 A. Not really, but I mean I probably did.17 Q. Would it refresh your recollection if I just18 show you the card, or a copy of the card.19 A. Yes.20 MR. MESEREAU: May I approach, Your Honor.21 THE COURT: Yes.22 THE WITNESS: Oh, I remember.23 Q. BY MR. MESEREAU: Have you had a chance to24 look at that copy of a card.25 A. Yes.26 Q. And does it refresh your recollection that27 you wrote to Michael Jackson yourself and thanked28 him for helping you beat cancer. 18511 A. I remember that card.2 Q. Pardon me.3 A. I remember that card.4 Q. You did write to Michael Jackson yourself5 and thanked him for helping you beat cancer,6 correct.7 A. I wrote that in the letter, yes.8 Q. Okay. You used to also write letters to9 Michael Jackson’s children, right, Prince and Paris.10 A. I might have.11 Q. You called Michael, Prince and Paris your12 very best friend -- friends in the world, right.13 A. I don’t know.14 Q. Do you recall doing that.15 A. No.16 Q. Would it refresh your recollection if I show17 you a copy of that card.18 A. Yes.19 MR. MESEREAU: May I approach, Your Honor.20 THE COURT: Yes.21 THE WITNESS: I don’t remember writing that.22 Q. BY MR. MESEREAU: You don’t remember that.23 A. No.24 Q. Do you remember writing any letters that25 were addressed to Michael, Prince and Paris.26 A. My writing doesn’t -- no.27 Q. You don’t recall ever doing that.28 A. No. My writing doesn’t look that good. 18521 Q. Pardon me.2 A. My writing doesn’t look that good.3 Q. Okay. Now, you used to write Evvy, Michael4 Jackson’s personal assistant, and thank her for what5 she had done for you, correct.6 A. Yeah, I would thank her for, like, setting7 up stuff and helping us.8 Q. What nice things had Evvy done for you.9 A. She would like -- when I would -- she helped10 me set up the AOL account with the Internet.11 Q. I’m sorry, I can’t --12 A. She helped me set up the Internet on the13 computer that Michael --14 Q. What else did she do for you.15 A. She was just a really nice lady. I mean, we16 would call her and she would be really nice to me.17 Q. Do you recall ever writing to Michael18 Jackson about his injuring his foot.19 A. Yes.20 Q. And tell the jury what you told Michael21 Jackson about that.22 A. I just told him, like, I hope he feels23 better, or stuff like that.24 Q. You told him that your family was praying25 for him, true.26 A. I think so.27 Q. You said you felt sorry about his foot being28 broken, right. 18531 A. Yes.2 Q. And you said you couldn’t wait till you3 could play at Neverland again, right.4 A. Yes.5 Q. You called him “daddy” in that letter,6 right.7 A. Yes, I believe so.8 Q. Is that true.9 A. I don’t know, but I’m pretty sure I did.10 Q. Okay. You reminded him that he keeps all of11 his promises, right.12 A. Yeah, he would tell me he keeps every13 promise he says.14 Q. Okay. And you reminded him of that in your15 letter at one time, right.16 A. Yes.17 Q. And you said, “I wish I could be with you in18 New York and watch you record your music stuff.”19 Remember that.20 A. No.21 Q. Would it refresh your recollection if I just22 show you a copy of this letter.23 A. Yes.24 MR. MESEREAU: May I approach, Your Honor.25 THE COURT: Yes.26 THE WITNESS: Oh, yeah, I remember that.27 Q. BY MR. MESEREAU: Have you had a chance to28 look at that document. 18541 A. Yes.2 Q. And you wanted to go to New York and be with3 Mr. Jackson in a recording studio, right.4 A. I guess. I mean, yeah.5 Q. And that didn’t happen, right.6 A. No.7 Q. You never traveled with Mr. Jackson to New8 York.9 A. I never traveled with Mr. Jackson.10 Q. You called him the nicest, most loving11 person in the world, right.12 A. Yes.13 Q. You said, “I love you, Daddy Michael,”14 right.15 A. Yes.16 Q. You said, “Thank you, Daddy Michael, for17 being my best, best friend forever and ever,” right.18 A. Yes.19 Q. Okay. You sent another card to him and it20 said, “Here’s a little something to make you feel21 better while your leg is healing. Ha ha, ha ha.22 Love you. Love, your son Gavin.” Do you remember23 that.24 A. Yeah.25 Q. Do you remember doing that.26 A. Yes. Yes.27 Q. Okay. Do you remember sending him a card28 asking him to, “Please come back, I miss you, I love 18551 you”. Do you remember that.2 A. No.3 Q. Would it refresh your recollection if I show4 you a copy of that card.5 A. Yes.6 MR. MESEREAU: May I approach, Your Honor.7 THE COURT: Yes.8 Q. BY MR. MESEREAU: Have you had a chance to9 look at that document.10 A. Yes.11 Q. Does it refresh your recollection.12 A. Not really.13 Q. Okay. You don’t recall saying words to14 Mr. Jackson, “Come back, I miss you, I love you”.15 A. I mean, because I probably did, but I don’t16 really remember sending a letter.17 Q. Okay. Now, to your knowledge, other members18 of your family were sending cards to Mr. Jackson as19 well, right.20 A. Yes.21 Q. Okay. You sent a lot of cards that were22 signed, “Your son, Gavin,” true.23 A. Yes.24 Q. All right. You used to refer to Michael as25 your best friend, right.26 A. Yes.27 Q. You used to refer to him as “cool,” right.28 Right. 18561 A. I don’t know if I said “cool,” but I2 probably did.3 Q. You said you liked being in the music studio4 at Neverland.5 A. Yes.6 Q. Were you ever in his music studio at7 Neverland.8 A. Yes.9 Q. Were you with Michael Jackson.10 A. Yes.11 Q. Who else was there.12 A. I think David was there.13 Q. You said who.14 A. David.15 Q. Your father.16 A. No, the -- the -- the dude that would, like,17 work with all the computers and stuff. And one time18 when we went in there and he was doing his hair with19 one lady.20 Q. This is someone who works on the computers21 at Neverland.22 A. Well, I don’t know if -- he’s like a23 computer-whiz-type guy. And then the other time was24 with the lady that was in there doing his hair or25 something.26 Q. How often were you in the music studio at27 Neverland.28 A. Not really that often. I mean, I would go 18571 in there sometimes.2 Q. Would you go in there with Michael Jackson3 or would you go in there with someone else,4 typically.5 A. I would usually go in there when Michael was6 probably already in there.7 Q. And usually what time of day would that be.8 A. Afternoon.9 Q. Was there a general time you used to go in10 there.11 A. Not really, because it was pretty random. I12 mean, because we would be probably bored, and then13 we’d ask, “Where’s Michael at,” and then we would go14 to his studio.15 Q. And how long would you stay in the studio,16 typically.17 A. An hour or two. Like, we would be in there,18 and it would kind of give Michael a little break19 from working. And once he had to go back to work,20 we would leave and go do something else.21 Q. Were you ever in that music studio when22 Michael Jackson was not present.23 A. I think I might have been in there once.24 Q. How did you get in.25 A. Well, the door was probably open. Because26 there’s a code there, and you can’t really get in27 without the code.28 Q. How did you get the code. 18581 A. I said that I didn’t know the code. So the2 door might have been open or something.3 Q. Excuse me.4 A. It was either someone was already probably5 in there, or the door was open, because I didn’t6 know that code.7 Q. But you and Star used to go into that studio8 without Mr. Jackson, didn’t you.9 A. No, I don’t remember going there randomly.10 Q. Do you ever remember being in there with11 your brother Star.12 A. I probably went in there once without13 Michael being there, but, I mean -- it was probably14 just to look in there and look if Michael was there.15 Q. And my question is -- you’re telling the16 jury you probably went in there. And my question17 is, how did you get in, if you know.18 A. I don’t know, because I didn’t know the19 code. So it wouldn’t be punching in the code.20 Q. Okay. Did you ever ask anybody for the code21 to the studio at Neverland.22 A. No, I don’t think so. I mean, because that23 was like Michael’s work area, so I wouldn’t even24 really want to be in there.25 Q. Were you ever in the theater with your26 brother Star when Michael Jackson was not present.27 A. Yes.28 Q. How did you get in. 18591 A. The door was usually open to the theater.2 Q. And what did you and Star do in that theater3 when Michael was not with you.4 A. Watch movies.5 Q. Did you just pick the movies yourself.6 A. No. They -- they had this list of all the7 movies that would be playing in the theater, at his8 theater. They had like this chalkboard, and you9 write them there, and say that we could go watch10 them; that these are the movies that would be11 playing. And we would go and talk to the guy that12 works the projector and we asked him what movie to13 play. And we’d get our little snacks from the booth14 place and then we’d go sit down and watch.15 Q. And did you feel you could just go in there16 anytime you wanted.17 A. Pretty much.18 Q. Okay. And did you do that.19 A. Yeah. Yes.20 Q. Did you start using that theater from the21 first time you ever visited Neverland.22 A. I think we went in there the first time we23 visited at Neverland.24 Q. And correct me if I’m wrong, you would25 simply go in there and pick whatever movie you26 wanted, or would it just be the movie for the day.27 A. Sometimes they would only have one movie and28 sometimes they would have more than one movie, and 18601 we would go in there and we would watch it.2 Q. When you were recovering from cancer, did3 you used to go into that theater and watch movies.4 A. When I had cancer, I think I went in there5 and watched movies.6 Q. Okay. When did you learn your cancer was in7 remission.8 A. June 2001.9 Q. Okay. And after you learned your cancer was10 in remission, when is the next time you remember11 speaking to Michael Jackson.12 A. When he wanted me to go up and do the Martin13 Bashir thing.14 Q. Was that the first time you recall speaking15 to Michael Jackson after you learned your cancer was16 in remission.17 A. Yes.18 Q. Okay. These cards that I just showed you,19 letters and cards, you started sending them shortly20 after you met Mr. Jackson, correct.21 A. Well, not really, because I think we -- I22 think I started wanting to send the cards when23 Michael wasn’t talking to me anymore.24 Q. When he wasn’t talking to you anymore.25 A. Yeah.26 Q. And approximately when do you think he27 wasn’t talking to you anymore.28 A. Two months into my cancer. 18611 Q. Excuse me.2 A. Two months into my chemotherapy.3 Q. Approximately when would that be.4 A. August or September of 2000.5 Q. Okay. So August or September of 2000, you6 and your family started sending nice letters and7 cards to Michael Jackson, correct.8 A. Yes.9 Q. And those are the letters and cards that I10 showed you a little while ago, right.11 A. Yes.12 Q. And it was your understanding your mother13 used to send him cards and letters as well, right.14 A. I think so.15 Q. And she used to refer to him as “daddy,”16 didn’t she.17 A. I don’t think she referred to him as18 “daddy.”19 Q. You never heard her say that once.20 A. Well, toward me, me saying that. Because, I21 mean, my dad had left. And I started calling him22 “daddy” after my dad left because I didn’t have a23 dad.24 Q. And your mother approved of that, correct.25 A. Yeah.26 Q. Okay.27 THE COURT: All right. Let’s take our28 morning break. 18621 (Recess taken.)2 --o0o--345678910111213141516171819202122232425262728 18631 REPORTER’S CERTIFICATE234 THE PEOPLE OF THE STATE OF )5 CALIFORNIA, )6 Plaintiff, )7 -vs- ) No. 11336038 MICHAEL JOE JACKSON, )9 Defendant. )101112 I, MICHELE MATTSON McNEIL, RPR, CRR, CSR13 #3304, Official Court Reporter, do hereby certify:14 That the foregoing pages 1797 through 186315 contain a true and correct transcript of the16 proceedings had in the within and above-entitled17 matter as by me taken down in shorthand writing at18 said proceedings on March 14, 2005, and thereafter19 reduced to typewriting by computer-aided20 transcription under my direction.21 DATED: Santa Maria, California,22 March 14, 2005.2324252627 MICHELE MATTSON McNEIL, RPR, CRR, CSR #330428 OFFICIAL COURT REPORTER 18641 SUPERIOR COURT OF THE STATE OF CALIFORNIA2 IN AND FOR THE COUNTY OF SANTA BARBARA3 SANTA MARIA BRANCH; COOK STREET DIVISION4 DEPARTMENT SM-2 HON. RODNEY S. MELVILLE, JUDGE567 THE PEOPLE OF THE STATE OF )8 CALIFORNIA, )9 Plaintiff, )10 -vs- ) No. 113360311 MICHAEL JOE JACKSON, )12 Defendant. )1314151617 REPORTER’S TRANSCRIPT OF PROCEEDINGS1819 MONDAY, MARCH 14, 20052021 (PAGES 1865 THROUGH 2016)222324252627 REPORTED MICHELE MATTSON McNEIL, RPR, CRR, CSR #330428 BY: Official Court Reporter 18651 APPEARANCES OF COUNSEL:23 For Plaintiff: THOMAS W. SNEDDON, JR.,4 District Attorney -and-5 RONALD J. ZONEN, Sr. Deputy District Attorney6 -and- GORDON AUCHINCLOSS,7 Sr. Deputy District Attorney 1112 Santa Barbara Street8 Santa Barbara, California 9310191011 For Defendant: COLLINS, MESEREAU, REDDOCK & YU BY: THOMAS A.MESEREAU, JR., ESQ.12 -and- SUSAN C. YU, ESQ.13 1875 Century Park East, Suite 700 Los Angeles, California 9006714 -and-15 SANGER & SWYSEN16 BY: ROBERT M. SANGER, ESQ. 233 East Carrillo Street, Suite C17 Santa Barbara, California 9310118 -and-19 OXMAN and JAROSCAK BY: R. BRIAN OXMAN, ESQ.20 14126 East Rosecrans Boulevard Santa Fe Springs, California 906702122232425262728 18661 THE COURT: All right. You may proceed.2 MR. MESEREAU: Thank you, Your Honor.3 Q. BY MR. MESEREAU: Gavin, I just want to ask4 you a couple of questions about your illness. Okay.5 Looking at your medical records, clearly you6 had a massive amount of tumor, right.7 A. Yes.8 Q. And you had surgery on your spleen, a9 kidney, the tip of your pancreas, right.10 A. I don’t know about my pancreas. But they11 took out my kidney and my spleen.12 Q. All right. Now, how long after your surgery13 did you learn you were in remission.14 A. After my surgery. It wasn’t -- you’re not15 in remission until you’re done with your16 chemotherapy.17 Q. Okay. So when were you told your cancer is18 in remission.19 A. June 2001.20 Q. Okay. And when was your surgery, if you21 know.22 A. June 2000.23 Q. Okay. So one year after your surgery, were24 you told the cancer had disappeared.25 A. Yes.26 Q. Okay.27 A. June of 2001.28 Q. Okay. And in 2001, you did not go to 18671 Neverland, correct.2 A. No.3 Q. In 2000 you made a number of trips to4 Neverland, right.5 A. Yes.6 Q. So you started going to Neverland right7 after you had your surgery, right.8 A. Not right after, because I had to recuperate9 from the surgeries.10 Q. Okay. How many months after your surgery do11 you think you started going to Neverland.12 A. It was probably after the first round of --13 because I had to recuperate from the surgery and14 then I had to do my first round of chemotherapy.15 Q. Okay.16 A. And so after my first round of chemotherapy,17 I believe I went to Neverland.18 Q. You can play sports now, correct.19 A. Yes.20 Q. And what sports do you play.21 A. I play football.22 Q. Okay. What position.23 A. They have me at wide receiver, but they kind24 of realized that I was too big, and -- to play wide25 receiver.26 Q. Okay.27 A. So they put me on corner now.28 Q. Now, have you -- have you ever learned what 18681 kind of cancer it was.2 A. They didn’t -- no one ever knew what kind of3 cancer it was. That’s why I only believe that God4 gave me this cancer to guide my life in a certain5 way --6 Q. Right.7 A. -- because they -- no one -- they sent it8 all over the country and no one could figure out9 what kind of cancer it was.10 Q. What I’m asking is this: How long after the11 surgery did you learn there was no cancer in your12 body at all. Was it one year.13 A. It was -- well, it’s like they had a CAT14 scan after my fifth round of chemotherapy.15 Q. Right.16 A. And then they said they couldn’t see the17 cancer anymore, but they said they still had to18 finish the rest.19 I asked them, “Why can’t I stop now then.”20 Because, I mean, I didn’t like taking chemotherapy,21 because it made me nauseous and a bunch of other22 stuff.23 But he said I had to finish the next five,24 because it could be to where it’s really, really25 small, to where you can’t see it under a microscope.26 So they said I had to finish.27 Q. Okay. Do you recall -- let me rephrase the28 question. 18691 Do you remember in 1996 making a false2 allegation that your mother abused you.3 MR. SNEDDON: Your Honor, I’m going to4 object to that. 403.5 THE COURT: Sustained.6 Q. BY MR. MESEREAU: I asked you some questions7 about Evvy Tavasci. And she was Michael Jackson’s8 assistant, right.9 A. Yes.10 Q. And did you talk to her often.11 A. Yeah.12 Q. And --13 A. Yes.14 Q. -- when did you begin talking to her.15 A. I began talking to her once I -- the first16 time I met Michael, I mean, I would call her17 sometimes and ask her about stuff. I would talk to18 her, and I would ask her if she knew where Michael19 was sometimes, or stuff like that.20 Q. Well, how many times do you think you21 telephoned Evvy Tavasci.22 A. I don’t know. I don’t know how many times I23 called her.24 Q. You called her quite often, didn’t you.25 A. I believe so.26 Q. And do you know when you began telephoning27 Evvy.28 A. When I first met Michael. 18701 Q. And did Michael give you her phone number.2 A. I believe so.3 Q. Did Michael tell you you could call Evvy4 when you wanted to.5 A. Not really. It was -- I wasn’t supposed to6 just call her for a lot of times. Or like -- for7 just like business -- well, not really business,8 but, I mean, stuff like if I wanted to go to9 Neverland or something like that.10 Q. I can’t hear what you’re saying.11 A. If I wanted to go to Neverland or something12 like that.13 Q. Okay. Did you think she was your friend.14 A. Yes.15 Q. Okay. Did you think she was a friend of16 your family.17 A. Yes.18 Q. And did you call her every week.19 A. No, not really. I mean, we would call her20 sometimes, but I don’t know if it was every week.21 Q. You mentioned that she had helped you set up22 an AOL account on the computer that Michael Jackson23 gave you, right.24 A. Yes.25 Q. And approximately when did she set up that26 account, if you know.27 A. After Michael had given me the computer.28 Michael told me that he wanted to get me Internet 18711 for the computer, so he told me just like -- that’s2 the kind of stuff I’m talking about to call Evvy, to3 call Evvy and she would help me set it up.4 Q. When you called Evvy to help set up that5 account, were you recovering from cancer.6 A. No. I was in the middle of it -- I mean, I7 just started.8 Q. Excuse me, I couldn’t understand that.9 A. I just started chemotherapy.10 Q. Okay. So you had just started chemotherapy11 when you first began talking to Evvy.12 A. Because the first time I went up to13 Neverland he gave me the computer, so that’s when he14 told me that he wanted me to get Internet. So when15 I came back, that’s when I set it up, came back to16 my house. That’s when I set up the Internet.17 Q. So you came back to your house with a18 computer that Michael Jackson had given you, right.19 A. Yes.20 Q. You called Evvy to help set up an AOL21 account, right.22 A. Yes.23 Q. You wanted an Internet account, correct.24 A. I thought it would be cool if I had one.25 Q. Okay. And Michael Jackson ended up paying26 for that, true.27 A. Yes.28 Q. Okay. And you requested a screen account 18721 name, right.2 A. Well, I didn’t request it. Well, it’s3 because I have the computer and they were telling me4 what to do. And I put my name in -- I put the5 screen name I wanted in there.6 Q. Okay. You put the screen name you wanted in7 there.8 A. Yeah. Like there’s -- well, when you have9 the CD and you’re setting it up, like it tells you10 to do all the things, and --11 Q. Right.12 A. -- there’s a point where they have you put13 in what screen name you want.14 Q. Right.15 A. And I put the screen name that I wanted in16 there.17 Q. Did you do this right after you returned18 home with the computer Michael Jackson had given19 you.20 A. Probably not right after. Maybe a few days21 after.22 Q. Okay. And was this one of the first things23 you did when you got home.24 A. No. Because it was a few days after I got25 home.26 Q. Okay. So a few days after you returned from27 your first trip to Neverland, you tried to set up an28 AOL account on the computer that Mr. Jackson had 18731 given you, right.2 A. Yes, I did set up an AOL account.3 Q. Was that the first computer you’d ever4 owned.5 A. Yes.6 Q. Was it the first computer you’d ever used.7 A. No, because I -- no.8 Q. Explain -- let me rephrase that.9 When did you first learn to use a computer.10 A. In the first grade.11 Q. Okay. Did you own a computer at any time12 before Mr. Jackson gave you the computer.13 A. No.14 Q. Okay. But you knew how to use one, correct.15 A. I wasn’t like a cyber guy, but I knew how to16 generally use a computer.17 Q. You knew what an AOL account was, right.18 A. Not really. They told me.19 Q. But you immediately started to set one up20 when you got home with the computer Mr. Jackson gave21 you, right.22 A. Not when I got home. A few days later.23 Q. You called up Evvy about setting up that24 account, right.25 A. Yeah. Because -- well, yeah. Yeah.26 Q. And you requested a screen account name of27 gblade2000 --28 MR. SNEDDON: I’m going to object to that. 18741 THE COURT: Sustained.2 Q. BY MR. MESEREAU: Do you remember the3 password -- excuse me, let me rephrase that. Do you4 remember the prosecutor asked you questions about5 passwords.6 A. Yes.7 Q. And do you remember you talked about what8 passwords you wanted.9 A. Not -- to the prosecutor.10 Q. Yeah. Did you say something about “hawk”.11 A. Oh, I told him that one of my screen names12 that I had was whitehawk344.13 Q. Please tell the jury what a screen name is.14 A. It’s on the Internet. You have like a name15 that you go by, and that’s the screen name.16 Q. Do you remember asking Mrs. Tavasci to17 change the password to “sexy,” s-e-x-y.18 MR. SNEDDON: Your Honor, I’m going to19 object again. This is in violation of the Court’s20 order.21 THE COURT: Sustained; that is a violation.22 The jury’s admonished to disregard that.23 You’re instructed not to go into that.24 MR. MESEREAU: Yes, Your Honor.25 Q. Let me ask you questions about the alarm26 system.27 Do you recall the alarm system at Neverland.28 A. I remember an alarm system that was up at -- 18751 where like you would see -- where you would -- this2 one house where they put all this stuff in, like his3 awards and his gloves, and stuff like that.4 Q. When did you first learn about the alarm5 system at Neverland.6 A. Well, he had passwords and stuff, so I’m7 pretty sure those were alarm systems.8 Q. And when did you first see an alarm system9 at Neverland.10 A. I saw the code things, but I never really11 saw the alarm system.12 Q. Now, what code things are you talking about.13 A. The code that you push so the doors would14 open.15 Q. And how did you learn about those codes.16 A. We’d go into the main house, Michael gave me17 a code, I guess that’s what I learned about it.18 Q. Do you remember the number of the code he19 gave you.20 A. No.21 Q. Do you remember any of the code numbers at22 Neverland.23 A. I remember the code to his room.24 Q. What was the code number to his room.25 A. I’m pretty sure it was like 1960.26 Q. And approximately when did you learn that27 code number.28 A. I didn’t learn that until after I came back 18761 from Miami.2 Q. Had you ever been -- excuse me. Had you3 ever learned any code number at Neverland before you4 got back from Miami.5 A. Yes. They -- when I was visiting the first6 time, they told me the code to the main house.7 Q. Who is “they”.8 A. It was either Michael or the maids.9 Q. Did you ever ask anybody for the code at10 Neverland.11 A. Yeah, I would ask Michael.12 Q. And did you ever ask anybody else.13 A. Well, not really. I mean, I would ask the14 maids sometimes when I would forget the code and15 they would remind me. But when I would ask -- like16 when I didn’t know the code at all, and I would17 first ask, I would usually ask Michael.18 Q. Did you ever ask any security person any19 code number.20 A. No.21 Q. Did you ever see your brother or sister ask22 any security person for any code number.23 A. No.24 Q. Do you recall having the code to get into25 Michael’s room.26 A. Yes.27 Q. Do you recall having the code to get into28 any other room at Neverland. 18771 A. No.2 Q. Never did.3 A. No. I think those are the only two.4 Q. Do you recall ever going into any room at5 Neverland when Michael Jackson wasn’t present,6 besides his bedroom.7 A. I mean, there’s a lot of rooms there. I8 don’t -- maybe we’d go in the arcade and play video9 games. I don’t know if that counts.10 Q. What rooms at Neverland have you been into11 when Michael Jackson was not present.12 A. The theater. The main house. My unit. The13 train house -- the train station. I guess that’s14 it.15 Q. Are they the only rooms you ever went into16 when Michael Jackson wasn’t present.17 A. Oh, maybe the library, too.18 Q. Did you ever go into his children’s19 bedrooms, Prince and Paris.20 A. Yeah. Well, when Michael wasn’t -- I21 wouldn’t go in there if -- I mean, because I would22 go in there to visit Prince and Paris, but, I mean,23 I never went in there when they weren’t there.24 Q. Did you ever go into Prince’s room when25 Michael Jackson wasn’t at Neverland.26 A. I don’t think I did.27 Q. Are you sure.28 A. Not really, because -- I might have walked 18781 through there or something, because, I mean, when2 you walk up some stairs, there’s -- like all the3 rooms are connected between all the doors.4 Q. Did you ever go into Paris’s room at5 Neverland when Michael Jackson was not present.6 A. I don’t think I did. I mean, because their7 room is like -- because you could walk through the8 doll room and just go right to the upstairs. So, I9 mean, their room wouldn’t really be a room that you10 can really walk through. So, I mean, I don’t think11 I ever went into that when they weren’t there.12 Q. Are you sure.13 A. I’m pretty sure.14 Q. Okay. Is Prince’s room near Paris’s room.15 A. No, I don’t think so. I think they’re16 like -- both doors are like in two different corners17 of the whole upstairs thing.18 Q. Have you been in every room in the main19 house.20 A. Um, I believe so.21 Q. And why do you believe so.22 A. Because I was there a long time, you know,23 when Paris was there -- or when Prince and Paris24 were there, and, like, I was there one time when25 they were getting ready to go to bed. I would walk26 through the doll room, and then I would go up to27 where the train thing was, and then they were having28 their class one time that -- Grace was teaching 18791 them. And then I went up there, and I was -- I2 think I was teaching Prince something. I was3 helping Grace. And --4 Q. Were you helping Grace teach --5 A. Yes.6 Q. -- the children.7 A. Yes.8 Q. Where were you helping Grace teach.9 A. I don’t know. It was probably -- I don’t10 even think I was really helping them. I think I was11 helping them with a puzzle or something.12 Q. With a puzzle.13 A. Yeah.14 Q. You said you were helping with homework or15 something along those lines, right.16 A. Well, I was helping with their schooling.17 Q. With their schoolwork.18 A. With their schooling.19 Q. Please tell the jury what help you were20 giving Grace as far as the children’s schooling is21 concerned.22 A. It wasn’t really, like, teaching, like you23 wouldn’t say, “This and this equals this,” or24 whatever. I was just like -- like Prince might have25 been doing a drawing, and I was -- I was talking to26 him about it, and I was saying, “Well, it’s really27 nice,” and -- or like they might have been doing a28 puzzle, and I would be helping them do it or 18801 something like that.2 Q. Did you do that more than once.3 A. I think I only did that once.4 Q. Okay. And did you ask Grace if you could5 help out before you did that.6 A. Yes.7 Q. And she said “yes”.8 A. Yes.9 Q. Okay. How long was that session.10 A. Well, I think their school is only like11 three hours. But, I mean, I think I was only in12 there for, like, 30 minutes to an hour.13 Q. Okay. And was it your understanding that14 Michael Jackson’s children do their schooling at15 Neverland.16 A. I -- I -- I thought that wherever -- I17 thought Grace would teach them, and then Grace would18 go wherever they go, so I guess it would be19 anywhere.20 Q. And was this teaching going on in one of the21 children’s bedrooms.22 A. No.23 Q. Where was it going on.24 A. It was upstairs, like in the little playroom25 place.26 Q. Well, there’s a room upstairs which has27 school materials, right.28 A. Yes. 18811 Q. And what school materials have you seen in2 that room.3 A. I saw this little tiny chalkboard, and then4 like these big floor piece puzzles, and -- I don’t5 really remember.6 Q. But you’ve seen schoolbooks in there,7 correct.8 A. No, I don’t think so.9 Q. Well, that’s where the children do their10 schooling, as far as you know, right.11 A. No. I said that I think whenever Grace12 wants to teach them, that’s where they do their13 schoolwork.14 Q. Okay. But you’ve seen blackboards, you’ve15 seen school materials; correct.16 A. I said I saw a little kid blackboard, but I17 don’t even think Grace was using it.18 Q. Okay. But the room you’re talking about is19 not one of the children’s bedrooms, correct.20 A. No.21 Q. Okay. Now, was that the first time you’d22 been in that room.23 A. No.24 Q. When was the first time you went through25 that room.26 A. I mean, because the room wasn’t really a27 classroom. I mean, per se. They would use it as a28 classroom. There would be stuff there. There would 18821 be -- to use as a classroom. There was like this2 video game thing there. I think it was in that3 room. And I think it might have been in the same4 room as the big train thing.5 Q. Was it your understanding that Michael’s6 children are tutored in the main house.7 A. My understanding was that they are tutored,8 but I don’t know where.9 Q. Okay. Okay. But you don’t think it’s in10 that particular room you just described.11 A. It probably was. I mean, I’m saying12 wherever Grace wanted it, they could have it,13 because it’s not like she had a set classroom. It’s14 not like they’re going to New York and they’re going15 to come back to Neverland to do their classing,16 their schooling.17 Q. Do you remember approximately when you18 helped Grace tutor the children.19 A. Probably after I came back from Miami.20 Q. Okay. Wasn’t before then.21 A. No.22 Q. Okay. Did you see the children tutored the23 first time you went to Neverland.24 A. No. That was the only time I ever saw them,25 really.26 Q. Now, is it true that you introduced Chris27 Tucker to Michael Jackson.28 A. Yes. 18831 Q. And approximately when was that.2 A. Well, I think I gave -- it was either I gave3 Chris Michael’s phone number or -- well, I think I4 gave Michael Chris’s phone number, and then I called5 Chris after a while and I asked him if Michael6 called him yet, and then he said that he hadn’t.7 And so then I just gave him one of Michael’s phone8 numbers, or I gave him Evvy’s phone number, I’m not9 sure, just so he could do it himself; he can call10 Michael.11 Q. Do you recall ever being in Michael12 Jackson’s bedroom and hearing the alarm go off.13 A. The little “dee-do, dee-do” thing.14 Q. Yes.15 A. Yes.16 Q. Okay. Approximately when was that.17 A. I don’t know. After Miami. I mean, but18 it’s -- because -- I mean, when you’re up in his19 bedroom, like you can hear it, but it’s not as good20 as if you’re downstairs, but you can still kind of21 hear it.22 Q. Okay. When you were initially interviewed23 by the sheriffs, you were asked about what happened24 after the Bashir documentary was on television,25 right.26 A. Yes.27 Q. Now, when did you first hear about the28 Bashir documentary that appeared on television. 18841 A. On the news and from Michael.2 Q. Were you watching the news at home when you3 first heard about it.4 A. I didn’t really know that it was the Bashir5 documentary per se. But I knew that they were6 talking about kids sleeping in his room or whatever.7 Q. Well, you mentioned to the sheriffs about8 people coming to your house and bothering you,9 right.10 A. Yes. I think so.11 Q. And when did that first start.12 A. I think after we came back from Neverland.13 Q. Okay. You say after you came back from14 Neverland. When was that.15 A. I don’t know. I’m not sure.16 Q. Well, when you told the sheriffs that people17 were coming to your house and bothering you, what18 were you referring to.19 A. Well, one time we caught one of Michael’s20 security guys that we thought he was standing in --21 trying to stand behind a car, and then my stepdad22 went out and was like -- asked him what he was23 doing, and then we saw him run, and --24 Q. Well, your mother had asked for security25 because she said your family was being hassled,26 didn’t she.27 A. I don’t know if she asked him or -- who are28 you saying that she asked. 18851 Q. You never heard your mother say she wanted2 some security because your family was being hassled.3 A. No, I knew that she didn’t like it, but, I4 mean, I don’t know if she asked for security.5 Q. Okay. Okay. We talked last week briefly6 about all the conversations you had with Michael7 Jackson at the hospital, right.8 A. Yes.9 Q. Remember that.10 A. Yes.11 Q. You had initially testified that there was12 just one call, correct.13 A. Well, it’s like -- I don’t -- I’m probably14 sure I called him more than once, but, I mean, the15 one I’m for sure of is the first time he called me16 to go up to Neverland for the first time.17 Q. You told the sheriffs there were times when18 you would speak to Mr. Jackson on the phone for19 hours, right.20 A. Yes.21 Q. And what did you used to talk about, if you22 remember.23 A. We would talk about, like, video games or24 people I knew, and people he knew, or a CD he might25 be trying to do or a song or something, or his life,26 or my cancer, or Simpsons and Disney cartoons.27 Q. And you had a lot of those discussions in28 the hospital, right. 18861 A. Yes.2 Q. And you had discussions after you got out of3 the hospital, right.4 A. We would have discussions, yes. Yes.5 Q. And you would have discussions after you got6 out of the hospital at home, right.7 A. They were -- a majority of them, if not all8 of them, were -- well, the majority of them were at9 my grandmother’s house.10 Q. Okay. And would you call Mr. Jackson.11 A. Sometimes I would call him, and he would12 call me sometimes.13 Q. Okay. And these conversations would last14 sometimes a couple hours, right.15 A. Yes.16 Q. And you said you would talk about cancer.17 You would talk about the Simpsons. You would talk18 about video games, right.19 A. Yes.20 Q. Do you remember anything else you talked21 about.22 A. That’s pretty much it right there.23 Q. Do you recall your first trip to Neverland.24 A. Yes.25 Q. And how did you get there.26 A. They had us pack all our bags, and then a27 limousine came in the front of my grandmother’s28 house. And we were all surprised because we didn’t 18871 think we were going to go up in a limousine. Well,2 I didn’t think I was going to go up in a limousine.3 I didn’t know that we were. And I was really happy,4 because that was the first time I’d ever been in a5 limousine. And we threw all our bags in there and6 then we went up to Neverland.7 Q. Who told you you were going be picked up to8 go to Neverland.9 A. Well, I believe my parents set it up. But I10 don’t know who really told me. I knew what day and11 I knew Michael wanted me to go up, but, I mean, I12 didn’t really know, like, all the logistical stuff.13 Q. When you were responding to Prosecutor14 Sneddon’s questions, do you remember discussing Jay15 Leno.16 A. Yes.17 Q. Now, isn’t it true that in none of your18 interviews with the sheriffs and never when you19 testified before the grand jury on two occasions did20 you ever mention Jay Leno, correct.21 A. Yes. Because I thought he didn’t have22 anything to do with this case.23 Q. Did Prosecutor Sneddon tell you at some24 point that Mr. Leno had something to do with the25 case.26 A. Yes. Well, he asked me about what I know27 about Jay Leno and how I came about to have him in28 my -- well, not really have him, but, I mean, how 18881 he -- I don’t know how to say it. Like, he pretty2 much just asked me what I know about Jay Leno.3 Q. Did Prosecutor Sneddon tell you that I had4 mentioned Jay Leno in this courtroom.5 A. No.6 Q. Did he tell you how the name Jay Leno had7 come up in the case.8 A. No.9 Q. When did Prosecutor Sneddon first mention10 the name Jay Leno to you.11 A. Well, actually, it wasn’t really --12 Mr. Sneddon was there, but I believe it was -- I13 don’t remember who exactly asked me, but I remember14 him being there, and I remember Mr. Sneddon shaking15 his head, but I don’t think it was Mr. Sneddon that16 actually asked me.17 Q. Do you know approximately when this meeting18 took place.19 A. Before I even -- maybe a day or two before I20 first came to testify here.21 Q. So it was after this trial had started,22 right.23 A. Yes.24 Q. Okay. And did Mr. Sneddon call you on the25 phone to discuss this.26 A. No. I met with him.27 Q. Okay. Did someone ask you to come meet with28 Mr. Sneddon. 18891 A. Yes.2 Q. Who was that.3 A. I don’t remember. I remember they told me4 that I was going to, but I don’t remember who5 exactly.6 Q. Do you remember where the meeting took7 place.8 A. In a house.9 Q. Okay. Did Mr. Sneddon ask you to testify10 that Jay Leno was your favorite comedian.11 A. No.12 Q. Okay. When did the idea that Jay Leno was13 your favorite comedian come up in this case.14 A. Well, Jay Leno was my favorite comedian, but15 I don’t really understand what --16 Q. Do you remember calling Jay Leno on the17 telephone.18 A. I remember calling -- yeah, I remember19 calling his phone.20 Q. Do you remember speaking with Jay Leno on21 the telephone.22 A. No, I never spoke with Jay Leno.23 Q. At any time.24 A. No.25 Q. Did you ever try to reach Jay Leno on the26 telephone.27 A. Yes.28 Q. And who did you call, if you know. 18901 A. I called a phone number that I was given.2 Q. Where did you get the phone number.3 A. It was either Jamie Masada or Louise4 Palanker.5 Q. Did you dial the number.6 A. Yes.7 Q. Was your mother with you.8 A. No.9 Q. Was anybody in the background.10 A. Well, when I called him, I’m pretty sure11 that I was in the hospital, so either it could have12 been my dad, or maybe a nurse that would come in to13 do my vital signs or something.14 Q. And you dialed the number, right.15 A. Yes.16 Q. And do you have any idea who answered the17 phone.18 A. Answering machine.19 Q. And did you ever actually get Mr. Leno on20 the phone.21 A. No.22 Q. So you deny you’ve ever spoken to him on the23 phone, right.24 A. I’ve never spoken to Jay Leno.25 Q. Okay. You never mentioned Mr. Leno to26 Psychologist Stanley Katz, right.27 A. No, I don’t think so.28 Q. And you never mentioned Mr. Leno to 18911 Lieutenant Klapakis during any interview, correct.2 A. No, I’ve never mentioned Jay Leno to3 anybody. Except --4 Q. I’m sorry.5 A. Except for when they asked me what I know6 about Jay Leno.7 Q. To your knowledge, did anybody in your8 family contact, or try to contact, Mr. Leno while9 you were ill.10 A. No. Because I was the only one with the11 phone number.12 Q. Did you ever give it to your mother.13 A. No.14 Q. Ever give it to your father.15 A. No.16 Q. Ever give it to Star.17 A. No.18 Q. Ever give it to your sister Davellin.19 A. Her name is Davellin. But, no, I never gave20 it to her.21 Q. Okay. You left a message on his machine,22 correct.23 A. Yes.24 Q. Did you ever get a call back from anyone25 claiming they represented Mr. Leno.26 A. No.27 Q. All right. So what you’re saying is if28 anybody spoke to Mr. Leno and said they were you, it 18921 was certainly a false statement, right.2 MR. SNEDDON: Object as argumentative, Your3 Honor.4 THE COURT: Sustained.5 THE WITNESS: I never spoke to --6 THE COURT: Just a moment.7 Next question.8 Q. BY MR. MESEREAU: Has Prosecutor Sneddon9 ever discussed with you his conversation with Mr.10 Leno.11 MR. SNEDDON: Your Honor, object. Assumes12 facts not in evidence.13 THE COURT: Sustained. Assumes facts not in14 evidence.15 MR. MESEREAU: I’ll rephrase it, Your Honor.16 Q. Has Prosecutor Sneddon ever told you that he17 had a conversation with Jay Leno about this case.18 A. No.19 Q. Has Prosecutor Sneddon ever told you that20 any Santa Barbara sheriff had a conversation with21 Jay Leno about this case.22 A. No.23 Q. Never told you that at all.24 A. No.25 Q. Okay. Did you hear the alarm in Michael26 Jackson’s bedroom more than once.27 A. The little “dee-do” sound.28 Q. The alarm. 18931 A. Yeah, like when Frank would come in or2 something, you could hear it.3 Q. You could hear the alarm go off.4 A. Yeah.5 Q. How many ringing sounds would you hear.6 A. It would go like three times, “dee-do,7 dee-do,” like three times. And that’s how many8 ringing sounds it was.9 Q. Have you ever discussed that alarm system10 with your brother Star.11 A. Probably. I don’t know.12 Q. Did you talk to your brother Star about what13 he said about the alarm system in this courtroom.14 A. No.15 Q. Have you discussed with your brother Star16 anything you said in this courtroom.17 A. No.18 Q. How many times do you think you entered19 Michael Jackson’s bedroom when Mr. Jackson wasn’t20 there.21 A. I never went inside his room when he wasn’t22 there.23 Q. To your knowledge, did your brother ever go24 into his room when he wasn’t there.25 A. I don’t think my brother went into his room26 when he wasn’t there.27 Q. Okay. So you have no knowledge of him doing28 that, correct. 18941 A. No.2 Q. Okay. Prosecutor Sneddon asked you3 questions about your father abusing you and your4 mother, right.5 A. I believe so.6 Q. You always refer to David as your biological7 father, correct.8 A. Yes.9 Q. Did someone ask you to use that term.10 A. No.11 Q. How did you start calling him “my biological12 father”.13 A. Because I accepted my now father Jay Jackson14 as my real father, because he’s more of a father15 than my real father ever was.16 Q. Okay. You testified that Michael Jackson17 and Frank showed you a computer and went to websites18 with naked women, right.19 A. Yes.20 Q. And approximately when was that.21 A. That was like on the first night that we22 were inside his room that we were going to go to23 sleep.24 Q. And you said it was like an Apple computer;25 is that right.26 A. I’m not sure, because I don’t remember -- I27 think it was Frank’s computer because -- it wouldn’t28 be mine, because I didn’t set up the AOL account 18951 until, like, after I came back, so it was probably2 Frank’s computer.3 Q. Was your computer an Apple computer.4 A. Yes.5 Q. Okay. You told the sheriffs that it was6 either your computer or Frank’s computer during one7 of your interviews, right.8 A. Yes, sir.9 Q. Was Frank’s computer an Apple computer.10 A. I think it was probably a Sony computer.11 Q. And you told the sheriffs that Frank started12 looking at girls on those sites, right.13 A. He started, like, typing up stuff, yes.14 Q. Pardon me.15 A. Yes.16 Q. And did he ask you to join in.17 A. No, well, he was -- he had it on his bed and18 he set it up, and there were -- well, Frank was19 typing in stuff and looking. And me, Michael and my20 brother were there.21 Q. Is that when you say that Michael Jackson22 looked at a naked girl on the computer and said,23 “Got milk.”24 A. Yes.25 Q. Okay. Now, to your knowledge, did Michael26 Jackson or Frank ever show you a website on a27 computer like that at any other time.28 A. I don’t think so. 18961 Q. Was that the only time.2 A. I believe so.3 Q. Okay. And Frank’s the one who initially was4 pressing the buttons to look up the site, correct.5 A. Yes.6 Q. Okay. You also testified that at some point7 Michael Jackson showed you some girlie magazines,8 right.9 A. Yes.10 Q. And I believe you mentioned Hustler and11 Playboy to the sheriffs, right.12 A. Yes.13 Q. Okay. You also testified that at some point14 Michael Jackson pretended that he was having sex15 with a female mannequin, right.16 A. Yes.17 Q. Okay. And you also told the jury that at18 some point Michael Jackson mentioned the word19 “clitoris,” or “clitoris,” right.20 A. I don’t think I did.21 Q. Did you testify to that.22 A. (Shakes head from side to side.)23 Q. Ever tell the sheriffs that.24 A. No.25 Q. Okay. And your testimony to the jury is26 that after Michael Jackson showed you women on27 websites, after he showed you Hustler and Playboy,28 which are girlie magazines, and after he pretended 18971 to have sex with a female mannequin, he then at some2 point masturbated you; is that correct.3 A. Yes.4 Q. Is that what you told the sheriffs.5 A. Yes, I told the sheriffs about that.6 Q. Now, at some point, you went to the Hilton7 Hotel to visit Michael Jackson, right.8 A. Yes.9 Q. And approximately when was that.10 A. I was in my second round of chemotherapy.11 Q. And you were with your father, right.12 A. Yes.13 Q. And you say that was around the time of your14 second round of chemotherapy.15 A. Yes.16 Q. And who invited you to the Hilton Hotel.17 A. It was either I called Michael or Michael18 called me, and I asked him where he was. And then19 he told me that he was in -- more like near --20 around L.A. And then I asked him -- I think I asked21 him -- yeah, I asked him if I could visit him.22 Q. Okay.23 A. And then he said it was okay. And so I went24 up there and visited him for like two hours.25 Q. And how long were you there.26 A. Two hours.27 Q. Okay. With your dad, right.28 A. My dad was in another room. And then with 18981 me and Michael, we were in his bedroom with Prince2 and Paris, and we were watching Aaron Carter’s music3 videos.4 Q. And Prince and Paris were there the whole5 time, right.6 A. Yes.7 Q. How did you get to the Hilton.8 A. My dad drove me there.9 Q. And he drove you in an SUV that Michael10 Jackson had given your family, correct.11 A. Yes.12 Q. Do you know when Michael Jackson gave your13 family that SUV.14 A. I think it was like right after my second15 round of chemotherapy, Gary came and -- I think he16 was going to drive me up from Neverland right after17 my second round. And then once I went in -- he18 drove me up in the truck, and then I walked up to19 the truck, and I was like, “Is this Michael’s20 truck.” And he was like, “Yeah.”21 And I said, “Wow, my grandfather has one22 that looks exactly like this one.”23 And Gary was like, “Well, this one’s yours24 now.”25 Q. That was Gary Hearn.26 A. Yes.27 Q. Okay. And just -- Gary Hearn was an28 employee of Mr. Jackson’s, correct. 18991 A. Yes.2 Q. And you’re telling the jury that Gary Hearn3 told you that your family owned the SUV, right.4 A. He told me that Michael gave it to us.5 Q. Okay. And did he leave it at your house, to6 your knowledge.7 A. No, we were coming -- it was in the garage8 of the hospital, and I went in there, and there’s9 like a little bow in the center console between the10 two seats and stuff.11 Q. You complained to the sheriffs that someone12 had taken that truck back, right.13 A. Yes. I said I believe so.14 Q. You complained to the sheriffs that your15 family thought it was their truck, and at some point16 someone representing Mr. Jackson took the truck back17 and never returned it to you, right.18 A. Um, I think it was that we had the truck and19 somebody crashed into it or something. And then we20 had asked Michael if they can fix it and give it21 back to us. And then we gave it -- we -- they had22 it, they got the truck so that they can fix it and23 give it back to us, and they never gave it back to24 us.25 Q. Who crashed the truck.26 A. I don’t think it was someone -- I think27 someone crashed into it.28 Q. Do you know who was driving it at the time. 19001 A. I think it might have been parked. I’m not2 sure. I don’t really know how it happened exactly.3 Q. It might have been who.4 A. It might have been parked while it went --5 and someone, like, ran into it or something, because6 I don’t really remember how exactly --7 Q. Yes, but somebody ran into it while your8 family had possession of it, right.9 A. Yes, well, we owned it.10 Q. When you owned it, right.11 A. Yes.12 Q. And at some point, someone in your family13 asked if Mr. Jackson would pay to repair it,14 correct.15 A. I’m pretty sure. I mean --16 Q. Pardon me.17 A. I’m pretty sure.18 Q. All right. Let me just make sure I19 understand. You’re pretty sure that someone in your20 family asked if Mr. Jackson would pay to repair the21 SUV that you claimed he gave your family, right.22 A. Yeah. Because, I mean, it had to have been23 like that, because the guy came to fix it.24 Q. And you did complain to the sheriffs that25 the truck was never returned to your family,26 correct.27 A. Yes.28 Q. Because you believed that your family owned 19011 the truck at that point, right.2 A. Because Michael said he -- well, Gary said3 that Michael said he gave it to me. And then I4 called Michael later to thank him, and he said,5 “Yeah, it’s your truck now.”6 Q. Okay. People in your family -- well, I7 shouldn’t say that. You were personally upset about8 that, right.9 MR. SNEDDON: Excuse me, vague as to what10 “that” is.11 MR. MESEREAU: I’ll rephrase it.12 Q. You were upset that your family never got13 that truck back, correct.14 A. I was more sad because then we didn’t have a15 vehicle to use to go anywhere.16 Q. Okay. Do you recall ever asking Chris17 Tucker for a vehicle.18 A. No.19 Q. Do you know of any member of your family20 ever doing that.21 A. No.22 Q. Okay. Never heard of anything like that.23 A. I remember Chris gave us -- was going to24 give us a vehicle.25 Q. And what happened.26 A. It never was able to -- I mean, someone lost27 the key and something like that, and that was the28 only key, and then -- and then I think all this 19021 stuff started.2 Q. So you never got a vehicle from Chris3 Tucker, right.4 A. No.5 Q. Were you upset about that.6 A. Well, I mean, I was kind of sad, but I7 mean -- yeah, I mean, it’s like he was going to give8 it up, that would be nice, so I don’t really have9 that much of a right to be angry.10 Q. Okay. Now, you complained to the Santa11 Barbara Sheriffs that, “After I was done with my12 cancer stuff,” you never saw Michael again, right.13 A. No, not until the Martin Bashir thing.14 Q. Okay. And you wanted to see him after you15 were in remission, correct.16 A. Yes.17 Q. You wanted to visit Neverland after you were18 in remission, right.19 A. Yes.20 Q. And you felt in some way that Michael had21 cut off the friendship, right.22 A. Yes.23 Q. You felt he had abandoned you, right.24 A. Yes.25 Q. And you felt he had abandoned your family,26 right.27 A. Yes.28 Q. Now, at some point you told the sheriffs 19031 that Michael had given your family a Bronco,2 correct.3 A. I believe -- I’m pretty sure that the GMC4 was called Bronco.5 Q. Are you sure about that.6 A. I’m not exactly sure what kind of truck it7 was.8 Q. You also complained to the Santa Barbara9 Sheriffs that your computer had gotten messed up,10 right.11 A. I think I did. The battery stopped working.12 It wasn’t -- the computer just wouldn’t turn on. It13 would always stay black.14 Q. This was the computer that Michael Jackson15 had given you, right.16 A. Yes.17 Q. And at some point you asked to have Michael18 Jackson fix the computer, right.19 A. Well, I told my mom about it. And then my20 mom said, well, we could probably call Evvy and they21 can help us fix it.22 And then I called Evvy and asked her if they23 can fix it for me. And Evvy said yes. And then so24 we mailed it to her or dropped it off or something25 like that, and then I never got it back.26 Q. Well, actually, your mother asked Evvy if27 Michael Jackson would fix the computer, right.28 A. I don’t know who exactly asked. 19041 Q. Well, you told the sheriffs that your mother2 had asked, didn’t you.3 A. I don’t know.4 Q. Would it refresh your recollection if I just5 show you a page of the transcript of your interview.6 A. Yes.7 MR. MESEREAU: Okay. May I approach, Your8 Honor.9 THE COURT: Yes.10 Q. BY MR. MESEREAU: Have you had a chance to11 look at that page --12 A. Yes.13 Q. -- of your police interview.14 Does it refresh your recollection about what15 you told Santa Barbara Sheriffs.16 A. A little bit. I mean --17 Q. You told him that your mother asked to have18 the computer repaired, right.19 A. Yes. But as I told you, I’m not -- as of20 right now -- I mean, that interview took place a21 while ago. I mean, I’m not sure who exactly called.22 But in the transcript it says that, so that’s23 probably what happened.24 Q. Okay. Is it your belief that your mother25 called Evvy.26 A. I believe so.27 Q. Your mother used to call Evvy a fair amount,28 didn’t she. 19051 A. I don’t know.2 Q. Did you ever see your mother call Evvy.3 A. Maybe once or twice.4 Q. Not -- no --5 A. Maybe -- I’m pretty sure I saw her call for6 the computer, because I asked her. And I’m not sure7 exactly how many times she called Evvy.8 Q. And you complained to the Santa Barbara9 Sheriffs that you never got the computer back,10 right.11 A. Yeah, I told them that I didn’t get the12 computer back.13 Q. Did you used to communicate with Evvy by14 e-mail.15 A. I don’t know. I don’t think I did.16 Q. Okay. Are you sure about that.17 A. No.18 Q. Okay. Did you know how to use e-mail at19 that point.20 A. A little bit. I mean, it was kind of hard.21 Well, it wasn’t really hard. I just didn’t really22 understand it at first, and then I got the hang of23 it, but --24 Q. You indicated at the Hilton you watched25 music videos with Mr. Jackson, right.26 A. Yes.27 Q. And do you know why Mr. Jackson was at the28 Hilton. 19061 A. I think he was doing some recording thing.2 Well, yeah, he told me that he was going to do some3 recording in Los Angeles, or something like that.4 Q. And at some point you complained to the5 sheriffs that Mr. Jackson had changed his phone6 numbers after you visited the Hilton, right.7 A. Well, that was the only phone number I8 left -- or I called -- well, I’m not sure. Because9 the only phone number that never changed was Evvy’s10 phone number. And I would call her and I would ask11 her sometimes where Michael was or something.12 And then -- and I had the phone number to13 his hotel, so I think I called him at his hotel and14 asked him if I could go visit him. I think it was15 around -- I’m not sure when exactly.16 Q. When did you first get upset about your17 phone numbers for Michael Jackson not working.18 A. Maybe around the third or fourth19 chemotherapy round I called his numbers and it would20 be, like, “This phone number is no longer in21 service.” Or sometimes it would just ring and it22 wouldn’t never -- no one would ever pick up or23 something like that.24 Q. This was after your cancer was in remission.25 A. No, this was around the third or fourth26 cancer -- round of chemotherapy.27 Q. Suddenly his phone numbers didn’t work,28 right. 19071 A. Yes.2 Q. And did you try to get ahold of phone3 numbers that would work.4 A. I don’t know.5 Q. Well, you’ve indicated that you were upset6 that the phone numbers you had for Mr. Jackson at7 some point didn’t work, right.8 A. Yes.9 Q. And the phone numbers you had for Mr.10 Jackson began to not work after it appeared that11 your cancer was in remission, correct.12 A. No, I said they stopped working after my13 third or fourth chemotherapy round.14 Q. Okay. Before that, could you easily call15 him.16 A. Yes.17 Q. And before that, did you often call him.18 A. Yes. And he would call me and stuff. We19 would talk -- we talked a lot more before then.20 Q. In fact, you called him at the Universal --21 Hilton Universal the day you visited, right.22 A. I believe so. I’m not too sure how it came23 about.24 Q. Who did you complain to about your phone25 numbers to Mr. Jackson not working.26 A. I didn’t complain to anybody.27 Q. Ever mention it to your mother.28 A. I’m pretty sure I did. 19081 Q. Ever mention it to your brother and sister.2 A. I’m pretty sure I did -- well, the first3 person I told was my biological father, and then --4 because he was usually the one always with me like5 when we would go up to Neverland or go with me to --6 with Chris or something.7 Q. So you complained to your biological father8 David that around the time of your third9 chemotherapy treatment the phone numbers you had for10 Michael Jackson were not working, right.11 MR. SNEDDON: Your Honor, I’m going to12 object to the question, the use of the first part of13 it, because I believe that’s not his testimony, so14 it assumes facts not in evidence.15 THE COURT: Overruled.16 You may answer. Do you want the question17 read back.18 THE WITNESS: Yes.19 (Record read.)20 THE WITNESS: I didn’t really complain.21 I mean, I was in the hospital, and -- I was either22 in the hospital or at my grandmother’s house or23 something. And I told my dad that -- I told my24 biological father that they weren’t working anymore.25 Q. BY MR. MESEREAU: Well, when you first26 started talking to Michael Jackson in the hospital,27 you talked to him about your cancer, right.28 A. Yes. 19091 Q. And he used to talk to you about ways to2 deal with it, right.3 A. Sometimes he would, yes.4 Q. And he tried to encourage you to believe in5 yourself and you could heal, correct.6 A. Yes. He would tell me that like -- that --7 to -- like this one time he told me to eat up cancer8 cells like a Pac Man. Something like that.9 Q. And what he told you was to sort of10 visualize in your mind Pac Man eating up bad cancer11 cells, right.12 A. Yes.13 Q. Did you do that.14 A. Not really.15 Q. Did you ever try to visualize.16 A. Well, yeah, I think I did once, but I17 mean --18 Q. Now, when you had your third chemotherapy19 treatment, you were getting encouraging signs from20 the doctor, right, about beating cancer.21 A. Yes.22 Q. And you were being told that it looked like23 you might beat this thing, right.24 A. I didn’t really get told that until my fifth25 chemotherapy round where they had that CT scan.26 Q. But didn’t you complain to the Santa Barbara27 Sheriffs that after your cancer was over, Michael28 stopped communicating with you. 19101 A. It wasn’t after my cancer. It was toward2 the beginning of my third chemotherapy round.3 Q. You told them, “After I was done with my4 cancer stuff,” you couldn’t call Michael anymore,5 right.6 A. I couldn’t call Michael either at that7 period, or the period when I had cancer.8 Q. Okay. When you were undergoing9 chemotherapy, you visited Neverland with Chris10 Tucker on a couple of occasions, correct.11 A. I don’t know if it was during my cancer. I12 think it was -- I visited him after. I don’t know.13 Q. Approximately when was that, if you know.14 A. I went up there with his birthday for15 Dustin, so whenever his birthday is.16 Q. I’m sorry, I can’t hear you.17 A. I went up there whenever his birthday was,18 whenever Dustin’s birthday was. But I don’t know19 what came first, either the Martin Bashir thing or20 Dustin’s birthday. I’m not sure.21 Q. And Michael Jackson wasn’t there, right.22 A. No.23 Q. Do you know how that trip got arranged.24 A. Which trip.25 Q. The trip with Chris Tucker to Neverland when26 Michael Jackson wasn’t even there.27 A. Well, I’m not sure if Dustin -- well, if it28 was Dustin’s birthday or Chris’s -- or, I mean, the 19111 Martin Bashir thing. So I’m not -- I don’t know how2 it got arranged that we’d go up there. I mean, I3 don’t -- like -- I don’t really know whether it was4 like a limousine or something.5 Q. But you don’t know who set that up, right.6 A. Not exactly. Well, the -- I think the7 Martin Bashir thing I went up there with Chris.8 And then with the Dustin thing, I went up9 there in Chris’s bus with a bunch of other people,10 his family and stuff.11 Q. Are you telling the jury that when you did12 the Martin Bashir filming, Chris Tucker was with13 you.14 A. Um, I’m -- I don’t know whether he drove me15 up there or not. I -- because I’m not too sure how,16 like, all this stuff -- how I got up there. But I17 know I went up there with Chris for Dustin’s18 birthday.19 Q. Do you remember Chris being there when you20 were filmed for the Bashir documentary.21 A. I don’t know, because I think I might have22 went up there with Chris, because I remember going23 up there with Chris one time when we were riding24 horses, and then he was wearing like this -- this25 thing that like only like sheiks would wear, and he26 was joking around, and we were all riding horses and27 stuff. And I don’t know -- I think it might have28 been around the time that I was -- that Martin -- 19121 that the Martin Bashir thing got filmed.2 Q. To your knowledge, Chris Tucker wasn’t in3 the Bashir documentary, right.4 A. No.5 Q. Did you leave Neverland after that visit6 with Chris.7 A. After -- well --8 MR. SNEDDON: Excuse me, I’m going to object9 as vague as to “that visit.” We’ve discussed a10 couple of them.11 MR. MESEREAU: I’ll rephrase it.12 THE COURT: All right.13 Q. BY MR. MESEREAU: When you were at Neverland14 to film what became part of the Bashir documentary,15 at some point you went home, right.16 A. Yes.17 Q. And did you go home with Chris Tucker.18 A. No. We stood there and we went swimming and19 stuff.20 Q. What was the state of your cancer when you21 filmed what became part of the Bashir documentary.22 A. The Martin Bashir interview thing.23 Q. Yes.24 A. I was in remission.25 Q. And for how long had you been in remission26 at that point.27 A. I’m not sure when it was filmed. So I’m not28 sure how long. 19131 Q. Do you know if it was a number of months.2 A. Yeah. Definitely.3 Q. At that point, could you reach Michael4 Jackson by telephone if you wanted to.5 A. No, after the Martin Bashir thing, he didn’t6 give me any phone numbers, because he left, like,7 either the same day or the day after the Martin8 Bashir interview, and I didn’t really get any other9 phone numbers.10 Q. But your phone numbers for Michael Jackson11 stopped working before the Bashir documentary,12 didn’t they.13 A. Yes. Michael called me to go up to14 Neverland. He said that he was trying to find me or15 something like that to go -- for him to talk to me,16 and then he wanted me to go up to the Martin17 Bashir -- well, he didn’t tell me that. He told me18 he wanted me to go up to his ranch and visit him.19 Q. You hadn’t been able to call Michael Jackson20 by phone for many, many months before you were21 filmed in the Bashir documentary, right.22 A. No, I was not able -- well, I didn’t have a23 phone number.24 Q. Okay. Now, in the year 2001, you don’t25 recall ever going to Neverland, right.26 A. No.27 Q. You started going in the year 2000, right.28 A. Yes. 19141 Q. You didn’t go there in the year 2001, right.2 A. I don’t think I did.3 Q. And at some point you heard from Michael4 Jackson and went there for the Bashir filming,5 right.6 A. Yes.7 Q. Now, you visited Neverland a number of times8 in the year 2000 with your biological father,9 correct.10 A. Yes.11 Q. And do you remember if Michael Jackson was12 there during those visits.13 A. I think he was there for the -- I think he14 was there once. The first time I went there he was15 there. And then I think the second time I went16 there, he was there and then he had to leave.17 Q. When your father was at Neverland with you,18 did you ever stay in Michael Jackson’s room.19 A. No, I only stood on the first night, and20 then the rest of the nights I just stood in, like,21 the units and stuff.22 Q. And when you say you stayed there the first23 night, is that the night you described where Michael24 Jackson and Frank slept on the floor, and you and25 your brother slept on the bed. Is that what you’re26 talking about.27 A. Yes, I believe so.28 Q. And is it your testimony that that first 19151 visit, you had dinner in the main house with your2 family and Michael Jackson.3 A. Yes.4 Q. And during that dinner, was there a5 discussion about whether or not you and Star could6 sleep in Michael Jackson’s room.7 A. The first day.8 Q. Yes.9 A. Yeah. Like, we were in Michael’s office and10 then we were talking about stuff, and then Michael11 told me to ask if I could go sleep in his room so we12 can watch, like, movies and stuff.13 Q. Was there a discussion at the dinner table14 that evening with your parents and Michael Jackson15 about whether or not you could stay in his room.16 A. Yes. Michael told me to ask my parents in17 front of him and my parents.18 Q. Did you ask your parents in front of Mr.19 Jackson at the dinner table that evening.20 A. Yes.21 Q. Did your parents both approve you and your22 brother staying in Michael Jackson’s room.23 A. Yes.24 Q. And that’s the night you say Michael and25 Frank slept on the floor, right.26 A. Yes.27 Q. Did you ever ask either of your parents28 after that whether you could stay in Michael 19161 Jackson’s room.2 A. I don’t think so.3 Q. You don’t think you ever asked them that4 question again.5 A. I think it was like we only stood there that6 one night, and then after that, we stood in our7 units or something. Because I think that’s the only8 night I slept in his room, the first night.9 Q. Okay. You said after that, you had stayed10 in the guest units.11 A. Yes.12 Q. And are the guest units where your mother13 was staying.14 A. Well, there’s a lot of guest units, so I15 think me and my brother had a room. Me and my16 brother and my sister had a room, and my mom and my17 dad had another room.18 Q. Okay. And you and your brother would stay19 in those guest units, right.20 A. Yes.21 Q. And approximately how many of those trips to22 Neverland do you think you and your brother stayed23 in the guest units.24 A. After that first night we would stay in25 there every night we would go there, every time, or26 sometimes we would go to the train house and sleep27 up there.28 Q. You’d sleep in the train house. 19171 A. Yeah.2 Q. Please tell the jury where the train house3 is.4 A. It’s on top of a -- like you come -- like5 the guest units are right here, and you go up the6 side of this hill, and then up there there’s like7 this train station. And then you can sleep in8 there, because there’s, like, couches, and you can9 roll out a bed, and then there’s a T.V. there and10 stuff. It was pretty cool.11 Q. How many times do you think you and your12 brother stayed in the train house.13 A. A few nights, I guess.14 Q. When you visited Neverland with Chris15 Tucker, did you stay in the train house.16 A. Yeah. I think so. I think that’s the time17 that we stood in the train house.18 Q. Do you know where Chris Tucker stayed when19 you visited Neverland with Chris Tucker.20 A. No.21 Q. Did you ever go into his room.22 A. I think we might have. I don’t know. I23 mean, I don’t know where he stood right as of now.24 I mean, I don’t remember, but I don’t -- I think we25 went into his room to, like, say, “Let’s go do26 this,” or something like that.27 Q. Let me ask you this: After the first night28 your family was at Neverland, when do you next 19181 remember your mother visiting Neverland.2 A. Not until after we came back from Miami.3 Q. So you don’t think your mother ever visited4 Neverland between your first visit in the year 20005 and right after the Miami trip.6 A. Yes. I don’t think she did.7 Q. Okay. You don’t recall her being there at8 all.9 A. No.10 Q. Okay. And you recall your father being11 there once or twice.12 A. No, I recall my father being there every13 time I went up there.14 Q. And how many times was that.15 A. When I had cancer, it was -- well, he went16 up there every time that I had cancer. And he17 was -- I’m not sure how many times I stood there.18 That was -- because I think I stopped going out19 there after my fourth chemotherapy round. And so it20 was -- probably we went there, like, four or five21 times, or something like that, yeah.22 Q. At some point you learned about the Bashir23 documentary by watching television, right.24 A. Well, I didn’t really know it was the Bashir25 documentary until I -- we started talking about it26 more with Chris, and stuff like that.27 And I just remember watching the news and28 they were talking about kids and Michael, but I 19191 didn’t really know they were talking about the2 Martin Bashir documentary.3 Q. Well, you were watching CNN, correct.4 A. I think I was. I don’t know.5 Q. And at some point you saw a reference to6 yourself being in the Bashir documentary, right. Is7 that true.8 A. I didn’t know it was the Bashir documentary,9 but they said -- I personally thought it was some10 guy that was saying stuff about Michael. And they11 were talking -- I thought they mentioned my name12 when they were talking about Michael. But I didn’t13 know it was the Martin Bashir documentary until,14 like, we started talking to Chris and stuff.15 Q. But you told the Santa Barbara Sheriffs your16 name was mentioned a lot, correct.17 A. No, I think I only told them my name was18 mentioned maybe -- I don’t think “a lot.” But, I19 mean, I did think my name was mentioned.20 Q. You told the sheriffs, “Because on, like,21 CNN and stuff, they started saying, like, Gavin --22 Gavin this and Gavin that, right.23 A. I don’t remember. I mean, I guess I did,24 because it’s in the transcript.25 Q. Were they really mentioning your name on the26 newscasts.27 A. Yes.28 Q. How many times did you hear your name 19201 mentioned on the newscasts.2 A. Three or four times. I don’t know.3 Q. Did you -- were you watching that with your4 mom.5 A. Yes. Our whole family was watching it.6 Q. And generally speaking, would you say your7 family was upset.8 A. Yes.9 Q. Okay. And do you recall your mother ever10 calling up Michael Jackson to talk about it.11 A. No. I remember Michael calling us.12 Q. Do you recall your mother ever discussing13 the fact that you had legal rights regarding that14 show.15 A. No. I mean -- the Martin Bashir thing.16 Q. Yes.17 A. No.18 Q. Do you recall your mother ever discussing19 her claim that she never gave permission for you to20 be on a show.21 A. Oh, yes. I remember that.22 Q. Okay. And when is the first time you heard23 your mother complain about her not giving proper24 permission for you to be on the show.25 A. I don’t remember.26 Q. Do you recall ever going to a lawyer with27 your mother to discuss your legal rights in that28 regard. 19211 A. Hmm, I’m not sure.2 Q. Do you remember discussing that with3 Attorney Bill Dickerman.4 A. Oh, yeah, yeah. We went to The Laugh5 Factory and we talked to Bill. My mom was talking6 to him. I mean, I was, like, playing around or7 something. I was -- like, with the microphone.8 Q. And the discussion concerned, among other9 things, the fact that you had legal rights in that10 documentary, right.11 A. I guess. I mean, I wasn’t really paying12 attention. I was kind of bored.13 Q. Okay. Do you recall -- do you remember the14 rebuttal video.15 A. Yes.16 Q. Do you remember you went to Hamid’s home to17 film the rebuttal video.18 A. Yes.19 Q. Do you remember discussions before you20 filmed that video about whether or not your mother21 was going to sign a release.22 A. Not too sure.23 Q. Do you remember anything like that.24 A. No.25 Q. You claim that Michael Jackson called you on26 the phone and said there’s going to be a press27 conference in Florida, right.28 A. Yes. 19221 Q. Did you want to be in a press conference.2 A. Yeah. I wanted to, like, say that Michael3 was a good guy and stuff.4 Q. And you were disappointed when you got to5 Florida and no press conference took place, right.6 A. I guess. But, I mean, I was still kind of7 having fun, so it wasn’t that big of a deal to me.8 Q. I couldn’t hear what you said.9 A. I was still having fun, so it wasn’t really10 that big of a deal to me.11 Q. Well, you thought that you were going to12 Florida to appear in a press conference with Michael13 Jackson, correct.14 A. Yes.15 Q. You flew on Chris Tucker’s plane to Florida,16 right.17 A. Yes.18 Q. You stayed at a luxury hotel, right.19 A. Yes.20 Q. You came back a couple of days later, right.21 A. We went right to Neverland after we came22 back.23 Q. And there never was a press conference that24 you appeared at in Florida, right.25 A. No.26 Q. And that upset you, didn’t it.27 A. Um, as I said, not really. Because it28 wasn’t -- I mean, I thought we were. I mean -- and 19231 then he said that we’re not going to. Well, he2 didn’t really say that we’re not going to. I mean,3 it never really happened, so it’s like -- I was4 like, “Okay, whatever.” I mean -- and I was still5 having fun playing around and stuff, playing video6 games and stuff.7 Q. When you were in Miami, you stayed with your8 mom in a room, right.9 A. Yes.10 Q. That was at the Turnberry Hotel, right.11 A. Yes.12 Q. That was a floor below Michael Jackson’s13 suite, true.14 A. I don’t know.15 Q. It wasn’t a floor below.16 A. I said that I don’t know.17 Q. Do you remember your mother ever complaining18 that she wanted to be in Michael Jackson’s suite.19 A. No.20 Q. Never heard anything like that.21 A. No.22 Q. And you say you never stayed overnight in23 Mr. Jackson’s room at the Turnberry in Miami, right.24 A. No. I never stood in his room.25 Q. Do you remember telling the Santa Barbara26 Sheriffs that Michael Jackson first touched you27 inappropriately during your last days at Neverland.28 A. Yes. 19241 Q. Were you telling the truth.2 A. Yes.3 Q. This was shortly before Vinnie drove your4 family to your grandparents’, right.5 A. Not -- well, it was like a week or --6 probably two weeks before Vinnie drove us back.7 Q. Well, you said to the sheriffs it was during8 the last days at Neverland, right.9 A. Well, days equals -- seven days equals a10 week, so it could be days. So, I mean, it was more11 like a week or two.12 Q. We’ll get to that.13 Did you discuss over the weekend with14 Prosecutor Sneddon exactly when you say this15 inappropriate touching took place.16 A. No. Not over this -- no.17 Q. Did you have any discussion at all with the18 prosecutors last night about when you say the19 inappropriate touching took place.20 A. No.21 Q. Okay. Now, when you claim you were22 masturbated, were you wearing pajamas.23 A. Yes, I was wearing Michael’s pajamas.24 Q. Okay. Now, clearly during the last days at25 Neverland, you and your family, from what you say,26 wanted to leave, right.27 A. Well, my mom always wanted to leave. I28 wanted to stay, because I was having lots of fun, 19251 but my mom was always really worried.2 Q. Well, at some point you say you escaped from3 Neverland, right.4 A. Yes.5 Q. You’ve told the jury you escaped a couple of6 times before the final escape, which was when you7 left for good --8 A. Yes.9 Q. -- right.10 A. Yes.11 Q. So what you are telling this jury is that12 after a couple of escapes, and following your return13 from those escapes, you claim you were14 inappropriately touched. That’s what you’re saying,15 right.16 MR. SNEDDON: Object as argumentative, Your17 Honor.18 THE COURT: Overruled.19 You may answer. Do you want the question20 read back.21 THE WITNESS: Yes.22 (Record read.)23 THE WITNESS: Yes.24 Q. BY MR. MESEREAU: Now, you told the sheriffs25 that after Miami, you slept in Michael Jackson’s26 room every night, right.27 A. I slept in his room every night that Michael28 was there. 19261 Q. And this would include visits when your2 mother was staying at Neverland, correct.3 A. Yes.4 Q. Are you telling the jury that you never5 discussed your staying in Michael’s room with your6 mother.7 A. Not really, because my mom was always in her8 unit. She was never outside or with us really. I9 mean, so we would just go into Michael’s room.10 Q. Are you telling the jury that your mother11 never asked you, during any of those visits, “Where12 are you spending the night.”13 A. Not really, because I think she thought we14 were sleeping in our unit. I mean, because she was15 always in her unit.16 Q. Are you telling the jury your mother never17 left her unit at any time after the Miami trip.18 A. She probably left a few times, but, I mean,19 mainly she was always in her unit.20 Q. And how many nights do you think you spent21 in Michael Jackson’s room after the Miami trip.22 A. I’m not sure because, I mean, every time23 that Michael was there, me and my brother would be24 in his room.25 Q. And you never had one discussion with your26 mom at any time after Miami about where you were27 staying at night.28 A. I might have. I don’t think I did. I’m 19271 pretty sure that I didn’t, because she was never2 really involved in what we were doing at Neverland.3 Q. And you’ve told the jury that you and your4 brother were drinking every single night, right.5 A. Every night that Michael was there.6 Q. You were drinking alcohol every single night7 that Michael was there; is that what you’re saying.8 A. Yes.9 Q. Okay. How about the nights that Michael10 wasn’t there.11 A. We wouldn’t drink. I mean --12 Q. Well, you and your brother were caught by13 employees at Neverland drinking when Michael wasn’t14 there, weren’t you.15 A. No.16 Q. Never happened.17 A. No.18 Q. No one ever walked in the wine cellar at19 Neverland and caught you and your brother drinking20 when Michael wasn’t there.21 A. No.22 Q. Did you know where the key was to the wine23 cellar.24 A. No.25 Q. To your knowledge, did your brother know26 where the key was to the wine cellar.27 A. I don’t think he ever knew. He was always28 with me everywhere we went. 19281 Q. Did you ever learn where the key was to the2 wine cellar.3 A. No.4 Q. To this day, you don’t know.5 A. To this day, I don’t know.6 Q. Never discussed it with your brother.7 A. No.8 Q. Okay. Now, correct me if I’m wrong, you’ve9 told the jury -- excuse me, let me rephrase that.10 You’ve told the sheriffs that Michael11 Jackson would give you and your brother Bacardi,12 right.13 A. That was one of the things he gave us, yes.14 Q. That was rum, right.15 A. Yes.16 Q. And you also said he’d give you Skyy Vodka,17 right.18 A. Yes.19 Q. Jim Beam, which was bourbon, right.20 A. I don’t know what it is, but, yes.21 Q. And red and white wine, right.22 A. Yes.23 Q. Did you drink all this stuff at once.24 A. No, it was over the whole period of time25 that we were over there.26 Q. Okay. But never once did you taste any of27 this stuff when Michael wasn’t there.28 A. No. 19291 Q. Okay. Never took any alcohol out of the2 refrigerator in the kitchen, right.3 A. No.4 Q. Never got caught taking alcohol out of the5 refrigerator in the kitchen, right.6 A. I never took any alcohol out of the7 refrigerator in the kitchen.8 Q. To your knowledge, was your brother ever9 caught taking alcohol out of the refrigerator in the10 kitchen.11 A. I was always with him during the day, so no,12 he didn’t.13 Q. Okay. Now, you told the sheriffs at some14 point your mother was scared and wanted to leave15 Neverland, right.16 A. My mom was scared, like, the whole time.17 Q. Did you discuss your mother being scared18 with your mother at Neverland.19 A. Yes.20 Q. Did you have talks with her about it.21 A. Yes.22 Q. And at no time during any of those23 discussions did where you and Star were sleeping at24 night come up.25 MR. SNEDDON: Object as asked and answered,26 Your Honor.27 THE COURT: Sustained.28 Q. BY MR. MESEREAU: You talked about a black 19301 suitcase. Do you remember that.2 A. Yes.3 Q. When did you first see the black suitcase.4 A. The same night that we came back from Miami.5 Q. And this is right after the Miami trip.6 A. Yes.7 Q. The first night you’re back.8 A. Yes.9 Q. And when did you first see it.10 A. In Michael’s, like, bathroom room, and,11 like, he had all this stuff. Like he had, like, a12 sink and a bathtub and a mirror and stuff.13 Q. Before I explore that subject, you’ve talked14 to the jury about Michael Jackson giving you a watch15 that you claim he said was worth $75,000, right.16 A. Yes.17 Q. And that’s the watch you claim that others18 wanted to get back from you, right.19 A. Oh, yes. Like the -- I think Frank wanted20 me to give it back or something like that.21 Q. So after the Miami trip, you had the watch,22 right.23 A. Yes.24 Q. You claimed that Mr. Jackson told you it was25 worth $75,000, right.26 A. Yes.27 Q. Were you wearing it.28 A. Yes. I believe so, yes. 19311 Q. And did Frank or someone else notice the2 watch, to your knowledge.3 A. Yeah. Yes.4 Q. Did you discuss the watch with Frank.5 A. Not really in -- I think Chris -- I mean,6 Frank wanted me to give it back. And then I told7 Michael, and Michael was like, “No, no, that’s your8 watch. I gave it to you.”9 Q. And did you have a discussion with Frank10 about whether you should return it.11 A. Frank, I think, wanted me to return it, and12 Michael told me not to.13 Q. At some point, did you ever complain to14 anyone that that watch was not worth $75,000.15 A. No. I always thought it was worth $75,000.16 Q. Did you ever learn at some point it wasn’t.17 A. No.18 Q. To this day, is that what you think.19 A. I’m pretty sure that’s how much it’s worth.20 Q. Okay. Do you recall the Make a Wish21 Foundation.22 A. Yes.23 Q. Did you have experience with them.24 A. Yes.25 Q. What is your experiences with Make a Wish26 Foundation.27 A. They called me up because I have cancer.28 They do it for everybody that has -- every child 19321 that has cancer. And then they call you up and say2 that, “You have one wish,” and they tell you that,3 “Pretend I’m the genie, and you have one wish that4 you can have.”5 And then I asked them -- first I asked -- I6 wanted a dog, like a little puppy, a beagle, but my,7 like, dad -- my parents said that I can’t have a8 beagle because it can get me sick. So I ended up9 just asking for a vacation.10 Q. And did you obtain any benefits from that11 foundation; do you know.12 A. Just a vacation.13 Q. They paid for a vacation.14 A. Yes.15 Q. And approximately when was that.16 A. Well, the doctor said to not go, because I17 would have -- because I had -- like, it was such a18 big amount of chemotherapy, that it would wipe out19 every single one of the blood cells that I had. So20 I would -- it would be bad if I get a fever, because21 I was getting lots of fevers, because my white blood22 cells can’t fight it because they’re so little. And23 I would have to go in the hospital, and then they’d24 have to give me antibiotics.25 And if I was over in Hawaii, and I got a26 fever because of some bacteria or something that was27 in me, I -- I wouldn’t be able to go back, and then28 I would get really sick. 19331 Q. Did Michael Jackson ever help you make2 contact with that foundation.3 A. No, I don’t believe so. I believe the4 hospital social worker did.5 Q. Do you recall ever discussing with Mr.6 Jackson the Make a Wish Foundation.7 A. I think I asked him if he donated money to8 the Make a Wish Foundation.9 Q. Do you recall what he said.10 A. He said that he did.11 Q. Okay. Do you know when you discussed that12 with him.13 A. I think it was like when he was doing the14 rebuttal thing, when he was getting ready to do the15 rebuttal. He was writing down all the foundations16 that he ever donated to.17 Q. And did you have a discussion with him about18 that.19 A. Not really. I mean, I saw him -- I mean, we20 were talking about it, or whatever, and then we were21 like, “Okay, okay,” and then we left and we were22 playing some more.23 Q. Okay. Now, you mentioned on your first day24 of testimony that when you showed up for the Bashir25 filming, there was some discussion about a burn26 victim.27 A. Yes.28 Q. Tell the jury what that was about. 19341 A. Well, there was a boy there that had gotten2 burned really bad, and then Michael said that he3 helped him or something. And then that he was going4 to -- that he was going to film him, too. So --5 Q. Were you supposed to be in the same film.6 A. Yeah. Yes.7 Q. And did you have a discussion with Michael8 about that subject.9 A. About me being in there.10 Q. Yes.11 A. Yes.12 Q. Okay. Did you ever meet this person who was13 burned.14 A. Yeah, I think Michael introduced me to him.15 Q. And when was this.16 A. Around the same time as the Martin Bashir17 thing.18 Q. Was it at Neverland.19 A. Yes.20 Q. Did you talk to this person.21 A. Yes.22 Q. Do you remember the person’s name.23 A. I think his name might have been David.24 Q. Was it Rothenberg.25 A. I don’t know.26 Q. Was this a young man that you learned’s27 father had poured gasoline on him and set him on28 fire. 19351 A. I don’t know.2 Q. Okay.3 A. I think that’s what happened.4 Q. And he was supposed to be in the film with5 you, right.6 A. Yes.7 Q. Okay. And correct me if I’m wrong, you8 discussed with Michael the fact that Michael had9 helped this young boy, right.10 A. Yes.11 Q. Okay. Did you talk to this young boy about12 what he had experienced.13 A. No.14 Q. Okay. Did you ever see him.15 A. Yes.16 Q. And please describe for the jury what he17 looked like.18 A. He looked like he was really badly burned19 and he had like -- he was like a rocker. He was20 wearing, like, rocker stuff. And he was burned.21 And he had like only a few hairs on his head because22 I guess it covered all the pores when he was burned.23 Q. Did you and he appear in the film, if you24 know.25 A. Later I watched it, and then -- well, I26 watched my part, and then I don’t think he was in27 there.28 Q. Okay. But was he at Neverland the day you 19361 were filmed.2 A. Yes.3 Q. Okay. Did you meet him shortly after you4 arrived.5 A. Yes.6 Q. Okay. Did you and he walk around Neverland.7 A. No. I don’t think so.8 Q. How much time did you spend with him.9 A. Michael introduced me to him and he was10 older than me, so I mean -- I was pretty young. I11 mean -- I don’t know. We just didn’t really have12 that much in common that much.13 Q. Okay. Were you ever personally threatened14 by anyone associated with Mr. Jackson.15 A. No.16 Q. Okay.17 THE COURT: Let’s take our morning break.18 (Recess taken.)19 THE COURT: All right. You may proceed.20 MR. MESEREAU: Thank you, Your Honor.21 Q. Mr. Arvizo, do you recall being interviewed22 by the Santa Barbara Sheriffs about drinking in the23 arcade.24 THE COURT: They can’t hear you in the back25 of the room.26 THE BAILIFF: Do you still have your27 microphone on.28 MR. MESEREAU: It’s on. 19371 Q. Mr. Arvizo, do you recall discussing with2 the Santa Barbara Sheriffs your claim that you were3 drinking in the arcade with Michael Jackson.4 A. Yes.5 Q. Do you recall telling them the following:6 “We didn’t drink a lot”.7 A. No.8 Q. Would it refresh your recollection if I show9 you a transcript from that interview.10 A. Yes.11 MR. MESEREAU: May I approach, Your Honor.12 THE COURT: Yes.13 MR. SNEDDON: I’m sorry, Counsel, what page14 was that.15 MR. MESEREAU: 26.16 Q. Mr. Arvizo, have you had a chance to look at17 that page.18 A. Yes.19 Q. Does it refresh your recollection about what20 you told the Santa Barbara Sheriffs.21 A. Not really.22 Q. You told them, “We didn’t drink a lot,”23 right.24 A. I don’t know. It says it on there.25 Q. Do you recall saying that.26 A. No.27 Q. Pardon me.28 A. No. 19381 Q. Do you deny saying that.2 A. I don’t know if I ever said that.3 Q. Would you agree that every time you were4 interviewed, your stories of drinking got worse and5 worse, correct.6 A. No.7 Q. You initially told them you didn’t drink a8 lot.9 A. That’s true.10 Q. Then you started telling them you drank a11 lot, and then you started telling them, “We drank12 every night,” correct.13 A. Well, “a lot” would be every night, so it14 would really --15 Q. Pardon me.16 A. “A lot” would be every night.17 Q. And you’re saying after Miami that you18 basically were drinking every single evening at19 Neverland, correct.20 A. No, I told him that every single evening21 that Michael was there. In those transcripts,22 probably when -- I still -- I don’t know.23 Q. Isn’t it true that every time you were24 interviewed, your stories of drinking got bigger and25 bigger and bigger.26 A. No.27 Q. Are you saying your stories to the sheriffs28 were always consistent when it came to drinking. 19391 A. I’m pretty sure they are. I mean, it2 doesn’t really matter whether I said that or not.3 I’m saying the fact is that we drank every night4 that Michael was there.5 Q. Did you ever discuss your drinking with your6 mother when she was at Neverland.7 A. I think I called her up at night -- yeah, I8 called her up at night once.9 Q. You called her up.10 A. Called her on Michael’s phone.11 Q. You called her from Michael’s room to say12 you were drinking.13 A. No.14 Q. During the nights after Miami, when your15 mother was staying at Neverland, are you saying you16 never discussed your drinking with her.17 A. No. I -- there was one -- I’m talking about18 the one night that I told Michael that -- I told19 Michael about the test that I had to take, and I20 called my mom up. That’s what I was talking about.21 Q. Okay. So not only did you never have a22 discussion with your mother about where you were23 staying at night, but you never had a discussion24 with her about drinking alcohol; is that correct.25 A. Yes.26 MR. SNEDDON: Object as argumentative, Your27 Honor.28 THE COURT: Sustained. 19401 Q. BY MR. MESEREAU: When you were at the2 Calabasas Inn, was there a phone in your room.3 A. I’m pretty sure there was.4 Q. Did you ever see anybody call the police.5 A. No.6 Q. When you were shopping near the Calabasas7 Inn, to your knowledge, did anyone ever scream8 “help”.9 A. No, I don’t think so.10 Q. Ever see your mother do it.11 A. No.12 Q. Ever see Star do it.13 A. No.14 Q. Ever see your sister do it.15 A. No.16 Q. You didn’t do it either, correct.17 A. No.18 Q. After you escaped from Neverland the first19 time, where did you go.20 A. I think we went to my grandmother’s house.21 Q. To your knowledge, did anybody call the22 police and say, “We’ve been” --23 A. No, because the thing was, like I --24 Q. Let me just finish my question.25 A. Okay.26 Q. After you say you escaped from Neverland the27 first time, you went to your grandparents’, correct.28 A. Yes. 19411 Q. And how did you get there.2 A. Jesus Salas drove us there.3 Q. Do you recall anyone ever calling the police4 and saying, “We’ve just been held against our will”.5 A. No. Because like I -- my mom was --6 Q. Let me just ask you the questions. Okay.7 Nobody did, right.8 A. No.9 Q. A few days later, you went back to10 Neverland, right.11 A. I believe -- yes.12 Q. And then you say you escaped a second time,13 correct.14 A. Yes.15 Q. And when you escaped the second time, how16 did you get out of Neverland.17 A. I don’t know.18 Q. Someone drove you somewhere, right.19 A. Yeah, probably.20 Q. Did you go to your grandparents’ again.21 A. Probably.22 Q. Nobody called the police from your23 grandparents’ when you say you escaped the second24 time, right.25 A. No.26 Q. And then you claim you returned, right.27 A. Yes.28 Q. And you say you finally escaped for good, 19421 right.2 A. Yes.3 Q. And when you got back after finally escaping4 for good to your grandparents’, nobody called the5 police, correct.6 A. No.7 Q. Now, when you say Mr. Jackson masturbated8 you, you’ve indicated that was sometime between9 Jesus Salas driving your family to your10 grandparents’ and your final trip out of Neverland,11 correct.12 A. Yes.13 Q. Okay. And that’s at a time when you say14 your mother was being threatened, correct.15 A. My mother said that she felt -- that she was16 being threatened, she felt. And Frank also told me17 once that -- because he was angry about my mom18 always wanting to leave and stuff.19 Q. Okay.20 A. And --21 Q. But basically what you’re saying is that the22 inappropriate touching by Michael Jackson happened23 after you’d escaped a few times, correct.24 A. Yes.25 Q. After you’d gone back a few times after your26 escapes, right.27 A. Yes.28 Q. And after you claim you knew your mother was 19431 being threatened by Frank, correct.2 A. Frank was angry at my mom once and he told3 me, “Hey, Gavin, you know I could have your mother4 killed.”5 Q. Okay. And you believed him, correct.6 A. Yes.7 Q. Did you believe Frank.8 A. Yes.9 Q. All right. And you knew about the Brazil10 planning at this point, correct.11 A. Yes.12 Q. Because you’d been to an agency, a federal13 office to get a visa, right.14 A. Yes.15 Q. Do you remember driving down to that federal16 office.17 A. Yes.18 Q. Do you remember going into the federal19 office.20 A. Yes.21 Q. And while you were in that federal office,22 nobody screamed for help, right.23 A. No.24 Q. And this was after you had the interview25 with the three social workers at Jay Jackson’s home,26 right.27 A. Yes.28 Q. And during the interview with the social 19441 workers at Jay Jackson’s home, nobody screamed for2 help; true.3 A. No.4 Q. And that was after you went to Hamid’s home5 for the rebuttal video, right.6 A. I think it was. I don’t know.7 Q. Right.8 A. I think it was.9 Q. And what you’re saying is that after your10 interview with the social workers, where you were11 asked questions about Michael Jackson, you’re saying12 it was after that that inappropriate touching began,13 correct.14 A. Yes.15 Q. While Mr. Jackson is being investigated by16 Los Angeles County, true.17 A. It -- it didn’t happen until the last few18 weeks before I left. Or two weeks, somewhere around19 there.20 Q. Let me ask the question again.21 A. Okay.22 Q. The three social workers were from Los23 Angeles County, true.24 A. I think they were.25 Q. And they were asking you questions about26 whether Mr. Jackson had ever inappropriately touched27 you, correct.28 A. Yes. 19451 Q. And you said “No,” right.2 A. Yes.3 Q. You knew they were investigating Mr.4 Jackson, right.5 A. No, I thought they were just going to try to6 ask me, and that was it. I didn’t know --7 Q. But what you’re telling the jury is that8 after this investigation starts and after you and9 your family are questioned, Mr. Jackson supposedly10 starts touching you inappropriately, right.11 A. Yes.12 Q. Okay. Now, you indicated to the jury last13 week that the first time Mr. Jackson inappropriately14 touched you, you weren’t looking at him, right.15 A. Well, it’s like I would turn over to him16 sometimes. I glanced over at him a couple times.17 Q. You said you weren’t really looking at him,18 right.19 A. Not really.20 Q. Okay. You said you weren’t looking at him,21 but you could somehow feel him moving, correct.22 A. I could feel his leg like moving up23 against --24 Q. Okay. After that, did you complain to your25 mother that you had been inappropriately touched.26 A. No. I never discussed it with my mom. I27 never discussed it with my mom at all.28 Q. Did you complain to Star that you had been 19461 inappropriately touched.2 A. No.3 Q. Did you complain to your sister that you had4 been inappropriately touched.5 A. No.6 Q. Did you complain to Jay Jackson that you had7 been inappropriately touched.8 A. No.9 Q. Were you upset when you say you were10 inappropriately touched.11 A. If I was upset.12 Q. Yes. Were you upset.13 A. Yeah. Because, I mean, something happened14 to where, like, it’s not like I can go back and15 change it; you know what I mean. It’s like16 something that I have, like, no control of.17 Q. Well, at this point, in your mind, your18 mother’s been threatened and you’ve been19 inappropriately touched, correct.20 A. Yes.21 Q. And you remained at Neverland, true.22 A. Yes.23 Q. And you claim you continued to stay in his24 bedroom, right.25 A. Well, I think he left after the second time.26 Q. You think Michael Jackson left after the27 second time.28 A. Yeah, a few days after the second time. 19471 That’s why I’m pretty sure that it happened a few --2 two weeks before, because I know I’m pretty sure3 that Michael left like a day after the second time.4 Q. Well, but you told the jury last week it was5 a couple of days before you left for good. Do you6 remember that.7 A. No. You kept on saying that.8 Q. Pardon me.9 A. No. You kept on saying that.10 Q. Well, let’s look at this.11 You said that maybe a few days before you12 left Neverland for good you were inappropriately13 touched, right.14 MR. SNEDDON: Judge, I’m going to object as15 asked and answered. He was asked this morning.16 THE COURT: Sustained.17 Q. BY MR. MESEREAU: Do you remember saying18 last week, Mr. Arvizo, when I asked you when it19 happened, you said, “No, it was more toward the end,20 toward when we were already about to leave, after we21 had been drinking alcohol and all that stuff. It22 wasn’t directly after the DCSF. It was more toward23 the end of the” -- a few days before you left24 Neverland, right.25 MR. SNEDDON: Same objection, Your Honor.26 Asked and answered.27 THE COURT: Sustained.28 Q. BY MR. MESEREAU: You then changed it later 19481 on in that examination to say, “It was a week before2 we left,” right.3 MR. SNEDDON: Your Honor, I’m going to4 object to counsel. He’s just trying to read this in5 after the objection.6 THE COURT: Sustained.7 Counsel, you’re -- be quiet. You’re arguing8 your case. Stop it. Start asking questions.9 MR. MESEREAU: Yes, Your Honor.10 Q. Do you know when you first saw Attorney11 Larry Feldman.12 A. Yes.13 Q. When was that.14 A. It was after all the stuff was done.15 Q. And approximately when.16 A. I don’t know.17 Q. Have you discussed your meeting with Larry18 Feldman with any prosecutor.19 A. I don’t think so.20 Q. At any time.21 A. No.22 Q. Pardon me.23 A. No. I don’t think I ever talked to anyone.24 Q. So you’ve never talked to any prosecutor25 about your meeting with Attorney Feldman. Is that26 what you’re saying.27 A. I don’t think I did.28 Q. Okay. Did you ever discuss your meeting 19491 with Attorney Larry Feldman with any sheriff.2 A. I don’t think I did.3 Q. Do you know for sure.4 A. No.5 Q. You eventually spoke to a psychologist named6 Stanley Katz, correct.7 A. Yes.8 Q. Do you know about when that was.9 A. No.10 Q. You told Stanley Katz that chemotherapy had11 messed up your head. Do you remember that.12 A. Yeah, it -- for a while it was hard for me13 to do schoolwork in school because of the14 chemotherapy.15 Q. And you told Stanley Katz that, correct.16 A. Yes.17 Q. Did you tell him you had memory problems.18 A. Yeah, for a while I had memory problems.19 Q. And that was from chemotherapy, correct.20 A. I believe so.21 Q. Were you taking any medications at the time22 you returned to Neverland from Miami.23 A. I had -- I have to take, even now, the 50024 milligrams of Amoxicillin, and five milligrams of25 Lycinopril for my kidney and because I don’t have a26 spleen.27 Q. Do you remember telling Psychologist Stanley28 Katz you thought a crazy fan of Michael Jackson will 19501 kill you.2 A. Yes.3 Q. You never told that to the sheriffs,4 correct.5 A. I’m pretty sure I discussed it with them.6 Q. Well, it never appears in your interviews,7 right.8 A. Yeah, I guess it didn’t. But, I mean, it9 doesn’t mean I didn’t tell them that.10 Q. The only time that you used the word “kill”11 was when you told the sheriffs that Frank had12 threatened to kill your mom, right.13 A. Uh-huh. In an interview.14 Q. When did you start thinking that a crazy fan15 of Michael Jackson will kill you.16 A. When Frank kept on telling us that people --17 there was death threats on us.18 Q. What were the death threats.19 A. I don’t know. Frank just told us that.20 Q. Well, when you discussed that with Stanley21 Katz, you didn’t tell him that came from Frank. You22 told him you personally were frightened, right.23 A. Yeah. Be -- but I mean --24 Q. Is that right.25 A. Yes. Frank was the one that really made me26 realize that that could happen.27 Q. Okay. Now, did you ever discuss with28 Michael Jackson your fear that a fan might hurt you. 19511 A. I don’t know.2 Q. Did you ever discuss with Michael Jackson3 what Frank was telling you that you thought was4 threatening.5 A. I don’t think I did.6 Q. Okay. So based on your experiences, Michael7 Jackson knew nothing about what Frank was saying to8 you, correct.9 MR. SNEDDON: Object. It calls for10 speculation.11 THE COURT: Sustained.12 Q. BY MR. MESEREAU: When you were at the13 Calabasas Inn, you never spoke to Michael Jackson,14 right.15 A. No, I don’t think so.16 Q. The night before you did the rebuttal video,17 you never spoke to Michael Jackson, right.18 A. I might have. I don’t know.19 Q. The day you did the rebuttal video, you20 never spoke to Michael Jackson, right.21 A. No. Michael was telling me that I’m going22 to do a rebuttal for him.23 THE REPORTER: What was the last part.24 THE WITNESS: Michael was telling me before25 we went that we were going to do the rebuttal for26 him.27 Q. BY MR. MESEREAU: Approximately when was28 that. 19521 A. Maybe right before the rebuttal.2 Q. When you spoke on that rebuttal video, were3 you telling the truth.4 A. No.5 Q. Were you lying.6 A. Dieter had us pretty much -- yeah, Dieter7 had us lie.8 Q. Were you lying throughout that rebuttal9 video.10 A. There was probably a few things that were11 true, but, I mean, a lot of it was what Dieter told12 us to say.13 Q. Was it your understanding that your mother14 was lying.15 A. She was saying what Dieter told her to say.16 Q. Was it your understanding she was lying.17 A. Yes, she was lying, because Dieter told her18 to say it.19 Q. Was it your understanding that Star was20 lying in that rebuttal video.21 A. Yes.22 Q. And was it your understanding that your23 sister lied on that rebuttal video.24 A. Yes.25 Q. And you were lying about Mr. Jackson helping26 you with cancer; is that correct.27 A. No, because Michael did help me a little28 bit, but, I mean, he -- for me, what I felt as a 19531 little kid, I mean, besides the fact of all this2 money and who paid for this and who paid for that,3 who -- I felt who really helped me was my other4 friends.5 Because Michael, at the time when he was6 calling me and talking to me and stuff, I felt like7 he was my best friend. But, I mean, when he -- when8 I would call his phone numbers and a little9 operating lady would say, “This phone is no longer10 in service.” I mean, I never called Chris and his11 phone was never in service. I never called George12 and his phone wasn’t in service.13 Q. Do you recall being caught at Neverland with14 girlie magazines when you were not around Michael15 Jackson.16 A. No.17 Q. Are you saying that never happened.18 MR. SNEDDON: Your Honor, 403 hearing.19 THE COURT: Sustained.20 I’ll -- that’s sort of a -- you know what21 he’s talking about on the 403 hearing, right.22 MR. MESEREAU: I thought I was able to get23 into these areas on cross.24 THE COURT: Yes. That’s why I’m looking at25 you, because I don’t want to discuss it. I just26 want to make sure we understand each other.27 MR. MESEREAU: Yeah, I won’t go further than28 that on this one. 19541 There’s another area, too, I think the Court2 gave me permission.3 THE COURT: That’s correct.4 Q. BY MR. MESEREAU: Mr. Arvizo, you were5 caught masturbating at Neverland when Michael6 Jackson wasn’t even around, weren’t you.7 A. No.8 Q. You were caught masturbating in a guest9 quarters, weren’t you.10 A. No.11 Q. No one ever saw you do that.12 A. No.13 Q. No one ever talked to you about that.14 A. No one ever talked to me about it.15 Q. Okay. Long after you did the rebuttal16 video, you had written numerous letters and cards to17 Michael Jackson thanking him for what he did for18 your cancer, true.19 A. Yes.20 Q. Long before you did the rebuttal video, you21 had written numerous cards and letters to Michael22 Jackson referring to him as your father, true.23 A. Yes. Because I missed him. I mean, I24 wanted to know what happened, why he wasn’t calling25 anymore. And that’s the only real way I had26 connection with him was through mail, because I had27 Evvy’s -- I knew where Evvy was, so I could send it28 to her. 19551 Q. And long before you did the rebuttal video,2 you sent cards and letters to Michael Jackson3 referring to yourself as his son, true.4 MR. SNEDDON: Your Honor, I’m going to5 object. This has all been asked and answered.6 MR. MESEREAU: I don’t think it has.7 THE COURT: Well, there wasn’t a time frame.8 You have covered the cards and letters. Is there a9 specific time frame you’re concerned about.10 MR. MESEREAU: Any time before the rebuttal11 video, Your Honor.12 THE COURT: I think you’ve covered that. The13 objection is sustained.14 MR. MESEREAU: Okay. Okay.15 Q. We’re going to go through the rebuttal16 video. And I’m just going to ask you some questions17 about what you said and how you said it. Okay.18 A. Okay.19 MR. MESEREAU: All right. Your Honor, at20 this time we’d like to play the rebuttal video.21 THE COURT: What is that. “Input 4”.22 MR. SANGER: Yes. Your Honor, for the23 record, it’s Exhibit 340.24 THE COURT: Exhibit 340.25 Ready.26 I’d like one of those whistles just before I27 make a ruling.28 MR. SANGER: Tell me to queue it up, Your 19561 Honor.2 Just for the record, I turned the sound off3 on this so we wouldn’t....4 (Whereupon, a portion of a DVD, People’s5 Exhibit 340, Disk 1, was played for the Court and6 jury.)7 Q. BY MR. MESEREAU: Now, you heard what your8 mother just said, right.9 A. Yes.10 Q. And is it your belief your mother is lying.11 A. Um, right there, not really, because I had a12 pretty good relationship with him, you know, right13 at the beginning.14 Q. So you don’t think your mother is lying when15 she makes that statement, correct.16 A. Well, not really, because, I mean, he was17 like really close to me in the beginning. I mean, I18 guess, I thought I was close to him; you know what I19 mean.20 Q. Okay.21 (Whereupon, a portion of a DVD, People’s22 Exhibit 340, Disk 1, was played for the Court and23 jury.)24 Q. BY MR. MESEREAU: Mr. Arvizo, when you made25 those statements, were you lying.26 A. Statements about the first night.27 Q. What you just said, yes.28 A. The sleeping arrangements. 19571 Q. Yes.2 A. No, I wasn’t lying about that.3 Q. Have you told any lies so far in this4 rebuttal tape.5 A. I don’t -- I remember I said something6 that -- oh, yeah, because Michael told me in the7 office, in his office, to ask my parents if I could8 sleep in his room. So it wasn’t -- he told me to9 ask in front of my parents.10 Q. So are you saying this is a lie you just11 told.12 A. I’m just saying that -- about how I asked my13 parents.14 Q. Yes.15 A. That’s a lie.16 Q. That’s a lie.17 A. Yes.18 Q. Okay. Is that the first lie you’ve told in19 this rebuttal tape, as far as you can see.20 A. Yes.21 Q. Okay.22 (Whereupon, a portion of a DVD, People’s23 Exhibit 340, Disk 1, was played for the Court and24 jury.)25 Q. BY MR. MESEREAU: Mr. Arvizo, you heard what26 you just said. Is that a lie.27 A. No.28 Q. Was everything you said there truthful. 19581 A. Yes.2 Q. Okay.3 (Whereupon, a portion of a DVD, People’s4 Exhibit 340, Disk 1, was played for the Court and5 jury.)6 Q. BY MR. MESEREAU: Mr. Arvizo, you’ve heard7 what your mother just said. Was it your belief that8 she was lying.9 A. There’s a part in there, like, that there10 was no way to cure me. Dieter told us to say that.11 Q. Okay. So that was not true.12 A. Yeah, because they did do radiation and13 chemotherapy.14 Q. The truth was, you had needed radiation and15 chemo to cure you, and what your mother said was a16 lie, correct.17 A. About there was no way to cure me, that18 Michael was the only person that could cure me.19 (Whereupon, a portion of a DVD, People’s20 Exhibit 340, Disk 1, was played for the Court and21 jury.)22 Q. BY MR. MESEREAU: Mr. Arvizo, is what you23 said there the truth.24 A. Yes.25 Q. Have you told any lies in this particular26 segment.27 A. No.28 Q. Okay. 19591 (Whereupon, a portion of a DVD, People’s2 Exhibit 340, Disk 1, was played for the Court and3 jury.)4 Q. BY MR. MESEREAU: Gavin, is your mother5 telling the truth.6 A. Yes, because I remember -- I think Michael7 did, like, a blood drive or something. Yeah, a lot8 of my other friends were also helping, thank God,9 because, I mean, it’s such a rare blood that I10 needed.11 Q. But is your mother telling the truth in the12 statements she makes.13 A. Yes. About Michael, yes.14 (Whereupon, a portion of a DVD, People’s15 Exhibit 340, Disk 1, was played for the Court and16 jury.)17 Q. BY MR. MESEREAU: Gavin, is your sister18 telling the truth when she makes that statement.19 A. Not really, because she was saying that --20 well, she was saying that people were always turning21 us away. And that’s not true, because, I mean,22 Jamie Masada was helping us, Louise Palanker was23 helping us, George Lopez was helping us. I’m pretty24 sure -- I’m not too sure, but I’m pretty sure Dieter25 told her to say that also, that no one else was26 helping us but Michael.27 Q. And Chris Tucker was helping you, correct.28 A. Yes, Chris Tucker was helping us, yes. 19601 Q. Okay. And this is the rebuttal video that2 you did before the meeting with the three social3 workers, correct.4 A. I don’t know. I’m pretty sure I did it5 before the social workers.6 Q. You went the next morning to interview with7 the social workers, didn’t you.8 A. I think I did.9 Q. Okay. Let me ask you a question: You said10 repeatedly in this trial that Mr. Jackson did not11 inappropriately touch you until after this video was12 done, correct.13 A. Yes.14 Q. And repeatedly in this video, you make15 statements about what a wonderful person Mr. Jackson16 is, right.17 A. Yes.18 Q. Do you remember telling Mr. Sneddon and the19 sheriffs on one occasion that you were molested20 before the video was done.21 A. No.22 Q. Would it refresh your recollection if I show23 you a transcript of that interview.24 A. Yes. Please.25 MR. MESEREAU: May I approach, Your Honor.26 THE COURT: Yes.27 Q. BY MR. MESEREAU: Have you had a chance to28 look at that transcript. 19611 A. Yes.2 Q. Does it refresh your recollection that3 Mr. Sneddon was interviewing you about when these4 acts of molestation allegedly occurred.5 A. Yes. But the thing was, I don’t -- even to6 this day, I don’t remember exactly when everything7 happened exactly, so I mean --8 Q. Well, do you remember being asked, “The acts9 of molestation, had they already begun by the time10 you did this video, do you know.” And you said, “I11 think so.”12 And then Mr. Sneddon said to you, “So, in13 your mind, one of the things that you’re thinking14 is, they’re doing this video that they want you guys15 to do so that if you ever told them the truth about16 being molested, nobody would believe you,” and you17 say, “Yeah,” right.18 A. Well, I --19 Q. Do you remember saying that to Mr. Sneddon.20 A. That’s more of my opinion - you know what I21 mean. - right there. That last statement you just22 said on that transcript, it’s more of my opinion23 than a state of fact.24 Q. Well, Mr. Sneddon asked you last week when25 this inappropriate touching supposedly occurred, and26 you said it was after the rebuttal video was made,27 correct.28 A. Yes. 19621 Q. But in an interview with Mr. Sneddon before2 this trial ever began, you told him differently,3 correct.4 A. That’s what it says right there. But it5 happened after.6 Q. Did someone ever say to you, “You have to7 say it happened after, because on the rebuttal video8 you deny he’s ever done anything wrong”.9 A. No. No one’s ever told me that.10 Q. Then why does your story change.11 A. I don’t know. It happened after. I mean --12 Q. Well, at some point did you go to Mr.13 Sneddon and say, “I’m changing my story about when14 this inappropriate touching happened”.15 A. No.16 Q. At some point did you go to the sheriffs and17 say, “I’m changing my story about when this18 inappropriate touching happened”.19 A. No.20 Q. You just suddenly got on the stand and21 changed it.22 MR. SNEDDON: Object as argumentative, Your23 Honor.24 THE COURT: Sustained.25 Q. BY MR. MESEREAU: Have you ever had any26 discussion at any time with Mr. Sneddon where you27 used words to the effect, “I’m changing my story28 about the time this molestation happened”. 19631 A. No.2 Q. Okay. When Mr. Sneddon asked you questions3 last week about when this molestation supposedly4 occurred, was that the first time you said to Mr.5 Sneddon it happened after the rebuttal video.6 A. I don’t think so.7 Q. You don’t think so.8 A. I don’t think that was the first time I ever9 told him that it happened after the rebuttal video.10 Q. So are you saying that at different times11 you gave Mr. Sneddon different accounts of when the12 molestation supposedly happened.13 MR. SNEDDON: Your Honor, I’m going to14 object to that question. Assumes facts not in15 evidence, and it’s argumentative and speculative.16 THE COURT: Overruled.17 Do you want the question read back.18 THE WITNESS: Yes.19 (Record read.)20 THE WITNESS: Sometimes I would talk to21 Mr. Sneddon without having like an interview -- or,22 like, have a recorder or something. And I would23 talk -- like, Mr. Sneddon was being really nice to24 me. Like he was helping me, and he was making me25 feel better about what happened and stuff. So he’s26 been really nice to me.27 Q. BY MR. MESEREAU: Do you remember telling28 the Santa Barbara Grand Jury that after the Miami 19641 trip, your brother stayed in Michael’s room with you2 every night until the last few days.3 A. Yeah, he stood in my room -- he stood in the4 room with me and Michael pretty much every day.5 Some days he wouldn’t stay there.6 Q. Do you remember telling the grand jury that7 until the last few days, your brother Star stayed8 with you in Michael’s room all the time.9 A. He stood with us -- well, he -- the last --10 the last week or two, or a few days, or something11 like that, he didn’t. Well, because my brother12 wasn’t there when it happened, so I’m pretty sure it13 wasn’t -- he stopped staying there the last few14 weeks.15 Q. Do you remember telling the Santa Barbara16 Grand Jury:17 “Q. Was your brother staying in the room18 with you during that time.19 “A. Well, the last few times he didn’t, but20 he was, like, when Michael was there -- when21 Michael was there --22 “Q. Uh-huh.23 “A. -- he stood with me for all the time24 when Michael was there. But, like, toward the25 end, toward the last few days, he wasn’t staying26 with me no more.”27 Do you remember that.28 A. Uh-huh. 19651 Q. And you’ve also told this jury that the two2 times you claim Michael Jackson inappropriately3 touched you Star wasn’t there, correct.4 A. Yes.5 MR. MESEREAU: We can continue.6 MR. SANGER: Are you ready. Your Honor, we7 need the....8 (Whereupon, a portion of a DVD, People’s9 Exhibit 340, Disk 1, was played for the Court and10 jury.)11 Q. BY MR. MESEREAU: Do you think your sister12 is lying when she made those statements.13 A. No. Because, I mean, people on the news14 media were -- might have been saying something,15 probably. I don’t know.16 Q. So you think she’s telling the truth when17 she says what she just said.18 A. Probably. I mean, I looked at her, and19 she’s crying and stuff, so....20 MR. MESEREAU: Okay. Go ahead.21 (Whereupon, a portion of a DVD, People’s22 Exhibit 340, Disk 1, was played for the Court and23 jury.)24 Q. BY MR. MESEREAU: Is what your mother just25 said correct.26 A. No. Because we could have at any time stood27 at my grandmother’s house. I mean, it’s not like --28 Q. In your opinion, was your mother lying when 19661 she made that statement.2 A. I remember hearing Dieter talk to her, so3 I’m pretty sure Dieter told her to say that.4 Q. Well, that --5 A. We can stay at my grandmother’s house. We6 could stay at one of our family members’ house; you7 know what I mean. It’s not like we were spit on and8 all this other stuff; you know what I mean.9 Q. My question to you is, did your mother just10 lie, in your opinion.11 A. She’s saying what Dieter told her to say.12 Q. Did she lie. Yes or no.13 A. She -- well, only because --14 MR. SNEDDON: Argumentative, Your Honor.15 THE COURT: Overruled.16 You may answer.17 THE WITNESS: Yes.18 MR. MESEREAU: Okay. Go ahead.19 (Whereupon, a portion of a DVD, People’s20 Exhibit 340, Disk 1, was played for the Court and21 jury.)22 Q. BY MR. MESEREAU: You just heard your23 sister’s statement; is that true.24 A. A little bit of it is true.25 Q. Did she lie in part of that.26 A. I mean, because we would talk about girls at27 times, and -- like all my friends that were females28 and stuff like that. But I mean -- 19671 Q. You would talk with Michael Jackson about2 your female friends.3 A. Yeah. He would talk to me about girls and4 how to, like, handle them; you know what I mean.5 Like how to talk to a girl or something like that.6 Q. So that statement’s true.7 A. Yes.8 Q. And anything else you just heard that’s not9 true.10 A. No, not really. No.11 Q. Okay.12 (Whereupon, a portion of a DVD, People’s13 Exhibit 340, Disk 1, was played for the Court and14 jury.)15 Q. BY MR. MESEREAU: Was the statement you just16 made true.17 A. No. Because I didn’t really have a phone18 number to call him.19 Q. So were you lying.20 A. Yes.21 Q. Okay. Was your mother lying also.22 A. No, not really.23 Q. Was she telling the truth.24 A. Pretty much, yeah.25 Q. After the Miami trip, were you able to call26 Michael Jackson.27 A. Michael would -- I was at Neverland.28 Q. Were you able to call him after the Miami 19681 trip.2 A. I would talk to him when he was at3 Neverland. I mean, I didn’t really call him.4 Q. Did you ever call him at Neverland on any5 phone.6 A. I don’t know. I don’t think I did.7 Q. You don’t remember.8 A. I don’t remember.9 Q. Well, there were phones you could use to try10 to call Michael Jackson when you were at Neverland,11 correct.12 A. Yes.13 Q. Where were the phones.14 A. All over the house and stuff.15 Q. You tried to call him often, didn’t you.16 A. Well, why would I try to call him if I could17 just go and talk to him at Neverland.18 Q. Well, it’s a large ranch, correct.19 A. Yes.20 Q. You used to spend time in the theater,21 correct.22 A. Yes.23 Q. Did you ever try and call Michael Jackson24 from the phone in the theater.25 A. No. Because I would just go over in my26 little cart to see Michael.27 Q. Did you ever try to call Michael Jackson28 from the guest quarters. 19691 A. No, because I had the code to his room and I2 would go up there when he -- when he was there.3 Q. Ever try calling him from the amusement4 area.5 A. No. There’s not really any phones out6 there.7 Q. Ever try calling him from the zoo area.8 A. No.9 Q. When you made this rebuttal video, you could10 get in contact with him almost any time, couldn’t11 you.12 A. I could drive over to where he was in my13 cart at Neverland, but never had a phone number if14 he left or something.15 MR. MESEREAU: Okay.16 (Whereupon, a portion of a DVD, People’s17 Exhibit 340, Disk 1, was played for the Court and18 jury.)19 Q. BY MR. MESEREAU: Is what your brother Star20 just said true.21 A. Yeah, Michael let us call him --22 Q. Pardon me.23 A. Yes, Michael let us call him “Daddy24 Michael.”25 Q. So what he said was correct.26 A. Yes.27 MR. MESEREAU: Okay.28 (Whereupon, a portion of a DVD, People’s 19701 Exhibit 340, Disk 1, was played for the Court and2 jury.)3 Q. BY MR. MESEREAU: Was the statement you just4 made the truth.5 A. Yeah. Yes.6 Q. Is what your mother just said the truth.7 A. I guess. I mean, I don’t know if Michael8 was trying to teach us that or --9 A VOICE FROM THE AUDIENCE: We can’t hear.10 THE WITNESS: I don’t know if Michael was11 trying to teach us that or something.12 Q. BY MR. MESEREAU: Well, did your mother tell13 the truth, in your opinion.14 A. Yes.15 Q. Did you tell the truth, in your opinion.16 A. Yeah, we’d go on rides and watch movies.17 Q. How about the other things you said, are18 they true.19 A. Yes.20 (Whereupon, a portion of a DVD, People’s21 Exhibit 340, Disk 1, was played for the Court and22 jury.)23 Q. BY MR. MESEREAU: Is what your mother just24 said the truth.25 A. I kind of stopped paying attention for a26 while.27 Q. Excuse me. Huh.28 A. I started looking at the roof and stuff. I 19711 wasn’t really paying attention.2 MR. MESEREAU: Can we replay that, Your3 Honor.4 MR. SNEDDON: Well, Judge, it would call for5 speculation on his part anyhow.6 MR. MESEREAU: I’m asking for his opinion.7 THE COURT: I guess you’ll have to.8 MR. MESEREAU: Okay.9 THE COURT: Can you do it without --10 MR. MESEREAU: This may take a while, Your11 Honor.12 I think we’ll just go forward, Your Honor.13 THE COURT: Do you want to just go forward.14 (Whereupon, a portion of a DVD, People’s15 Exhibit 340, Disk 1, was played for the Court and16 jury.)17 Q. BY MR. MESEREAU: In your opinion, is your18 mother telling the truth.19 A. Yes, we felt as if he was closest to us as a20 father and family.21 (Whereupon, a portion of a DVD, People’s22 Exhibit 340, Disk 1, was played for the Court and23 jury.)24 Q. BY MR. MESEREAU: Were you telling the truth25 when you made that statement.26 A. What I just said right now.27 Q. Yes.28 A. Well, I didn’t pray to meet Michael Jackson 19721 when I was little.2 Q. Did you pray to meet Michael Jackson at any3 time.4 A. No.5 Q. You made a statement about Michael Jackson’s6 charitable acts. Did you hear that.7 A. Yeah. I knew he donated to charities. I8 knew about that.9 Q. Was the statement you made true.10 A. Yes.11 Q. You just heard your mother make some12 comments.13 A. Um --14 Q. In your opinion, were they true comments.15 A. I don’t really remember what she just said.16 I’m sorry. I just --17 Q. Well, your mother praises Michael Jackson18 throughout this video, true.19 A. Yes.20 Q. Is she telling the truth.21 A. Some parts she is; some parts she isn’t.22 Depends on what she’s praising him about.23 Q. Did you and your mother discuss that you24 were going to lie before you did this video.25 A. No. Dieter discussed it with us.26 Q. Did you discuss that you were going to tell27 lies with your mother at any time before this video.28 A. No. Dieter discussed it with us. 19731 Q. Did you discuss with your brother or sister2 at any time that you were going to lie in this3 video.4 A. No.5 (Whereupon, a portion of a DVD, People’s6 Exhibit 340, Disk 1, was played for the Court and7 jury.)8 Q. BY MR. MESEREAU: In your opinion, did9 Michael ever claim you and your brother and sister10 as his kids.11 A. Well, he would call me “son” if -- depends12 what she was trying to say, but -- I don’t know.13 Q. In your opinion, did Michael Jackson ever14 claim that you, your brother and sister were his15 kids.16 A. What do you mean by “claim”. Like claim on17 T.V., or claim on his taxes, or --18 Q. You don’t know what I’m asking you.19 A. Well, he said -- as I said, he called us --20 he said that, like, if he would call me “son”21 sometimes - you know what I mean. - if that’s what22 she’s trying to say.23 Q. Did you ever think you were part of Michael24 Jackson’s family.25 A. I felt as if I was his family.26 Q. In your opinion, did your mother think she27 was part of Michael Jackson’s family at one point.28 A. What did my mom believe. 19741 Q. No, in your opinion, did your mother think2 she was part of Michael Jackson’s family at one3 point.4 A. Um, I don’t know. That’s what she believes.5 Q. Do you know whether she felt that way or6 not.7 A. No. I don’t know whether she --8 Q. In your opinion, did either your brother or9 your sister ever think they were part of Michael10 Jackson’s family.11 A. I know my brother did, because my brother12 was sad by my biological father leaving, as I was.13 And he felt that, as I did, about Michael being14 close to us as if he was a father because we didn’t15 have one.16 Q. You were looking for a family, correct.17 A. I wasn’t really, like, going out and18 looking; you know what I mean. I was just -- came19 across as Michael being the only older male that was20 close to me in my life; you know what I mean.21 Q. And you wanted to be part of the Jackson22 family, correct.23 A. Not really Jackson family. But just Michael24 was there and he was like a father figure to me; you25 know what I mean.26 Q. You think of Paris and Prince as your27 brother and sister.28 A. Yeah, we would talk about it and stuff. I 19751 would always play with them, and I would teach them2 stuff, and we would go look at stuff together and3 stuff like that.4 Q. And in your opinion, did Star and your5 sister think of Paris and Prince as their brother6 and sister.7 A. I don’t know.8 Q. But you did, right.9 A. Yes.10 Q. Okay.11 (Whereupon, a portion of a DVD, People’s12 Exhibit 340, Disk 1, was played for the Court and13 jury.)14 Q. BY MR. MESEREAU: Is what you just said the15 truth.16 A. What I had said.17 Q. Yes.18 A. Yes.19 Q. Is what your mom just said the truth.20 A. Which -- I can’t -- she said what she said.21 Q. Did you think of Michael Jackson, when you22 made this video, as honest.23 A. Not really, because he said that I can call24 him at any time, and I didn’t really have the phone25 numbers before that.26 Q. So because of that, you thought he was27 dishonest.28 A. Yes. 19761 Q. Did you think of Michael Jackson as loving2 when you made this video.3 A. Yes.4 Q. Okay.5 (Whereupon, a portion of a DVD, People’s6 Exhibit 340, Disk 1, was played for the Court and7 jury.)8 Q. BY MR. MESEREAU: In your opinion, is what9 your mother just said the truth.10 A. Yes. He seemed very loving and we trusted11 him a lot.12 Q. So in your opinion, your mother meant what13 she just said.14 A. Yes.15 Q. Okay.16 (Whereupon, a portion of a DVD, People’s17 Exhibit 340, Disk 1, was played for the Court and18 jury.)19 Q. BY MR. MESEREAU: Is what you just said the20 truth.21 A. Yeah, Michael invited me to Neverland.22 Q. That’s not what I asked you. Is what you23 just said the truth.24 A. Yes. Well -- well, it would be the truth,25 because in the beginning of my cancer he would26 invite me to Neverland after, to come after my27 chemotherapy round.28 Q. When you made these statements, was Michael 19771 the kind of person you were describing, as far as2 you were concerned.3 A. Yes, he was very nice to me and stuff.4 Q. And he was nice to your family.5 A. Yes. It was what was in my eyes.6 Q. Excuse me.7 A. What I saw, in my eyes.8 (Whereupon, a portion of a DVD, People’s9 Exhibit 340, Disk 1, was played for the Court and10 jury.)11 Q. BY MR. MESEREAU: Was what you have just12 said the truth.13 A. Yes. Pac Man; Michael did tell me to say14 that.15 Q. What about everything else you said.16 A. About me going to chemotherapy.17 Q. Yes.18 A. No. I wouldn’t think about it every time I19 went to a chemotherapy round.20 Q. So were you lying at that point.21 A. Yeah, Dieter actually told me to say that,22 because he knew about the Pac Man.23 Q. When I say whether you lied, I’m not asking24 what Dieter said. I’m just asking what you, Gavin25 Arvizo, said, all right. Did you just lie on that26 tape.27 MR. SNEDDON: Your Honor, I’m going to28 object. He doesn’t even let him answer the 19781 question.2 THE COURT: Yes, but it’s not necessary to3 give a pre-statement to your question.4 MR. MESEREAU: Yes, Your Honor.5 THE COURT: Go ahead and rephrase it.6 Q. BY MR. MESEREAU: When you just made the7 statement that everybody heard in this courtroom,8 did you lie.9 A. About the Pac Man thing, me going in every10 single time in chemotherapy.11 Q. Yes.12 A. Yes.13 Q. Okay.14 (Whereupon, a portion of a DVD, People’s15 Exhibit 340, Disk 1, was played for the Court and16 jury.)17 Q. BY MR. MESEREAU: Is what your mother just18 said about you wanting to be in movies true.19 A. Yes. Michael was saying that he was going20 do some movie, or something, about some orphanage.21 Q. What about you wanting to be in movies.22 A. Oh, yes, I wanted to be an actor for a23 while. But now I want to -- hopefully I can -- I24 want -- well, I don’t really want to say, but I want25 to do something else.26 Q. Let me ask you what you just said. Did you27 say you want to be in movies.28 A. I wanted to. But now that I’m in high 19791 school and I’m seeing all the other careers, I want2 to do -- I want to be in law enforcement, or3 whatever.4 Q. At the time you were going to Neverland, did5 you want to be in movies.6 A. Yes.7 Q. Did you tell Michael Jackson you wanted to8 be in movies.9 A. Yes.10 Q. To your knowledge, did your brother Star say11 he wanted to be in movies.12 A. I’m pretty sure he wanted to.13 Q. Is there anything you just heard your mother14 say that you think is not true.15 A. No. I don’t think -- I think everything she16 said was true.17 Q. Okay.18 MR. SANGER: Putting in Disk 2, Your Honor.19 (Whereupon, a portion of a DVD, People’s20 Exhibit 340, Disk 2, was played for the Court and21 jury.)22 Q. BY MR. MESEREAU: Is everything you just23 said correct.24 A. I don’t -- I don’t think I said anything25 right there.26 Q. Well, you said -- you’ve seen the first disk27 of this rebuttal video, correct.28 A. Yes. 19801 Q. How many lies do you think you told.2 A. Um, I think maybe about four.3 Q. Four lies.4 A. Yeah.5 Q. How many lies do you think your mother told.6 A. Four or five. I’m not -- I mean --7 Q. Four or five lies.8 A. I wasn’t counting or anything.9 Q. I’m just asking what your opinion is. How10 many lies do you think your sister told.11 A. One or two.12 Q. And how many lies do you think Star told.13 A. Oh, he wasn’t really talking, so I don’t14 think he really said anything.15 (Whereupon, a portion of a DVD, People’s16 Exhibit 340, Disk 2, was played for the Court and17 jury.)18 Q. BY MR. MESEREAU: Now, you heard what your19 mother just said, right.20 A. Yes.21 Q. You saw the way she expressed herself,22 correct. Do you think she’s just doing what Dieter23 wants.24 A. No, not right there.25 Q. Do you think she’s doing what she wants.26 A. Yes.27 (Whereupon, a portion of a DVD, People’s28 Exhibit 340, Disk 2, was played for the Court and 19811 jury.)2 Q. BY MR. MESEREAU: You just said you didn’t3 like Martin Bashir, was that true.4 A. Uh-huh. Yeah, because when it came out on5 the CNN and stuff, then I saw it, I saw parts of it.6 I mean, what part I know Bashir was saying, that at7 the time I didn’t feel was true.8 Q. You didn’t like him personally.9 A. Not really. I mean --10 Q. When did you decide you didn’t like Martin11 Bashir.12 A. After I found out that he -- that it was an13 actual documentary and what he was saying about14 Michael.15 Q. Okay.16 (Whereupon, a portion of a DVD, People’s17 Exhibit 340, Disk 2, was played for the Court and18 jury.)19 Q. BY MR. MESEREAU: Now, your mother mentions20 gang signs. Do you know what she’s talking about.21 A. She was probably joking about something.22 Q. Do you know what she was joking about.23 A. Not really.24 Q. She talks about friends on the west side.25 Do you know what that’s all about.26 A. It was just a joke, about like -- because27 you know how gangs say “east side” or “west side” or28 something. 19821 Q. But you’re really not sure what she was2 talking about, right.3 A. Are you trying to say my mom’s in a gang or4 something.5 Q. No, I’m asking you a question. Do you know6 what she was referring to.7 A. She was making a joke.8 Q. Okay. And what was the joke about, in your9 opinion.10 A. About gangs. Pretty much making fun of11 gangs.12 Q. Okay. And were you joining with her in13 making fun of gangs.14 A. I was laughing, I guess, right there.15 Q. Okay. Did you do a gang sign.16 A. No. She probably -- I was probably pointing17 or something, and then -- I don’t know. I’m not a18 part of a gang. I’m not a part of a crew or19 something.20 Q. I’m asking you if you made a gang sign in21 this video.22 A. No.23 Q. Do you know what your mother was referring24 to.25 A. No. She was probably just joking about26 something that they were talking about off camera.27 Q. Okay. But you don’t know for sure, right.28 A. No. 19831 Q. Okay.2 (Whereupon, a portion of a DVD, People’s3 Exhibit 340, Disk 2, was played for the Court and4 jury.)5 Q. BY MR. MESEREAU: Is your mother telling the6 truth.7 A. Dieter told her to talk about the hands8 thing.9 Q. I’m asking if your mother is telling the10 truth. I’m not asking about Dieter.11 A. She talked about her opinions, so I don’t12 know if that’s her -- if she was really telling the13 truth or not.14 Q. Did someone tell you whenever I ask a15 question like this, to refer to Dieter.16 A. No. I’m referring to Dieter because17 Dieter’s the one that told us to say all these18 things.19 Q. Did your mother just tell the truth, in your20 opinion.21 A. Um, I don’t know, because that’s her22 opinion.23 Q. In your opinion, Gavin Arvizo, did your24 mother just tell the truth.25 A. I do not know, because that’s -- you can26 call my mother and ask her that, because I don’t27 know.28 THE COURT: All right. Let’s take our break. 19841 (Recess taken.)2 THE COURT: Go ahead.3 MR. MESEREAU: With your permission, Your4 Honor, we’ll just continue the tape.5 THE COURT: All right.6 (Whereupon, a portion of a DVD, People’s7 Exhibit 340, Disk 2, was played for the Court and8 jury.)9 Q. BY MR. MESEREAU: Gavin, is your mother, in10 your opinion, telling the truth.11 A. I think so, I guess.12 Q. Excuse me.13 A. I believe so, I guess.14 Q. I couldn’t hear what you said.15 A. I believe so, I guess.16 Q. Okay. Have you heard her say anything at17 this point that’s not true.18 A. I mean, Michael was nice to me and stuff,19 and I felt as if he was like a father to me, so --20 Q. Okay.21 (Whereupon, a portion of a DVD, People’s22 Exhibit 340, Disk 2, was played for the Court and23 jury.)24 Q. BY MR. MESEREAU: At some point you and your25 mother and your brother and your sister concluded26 that Michael Jackson didn’t want you all to be part27 of his family, right.28 A. Yes. 19851 Q. And you were upset about that, correct.2 A. We concluded because --3 Q. Just answer my question, if you would,4 please. Okay.5 A. Okay.6 Q. At some point you, your mother, your sister7 and your brother realized that you were not going to8 spend the rest of your lives as part of Michael9 Jackson’s family, correct.10 A. Well --11 Q. Is that true or not.12 A. It’s like we didn’t really conclude all13 together, “Hey, everybody.” I mean, I guess we all14 realized on our own that, like -- that he isn’t as15 nice of a man as we thought he was.16 Q. Because he wasn’t going to let you be part17 of the Michael Jackson family, correct.18 A. We never wanted to be part of the Michael19 Jackson family. The only part of it was, he was20 just like a father to me.21 Q. Yes.22 A. That’s the only part in connection to a23 family there would be. We weren’t expecting a --24 to live with him forever. We were expecting --25 well, we just thought of him -- I thought of him as26 a father figure.27 Q. You expected Michael Jackson to support you,28 your mother, your brother and your sister 19861 indefinitely, correct.2 A. No.3 Q. You wanted to be part of his family, and4 when you found out you weren’t going to be, you got5 angry, true.6 A. No.7 Q. You found out --8 A. I -- I didn’t -- I never thought we were9 going to be, “Okay, he’s going to be our dad. We’re10 going to live in the house together,” and blah,11 blah, blah. No.12 He -- I saw him as like someone who could13 guide me as a father would; someone who can talk to14 me and stuff like that. I mean, it would be stupid15 if you wanted to live with a man like that for the16 rest of your life. He’s not really my father.17 Q. Would you agree that your mother got very18 angry in front of you when she realized Michael19 Jackson was fading out of your lives.20 A. No.21 Q. Would you agree that you got very angry22 when, at some point, you realized Michael Jackson23 was fading out of your family’s life, right.24 A. I didn’t really get angry. I mean, it’s --25 I mean, I didn’t think he was going to live with us26 forever. I just -- like, you know the Big Brother27 program thing for, like, kids that don’t have dads.28 That’s kind of what I thought of Michael as. 19871 Q. You expected Michael Jackson to keep helping2 you, your mother, your brother and your sister,3 right.4 A. I didn’t expect it from him, no.5 Q. And that’s why you got very angry when you6 realized certain people wanted you to leave the7 country, right.8 A. Michael told me that he was going to come9 over later after we were there, so -- after we even10 got there.11 Q. And were you looking forward to meeting12 Michael in Brazil.13 A. Yes. I guess.14 Q. And at some time did you realize that15 Michael wasn’t going to Brazil.16 A. No, to my understanding was that he was17 always going to come a week later after we got18 there.19 Q. But at some point you realized even you20 weren’t going to Brazil, right.21 A. No, I thought the whole time they were22 trying to get us to go to Brazil.23 Q. And when you wanted to go to your24 grandparents’, you all got into a car and Vinnie25 drove you to your grandparents’, right.26 A. After -- yeah. Vinnie drove us there, yes.27 Q. And at that point you realized you’re never28 going to be in Michael Jackson’s family, right. 19881 A. Well -- I never wanted to be in his family.2 I was never looking for that.3 MR. MESEREAU: Let’s keep going.4 (Whereupon, a portion of a DVD, People’s5 Exhibit 340, Disk 2, was played for the Court and6 jury.)7 Q. BY MR. MESEREAU: Now, your brother Star had8 just said that going to Neverland Ranch was9 something you always looked forward to, right.10 A. Yes.11 Q. And at one point you realized you probably12 weren’t going to be returning to Neverland Ranch,13 right.14 A. After it was all over, I didn’t want to go15 back.16 Q. At some point you realized you weren’t going17 to be in Michael Jackson’s family, you weren’t going18 to Neverland Ranch, and it wasn’t until then that19 you ever came up with these allegations of20 molestation, right.21 A. I didn’t want to go back after I came back.22 Q. Please answer my question.23 It wasn’t until you realized that you and24 your mother and your brother and your sister were25 not going to be part of Michael Jackson’s family26 that you ever told anybody about any molestation,27 right.28 A. It wasn’t as if we got together and realized 19891 it. It wasn’t -- so your question isn’t really2 working.3 MR. MESEREAU: Your Honor, could I request4 that the witness be instructed to answer the5 question.6 THE WITNESS: I don’t really understand the7 question.8 THE COURT: All right. Go ahead. Rephrase9 your question.10 Q. BY MR. MESEREAU: Okay. It wasn’t until you11 realized you were not going to be part of Michael12 Jackson’s family, you were not going to meet Michael13 Jackson in Brazil, you were not going to be going to14 Neverland, that you ever came up with these15 allegations of molestation, right.16 A. I didn’t come and talk to the -- to the --17 my mom always wanted to leave. She was the one that18 was able to realize and get us out of there. I19 liked being there.20 MR. MESEREAU: Excuse me.21 Your Honor, can I ask the witness be22 instructed to just answer the question.23 THE COURT: No.24 THE WITNESS: I don’t understand --25 THE COURT: Just a minute.26 No. Your question is compound and it’s27 argumentative. Break your question down.28 MR. MESEREAU: Okay. I will, Your Honor. 19901 Q. Until you realized you were not going to be2 part of Michael Jackson’s family, you never made any3 allegation of child molestation, correct.4 A. I didn’t want to be part of his family. I5 just saw him as a father figure.6 Q. Until you realized Michael Jackson was not7 going to meet you in Brazil, you never made any8 allegation of child molestation, right.9 A. I didn’t even really want to go to Brazil.10 Q. Until you left Neverland for the last time,11 you never made any allegation of child molestation,12 correct.13 A. I didn’t tell anyone until I left for the14 last time, correct.15 Q. And never called the police until after16 you’d seen two lawyers, right.17 MR. SNEDDON: Object as argumentative, Your18 Honor.19 THE COURT: Overruled.20 THE WITNESS: Yes, it wasn’t until I saw two21 lawyers until I told the police what really22 happened.23 MR. MESEREAU: Okay. We can keep going.24 (Whereupon, a portion of a DVD, People’s25 Exhibit 340, Disk 2, was played for the Court and26 jury.)27 Q. BY MR. MESEREAU: Did you, your mother, your28 brother, your sister actually have to share cereal 19911 when you were too poor to get other food.2 A. I know we had problems with trying to get3 food and stuff, but I don’t know if we shared a box4 of cereal.5 Q. Okay.6 A. And --7 (Whereupon, a portion of a DVD, People’s8 Exhibit 340, Disk 2, was played for the Court and9 jury.)10 Q. BY MR. MESEREAU: At this point in time, did11 you agree with what your mother just said. Did you12 think Michael was there for you.13 A. Yeah, I believe -- I thought that Michael14 was there for us. But he -- he helped us.15 (Whereupon, a portion of a DVD, People’s16 Exhibit 340, Disk 2, was played for the Court and17 jury.)18 Q. BY MR. MESEREAU: Now, you and your family19 did pray with Michael, correct.20 A. Yes. I believe we asked him if we can pray21 at the dinner tables.22 Q. You also one time were in the theater; you,23 your mother, your brother and your sister and24 Michael. Remember that.25 A. We were in the theater a lot together.26 Q. Do you remember your mother wanted everyone27 to hold hands and pray with Daddy Michael.28 A. No. 19921 Q. You don’t remember that at all.2 A. No.3 Q. Okay. Did you typically pray at the dinner4 table with Michael.5 A. We would ask him sometimes.6 Q. You asked him and he said, “Okay”.7 A. Yes.8 Q. And what prayers did you say.9 A. “Thank God for the food we were going to10 eat,” and stuff like that.11 Q. Okay.12 (Whereupon, a portion of a DVD, People’s13 Exhibit 340, Disk 2, was played for the Court and14 jury.)15 Q. BY MR. MESEREAU: In your opinion, is your16 mother telling the truth about that statement.17 A. About the relationship between me and18 Michael.19 Q. About what you just heard.20 A. Yeah, I was pretty close to Michael, as I’ve21 said many times.22 Q. So do you have any -- excuse me, let me23 rephrase that.24 What your mother just says is true, as far25 as you’re concerned.26 A. Yeah. Up to that point, yes.27 Q. Are you saying “yes”.28 A. Yes. 19931 (Whereupon, a portion of a DVD, People’s2 Exhibit 340, Disk 2, was played for the Court and3 jury.)4 Q. BY MR. MESEREAU: When these statements were5 made, you did not want your relationship with Mr.6 Jackson to end, correct.7 A. No, I still wanted to be able to call him8 and stuff like that.9 Q. And among all the celebrities that you had10 met, no celebrity had included you in their family11 the way Michael Jackson had, right.12 A. He didn’t really include me in his family.13 I just -- as I said before, I looked to him as a14 father figure, and he looked at me as a son, because15 he was the only father figure I had.16 Q. And your letters to him reflected that,17 correct.18 A. Yes.19 Q. Your calls to him reflected that, correct.20 A. Yes.21 Q. When you went to the ranch, you felt you22 were part of a family, correct.23 A. As I just told you, I felt as if he was my24 guider, my -- a teacher to me in life. A father25 figure to me.26 Q. And when you left Neverland for the last27 time, you felt your father had rejected you,28 correct. 19941 A. Not really, because I found a new father.2 I found my now father.3 Q. When you left Neverland, did you feel that4 the father figure Michael Jackson had rejected you;5 yes or no.6 A. I didn’t need him. I didn’t want him.7 Q. When you left Neverland for the last time,8 did you feel that the father figure Michael Jackson9 had rejected you; yes or no.10 A. As I said, I didn’t feel that. I didn’t11 feel that I was rejected, because I had my now,12 which I consider my real father.13 Q. You knew Jay Jackson long before these14 statements were made, correct.15 A. Yes.16 Q. You knew Jay Jackson long before you were17 referring to Michael Jackson as a father figure,18 correct.19 A. Not long before, but, I mean, he was my20 mom’s boyfriend. I didn’t know him. I wasn’t close21 to him.22 But when I came back, I saw his concern.23 I saw the way he felt about my family and how he24 would hug me, and actually feel like he’s a man; you25 know what I mean. And he’s my father.26 Q. At the time you and your mother and your27 brother and your sister made the statements on this28 video, your mother had been in a relationship with 19951 Jay Jackson for many months, true.2 A. Yes.3 Q. At the time your mother makes these4 statements that Michael Jackson is a father figure,5 she’s in a relationship with Jay Jackson, right.6 A. Yes.7 Q. Jay Jackson wasn’t present when this video8 was done, correct.9 A. No.10 Q. Now, at some point did you learn that the11 actual rebuttal show went on television.12 A. This.13 Q. Yes.14 A. I never knew it went on television.15 Q. Did you ever know any rebuttal show was ever16 made to rebut what was said in Bashir.17 A. No.18 Q. Did you ever hear anything about that.19 A. Oh, yes. Um, I remember something happened20 where -- Michael had me sign some papers or21 something like that. I think something came on.22 Q. And at some point you learned there was a23 Maury Povich show that was done as a rebuttal to the24 Bashir documentary, correct.25 A. Yes. I remember them coming and filming,26 but --27 Q. And you learned at some point that none of28 this footage in which you and your family are 19961 interviewed ever appeared on that Maury Povich2 television show, right.3 A. I didn’t watch it.4 Q. As you sit here today, do you know whether5 or not any of this footage was ever used in the6 Maury Povich rebuttal show.7 A. No, I don’t know.8 Q. You’ve never discussed that with anybody.9 A. No.10 Q. Okay. At this particular point in time, you11 thought Michael Jackson was going to give your12 family a home in the Hollywood Hills, correct.13 A. No.14 Q. Ever hear anybody discuss that.15 A. No.16 (Whereupon, a portion of a DVD, People’s17 Exhibit 340, Disk 2, was played for the Court and18 jury.)19 Q. BY MR. MESEREAU: While your mother was20 dating Jay Jackson, you considered Michael Jackson a21 father figure, right.22 A. Yes. Well, if -- she was dating her -- him23 right now, so in this time period I did see Michael24 as a father figure.25 Q. Approximately when did you first meet Jay26 Jackson.27 A. I don’t know. I don’t remember the first28 time. But -- I mean, I didn’t get close to him 19971 until I came back from Neverland.2 Q. It was many months before this, correct.3 A. Yes, I believe so.4 Q. In fact, after this rebuttal was filmed, you5 went to Jay Jackson’s apartment for the interview6 with the three social workers, right.7 A. Yes.8 Q. Were you living at his apartment at that9 point.10 A. Yes.11 Q. How long had you been living at Jay12 Jackson’s apartment at that point.13 A. A few months. But he was just my mom’s14 boyfriend. He wasn’t my stepfather yet.15 Q. Okay.16 A. He was just a guy. He was not my stepfather17 yet.18 Q. So you had lived at Jay Jackson’s apartment19 for a couple of months before this rebuttal video20 was filmed, right.21 A. I believe so, yes.22 Q. But during those months you considered23 Michael Jackson to be your father figure, right.24 A. No, in those months I had no father figure.25 That’s why when I came to Neverland and Michael was26 like this, I considered Michael as my father figure.27 MR. MESEREAU: Let’s keep going.28 (Whereupon, a portion of a DVD, People’s 19981 Exhibit 340, Disk 2, was played for the Court and2 jury.)3 Q. BY MR. MESEREAU: Did you discuss with Jay4 Jackson what your mother was going to say in this5 video.6 A. No. I don’t even know -- I didn’t even know7 that Jay Jackson even knew about this.8 Q. Do you recall any discussion at any time9 with Jay Jackson about you and your family being10 videotaped.11 A. No, I do not.12 Q. You recall going to Jay Jackson’s apartment13 after this was filmed, right.14 A. Not really.15 Q. Did you ever discuss with Jay Jackson this16 videotape after it was filmed.17 A. No, I don’t think I did.18 Q. Have you ever discussed with Jay Jackson at19 any time the fact that you made this videotape.20 A. No, I don’t think so.21 Q. Have you ever heard your mother discuss it22 with Jay Jackson.23 A. No.24 Q. Now, your mother has a curl coming down her25 face. Do you see that.26 A. Yes.27 Q. Did she normally wear her hair that way.28 A. Yeah, when she had her hair permed, she 19991 always wore it like that.2 Q. Always like that.3 A. Uh-huh.4 Q. Was she ever trying to look like Janet5 Jackson.6 A. No.7 Q. Okay.8 (Whereupon, a portion of a DVD, People’s9 Exhibit 340, Disk 2, was played for the Court and10 jury.)11 Q. BY MR. MESEREAU: Was what your mother just12 said true.13 A. He’s a nice man. He’s -- he’s approached14 and he’s kind of friendly.15 Q. Was what your mother just said true.16 A. Yes.17 Q. Did you believe she was telling the truth18 when she talked about Michael Jackson’s honesty.19 A. The way I felt about it was kind of awkward,20 but, I mean, he was pretty honest. But, I mean, the21 things that he did was kind of dishonest; you know22 what I mean.23 Q. Let me ask you what you’re talking about.24 Did you think when your mother said Michael Jackson25 was honest and told the truth, that she was being26 truthful.27 A. Yes. He’s a nice man.28 Q. Did you think your mother was being truthful 20001 when she made that statement we just heard.2 A. I don’t know. You can ask her.3 Q. What did you think at the time.4 A. I don’t remember what I thought at the time.5 Q. What do you think now. Do you think she was6 being honest.7 A. As I just said, yes, Michael was a nice man.8 (Whereupon, a portion of a DVD, People’s9 Exhibit 340, Disk 2, was played for the Court and10 jury.)11 Q. BY MR. MESEREAU: Now, you’ve told the jury12 a number of times that Dieter was telling you what13 to say on this, is that correct.14 A. Dieter told us a lot of things to say.15 Q. Dieter told you general things to say.16 A. Yes. He told us what to say pretty much,17 yeah.18 Q. And I believe when Prosecutor Sneddon was19 asking you questions, he talked about some type of a20 sheet of questions. Do you remember that.21 A. Uh-huh.22 Q. Did somebody show you a sheet with some23 questions on it before you did this interview.24 A. Yes, actually, and kind of waving it in25 front of the camera right here.26 Q. And how many sheets are you talking about.27 A. I’m not sure how many sheets it was.28 Q. It was just a certain number of questions 20011 they told you they were going to ask you, correct.2 A. Yes. And Dieter went over it with us and3 told us the answer, what to say.4 Q. At the time when Dieter went over those5 questions with you, did you think Michael Jackson6 had abandoned you as a father figure.7 A. No. Not then.8 Q. Okay.9 (Whereupon, a portion of a DVD, People’s10 Exhibit 340, Disk 2, was played for the Court and11 jury.)12 Q. BY MR. MESEREAU: Gavin, you and your mother13 are living with Major Jay Jackson when she makes14 this statement about Michael Jackson being a parent,15 right.16 A. Yes.17 Q. Did you think of Michael Jackson as a third18 parent.19 A. No. I saw him, as I’ve said many times20 today, as a guider, as a father figure. Not my21 actual father, as I consider Major Jay Jackson22 today, as he is my stepfather.23 Q. He has since married your mother, correct.24 A. Yes.25 Q. Now, if you know, were -- were Major Jay26 Jackson and your mother engaged when this video was27 made.28 A. I don’t know. 20021 Q. Did you expect this video to be on national2 television at some point when you made it.3 A. I didn’t even think about it.4 Q. Did you ever discuss that with your mom.5 A. No.6 Q. Okay. Do you remember any discussion7 involving your mother before this was filmed about8 whether or not she should sign any documents.9 A. No.10 Q. Don’t recall that at all.11 A. Not really, no.12 Q. Okay.13 (Whereupon, a portion of a DVD, People’s14 Exhibit 340, Disk 2, was played for the Court and15 jury.)16 Q. BY MR. MESEREAU: Now, when you used to17 visit Neverland and Michael Jackson was present, you18 used to see his children, correct.19 A. Yes.20 Q. When you flew to Miami and saw Michael21 Jackson, he was with his children, correct.22 A. Yes. I’m sure his children were there.23 Q. When you came back from Miami and started24 visiting Neverland, when Michael Jackson was there,25 his children were always there, correct.26 A. Um, no. Because there was one time that he27 wasn’t at Neverland and he flew somewhere on a28 commercial plane or something and he came back. 20031 Q. Let me rephrase the question.2 When you were at Neverland and Michael was3 there, you saw his children, true.4 A. Yes.5 MR. MESEREAU: Okay.6 (Whereupon, a portion of a DVD, People’s7 Exhibit 340, Disk 2, was played for the Court and8 jury.)9 Q. BY MR. MESEREAU: When your mother made that10 statement, in your opinion, was she telling the11 truth.12 A. Yes, because sometimes we’d accidentally13 crash a cart or something, and -- otherwise,14 probably other people would yell at us or something.15 And Michael would just say, “It’s okay. They can16 fix it.”17 Q. Did you ever get in any trouble at Neverland18 other than crashing carts.19 A. Not that I can think of. I think that’s the20 only real bad thing that we did. I mean,21 accidentally crashing a cart, that’s about it.22 MR. MESEREAU: Okay.23 (Whereupon, a portion of a DVD, People’s24 Exhibit 340, Disk 2, was played for the Court and25 jury.)26 MR. MESEREAU: I believe that’s the end,27 Your Honor.28 Q. You remember returning from Miami to 20041 Neverland, correct.2 A. Yes.3 Q. Do you remember the next day seeing Ed4 Bradley from 60 Minutes at Neverland.5 A. No.6 Q. Do you remember seeing entertainment company7 executives at Neverland the next day.8 A. No.9 Q. Were you there the next day.10 A. Yes, but I was probably out playing on the11 rides or something.12 Q. Do you recall the day that Jesus Salas drove13 your family away from Neverland.14 A. Yes.15 Q. Do you recall your mother getting a full16 body wax that day in Los Olivos.17 A. No.18 Q. Did you know anything about that.19 A. No.20 Q. Do you recall your mother telling you she21 was going to leave Neverland to go to a salon.22 A. No.23 Q. Did you ever discuss that with your mother.24 A. No.25 Q. Do you know someone named Brett Ratner.26 A. Yes.27 Q. How do you know him.28 A. He was Chris Tucker’s director for the movie 20051 Rush Hour.2 Q. Do you recall asking Mr. Ratner if he would3 arrange for you to fly to Florida to meet Michael4 Jackson.5 A. No, I don’t remember that.6 Q. You never did that.7 A. I don’t remember ever doing that.8 Q. Okay. Do you remember Michael Jackson9 flying to Florida with Brett Ratner.10 A. No.11 Q. Never heard about that.12 A. No.13 Q. Okay. Do you recall your mother ever14 signing an agreement regarding distribution of any15 of this footage on television.16 A. No.17 Q. Well, you said something before -- or you18 began to say something about Michael Jackson asking19 you to sign an agreement, correct.20 A. Yes, there’s a little document he had me21 sign so that I can sign for the rebuttal or22 something. I don’t know.23 Q. Do you remember signing that document.24 A. Yes.25 Q. Michael never asked you to sign that, did26 he.27 A. Yeah, he did. And he was with Brett Ratner,28 and Brett Ratner signed as a witness. 20061 Q. Do you recall your mother signing it also.2 A. No. I was the only one that signed it.3 Q. Do you recall your mother signing any4 agreement regarding this video.5 A. No.6 Q. Okay. Do you recall your mother making any7 trips outside of Neverland into the city to do8 errands.9 A. No.10 Q. Do you recall your mother going shopping11 with Vinnie Amen.12 A. No.13 MR. SNEDDON: Excuse me, I’m going to object14 to vagueness as to what period of time we’re talking15 about here.16 MR. MESEREAU: Sure.17 Q. We’re talking about February 21st, which18 would be the same day you met Attorney William19 Dickerman and Jamie Masada at The Laugh Factory.20 Do you remember that.21 A. I remember meeting him.22 Q. Do you remember your mother going shopping23 with Vinnie.24 A. No.25 Q. Do you remember your mother getting her hair26 done with Vinnie.27 A. No.28 Q. Do you remember shopping at Robinson’s-May. 20071 A. No.2 Q. Do you remember shopping -- excuse me.3 Do you remember eating at an Outback Steakhouse.4 A. No.5 Q. Do you remember your mother going to any6 salon that day.7 A. I think I remember my mom go to a salon and8 meet my stepfather.9 Q. Do you know when that was, approximately.10 A. No.11 Q. Do you remember going on a shopping spree12 around February 26th with your mother.13 A. I don’t know. I remember they took us to14 Anchor Blue once because we told them that we didn’t15 have a lot of clothes at Neverland, and they didn’t16 want us to go to our house.17 Q. Do you remember going to Pacific Sunwear.18 A. No.19 Q. How about Banana Republic.20 A. Yes. I bought some boxers, I think.21 Q. How about Gap Outlet.22 A. No.23 Q. How about Levi Outlet.24 A. No.25 Q. How about Abercrombie & Fitch.26 A. No.27 Q. Wilson’s Luggage, did you ever go there with28 your mother. 20081 A. Yeah, they bought us luggage because they2 were saying they were going to take us to Brazil,3 and we didn’t have luggage.4 Q. Now, two days later -- excuse me, one day5 later, do you recall going shopping to6 Robinson’s-May.7 A. No.8 Q. Do you recall going shopping to Adidas.9 A. No.10 Q. How about Old Navy.11 A. No.12 Q. Anchor Blue.13 A. Yes.14 Q. Robinson’s-May.15 A. No.16 Q. Okay. Do you remember on February 28th17 going to Hsong’s Barber Shop for a haircut.18 A. I got my hair cut there, but I don’t know if19 we went on February 28th.20 Q. Do you remember going there with your21 mother.22 A. I remember going there in the past with my23 mother.24 Q. When you were there, did anyone scream for25 help.26 A. I don’t know if we went on February 28th to27 Hsong’s Barber Shop.28 Q. When you went to Hsong’s Barber Shop, did 20091 anyone scream for help, as far as you know.2 A. As I said, I don’t remember whether we went3 there during the time that we were down in Los4 Angeles area.5 Q. Do you remember anyone screaming for help at6 any of the stores that you recall going to during7 this period of time.8 A. No.9 Q. Do you remember going to the Brazilian10 consulate.11 A. Yes.12 Q. You went in there with your mother, right.13 A. Yes, I’m pretty sure.14 Q. Do you remember anybody screaming for help15 in the Brazilian consulate.16 A. No.17 Q. You were with your entire family, right.18 A. Yes.19 Q. Okay. Do you remember seeing a movie called20 Old School around March 1st, 2003.21 A. A little bit.22 Q. Your mother, your brother, your sister and23 you went to that movie theater, right.24 A. I don’t really remember.25 Q. You also went to Anchor Blue that day,26 right.27 A. I believe so. I guess.28 Q. When you went to see that movie, do you 20101 remember anybody screaming for help.2 A. No.3 Q. Do you remember eating at Johnny Rocket’s4 Burgers that day.5 A. Oh, yeah. I remember that place. It was6 pretty good.7 Q. And that was after you saw the movie, right.8 A. I don’t know.9 Q. You went for burgers and ice cream, right.10 A. Yes.11 Q. Do you remember anybody screaming for help12 when you were at Johnny Rocket’s.13 A. No.14 Q. Okay. Do you know someone named Brad Buxer.15 A. No.16 Q. Did you ever meet any of Michael Jackson’s17 movie producers at Neverland.18 A. No.19 Q. Do you know someone named Rio.20 A. I think he was a little kid that was there21 for a while.22 Q. When did you first meet Rio.23 A. I don’t remember.24 Q. But do you remember seeing Rio at Neverland.25 A. Yeah, he stood there for like a week or --26 Q. Did you stay in a guesthouse with Rio.27 A. No.28 Q. Never did. 20111 A. No. Well, I might have hung out with him2 for a while. No, I hung out with his sister, you3 know. And she was telling me about some girls that4 thought I was cute from the Martin Bashir thing, and5 then that was it.6 Q. This is Rio’s sister.7 A. Yes.8 Q. Was there a television in the guest room at9 Neverland.10 A. There’s a television in every guest room.11 Q. Did you ever use that television.12 A. We were always playing. We never watched13 T.V.14 Q. Was Rio ever in a room with you at the15 guesthouse.16 MR. SNEDDON: Your Honor, I’m going to17 object to this line of questioning under the 40318 ruling the Court made.19 THE COURT: Sustained.20 Well, just a minute. I will change that21 ruling. You may ask.22 MR. MESEREAU: Thank you, Your Honor.23 Q. Was Rio ever in a guest room with you when24 you were watching T.V. at Neverland.25 A. Um, no. I don’t remember really -- I mean,26 I might have hung out with him in a guest room for a27 minute, but, I mean, I don’t remember watching T.V.28 with him. 20121 Q. You don’t.2 A. No.3 Q. Are you saying you don’t remember or are you4 saying it just didn’t happen.5 A. I don’t think it happened.6 Q. Okay. Do you recall ever telling Rio you7 wanted to look at adult movies on television at8 Neverland.9 MR. SNEDDON: I’m going to object.10 THE COURT: Overruled.11 THE WITNESS: No, I don’t remember that.12 Q. BY MR. MESEREAU: Ever remember stealing13 alcohol from Michael Jackson’s bedroom when Rio was14 present.15 A. No.16 Q. Do you recall stealing a $1,000 laminated17 bill from Michael’s room.18 A. A thousand dollar bill.19 Q. That was laminated.20 A. Do they make thousand-dollar bills.21 Q. Did you ever steal one.22 A. No.23 Q. Ever recall masturbating in front of Rio.24 A. No.25 Q. Now, earlier in your testimony, you said26 that the only time you’d ever tasted wine was in27 church. Do you remember that.28 A. Yes. 20131 Q. Are you telling the jury the only time you2 tasted wine before you went to Neverland was in a3 church.4 A. Yes.5 Q. Did you ever tell Rio or anyone else at6 Neverland that you knew what wine tasted like.7 A. No. I don’t remember telling him that.8 Q. Do you remember calling Chris Tucker and9 telling him that you wanted to go to Miami to be10 with Michael Jackson.11 A. No.12 Q. That never happened.13 A. I don’t know if it did.14 Q. You don’t know if it did.15 A. No.16 Q. Did your mother ever ask you to call Chris17 Tucker so that your family could go to Miami to be18 with Michael Jackson.19 A. No.20 Q. Has your mother ever coached you on what to21 say in this case.22 A. No.23 Q. Has your mother coached you on what to say24 in your legal disputes with your father.25 A. No.26 Q. Has your mother ever coached you on what to27 say in the J.C. Penney case.28 A. No. 20141 Q. Has your mother asked you to write out what2 you were going to say before you went to court.3 A. No.4 Q. Have you ever done that.5 A. Done --6 Q. Written out what you plan to say before you7 went to court.8 A. No.9 THE COURT: Is this a good place to stop.10 MR. MESEREAU: Okay.11 THE COURT: All right. We’ll recess until12 tomorrow morning at 8:30. Remember the admonitions.13 See you then.14 (The proceedings adjourned at 2:30 p.m.)15 --o0o--16171819202122232425262728 20151 REPORTER’S CERTIFICATE234 THE PEOPLE OF THE STATE OF )5 CALIFORNIA, )6 Plaintiff, )7 -vs- ) No. 11336038 MICHAEL JOE JACKSON, )9 Defendant. )101112 I, MICHELE MATTSON McNEIL, RPR, CRR, CSR13 #3304, Official Court Reporter, do hereby certify:14 That the foregoing pages 1867 through 201515 contain a true and correct transcript of the16 proceedings had in the within and above-entitled17 matter as by me taken down in shorthand writing at18 said proceedings on March 14, 2005, and thereafter19 reduced to typewriting by computer-aided20 transcription under my direction.21 DATED: Santa Maria, California,22 March 14, 2005.2324252627 MICHELE MATTSON McNEIL, RPR, CRR, CSR #330428 OFFICIAL COURT REPORTER 20161 SUPERIOR COURT OF THE STATE OF CALIFORNIA2 IN AND FOR THE COUNTY OF SANTA BARBARA3 SANTA MARIA BRANCH; COOK STREET DIVISION4 DEPARTMENT SM-2 HON. RODNEY S. MELVILLE, JUDGE567 THE PEOPLE OF THE STATE OF )8 CALIFORNIA, )9 Plaintiff, )10 -vs- ) No. 113360311 MICHAEL JOE JACKSON, )12 Defendant. )1314151617 REPORTER’S TRANSCRIPT OF PROCEEDINGS1819 TUESDAY, MARCH 15, 20052021 8:30 A.M.2223 (PAGES 2017 THROUGH 2082)24252627 REPORTED MICHELE MATTSON McNEIL, RPR, CRR, CSR #330428 BY: Official Court Reporter 20171 APPEARANCES OF COUNSEL:23 For Plaintiff: THOMAS W. SNEDDON, JR.,4 District Attorney -and-5 RONALD J. ZONEN, Sr. Deputy District Attorney6 -and- GORDON AUCHINCLOSS,7 Sr. Deputy District Attorney 1112 Santa Barbara Street8 Santa Barbara, California 9310191011 For Defendant: COLLINS, MESEREAU, REDDOCK & YU BY: THOMAS A.MESEREAU, JR., ESQ.12 -and- SUSAN C. YU, ESQ.13 1875 Century Park East, Suite 700 Los Angeles, California 9006714 -and-15 SANGER & SWYSEN16 BY: ROBERT M. SANGER, ESQ. 233 East Carrillo Street, Suite C17 Santa Barbara, California 9310118 -and-19 OXMAN and JAROSCAK BY: R. BRIAN OXMAN, ESQ.20 14126 East Rosecrans Boulevard Santa Fe Springs, California 906702122232425262728 20181 I N D E X23 Note: Mr. Sneddon is listed as “SN” on index.4 Mr. Zonen is listed as “Z” on index. Mr. Auchincloss is listed as “A” on index.5 Mr. Mesereau is listed as “M” on index. Ms. Yu is listed as “Y” on index.6 Mr. Sanger is listed as “SA” on index. Mr. Oxman is listed as “O” on index.789 PLAINTIFF’S WITNESSES DIRECT CROSS REDIRECT RECROSS1011 ARVIZO, Gavin-Anton 2021-M 2056-SN 2074-M (cont’d)12 FLAA, Terry 2077-Z13141516171819202122232425262728 20191 E X H I B I T S23 FOR IN DEFENDANT’S NO. DESCRIPTION I.D. EVID.45 5020 Photograph 2040 20436 5021 Photograph 2040 20437 5022 Photograph 2040 20438 5023 Photograph 20409 5024 Photograph 2040 204310 5025 Photograph 2040 204311 5026 Photograph 2040 204312 5027 Photograph 2040 204313 5028 Photograph 204014 5029 Photograph 204015 5031 Neverland Valley Guest Book 204416 5032 Photograph 2049 205217 5033 Photograph 20511819202122232425262728 20201 Santa Maria, California2 Tuesday, March 15, 20053 8:30 a.m.45 THE COURT: Good morning.6 THE JURY: (In unison) Good morning.7 THE COURT: You ready to proceed.8 MR. MESEREAU: Yes, Your Honor.9 Thank you, Your Honor.1011 GAVIN-ANTON ARVIZO12 Having been previously sworn, resumed the13 stand and testified further as follows:1415 CROSS-EXAMINATION (Continued)16 BY MR. MESEREAU:17 Q. Mr. Arvizo, when you claim you were18 inappropriately touched by Mr. Jackson, you claim19 there were no witnesses watching, correct.20 A. Yes.21 Q. Now, at some point, do you recall giving a22 DNA swab to any Santa Barbara Sheriff.23 A. Yes. They gave me a DNA swab.24 Q. Do you know approximately when that was.25 A. No.26 Q. Did you ever learn what the results were of27 any DNA testing.28 A. No. 20211 Q. Did you ever discuss it with Prosecutor2 Sneddon.3 A. No.4 Q. Did you ever discuss it with any other5 prosecutor.6 A. No.7 Q. Did you ever discuss it with any sheriff.8 A. No.9 Q. How about any lawyer or paralegal.10 A. No.11 Q. Did you ever discuss it with any member of12 your family.13 A. No.14 Q. So as you sit here today, you don’t know15 what the results are of those DNA tests, right.16 A. No.17 Q. Okay. Now, you indicated that you were18 upset that there was no press conference in Miami19 when you and your family traveled to Miami to see20 Michael Jackson, correct.21 A. I said it wasn’t that big of a deal, because22 I was already having fun.23 Q. Well, you wanted a press conference in this24 case, didn’t you.25 A. Michael wanted it.26 Q. No --27 A. Michael told me he wanted it.28 Q. Sir, when you were testifying before the 20221 grand jury, you wanted to give a press conference,2 didn’t you.3 A. No, I thought we were going to have a press4 conference, because that’s what I was told.5 Q. Do you remember telling Mr. Sneddon and the6 grand jury that you wanted to have a press7 conference.8 A. I might have said that we wanted to have a9 press conference, because Michael wanted to.10 Q. Michael wanted to have a press conference11 when you were in front of the grand jury; is that12 what you’re saying.13 You can answer the question.14 A. No.15 Q. Remember telling Mr. Sneddon, “Oh, man, I16 was going to have a press conference”.17 MR. SNEDDON: Excuse me, Your Honor. Could18 we have a page reference on that, before Counsel19 reads it.20 MR. MESEREAU: Sure. Sure. It’s 449.21 MR. SNEDDON: That’s fine.22 Q. BY MR. MESEREAU: Okay. Do you remember23 when you were in front of the Santa Barbara Grand24 Jury, Mr. Sneddon told you there was an order that25 you not talk to the media, and your response was,26 “Oh, man, I was going to have a press conference”.27 Do you remember that.28 A. That was probably a joke. 20231 Q. That was a joke.2 A. Yeah.3 Q. So you’re in front of the Santa Barbara4 Grand Jury talking about this case and you’re5 telling a joke.6 A. Yes.7 Q. Okay. All right. Do you know someone who8 worked at Neverland named Julio Avila.9 A. I don’t remember.10 Q. Do you remember that name at all.11 A. I remember a guy that might have been named12 Julio, but I forgot his name.13 Q. Okay. And was he someone who worked around14 the amusement rides.15 A. Oh, yes. Well, he -- he was the manager of16 the whole Neverland, but then they moved him to the17 amusement park, if we’re talking about the same guy.18 Q. Do you remember anyone complaining about you19 and Star --20 MR. SNEDDON: Object, Your Honor. It’s a21 violation of a 403 ruling.22 MR. MESEREAU: I don’t think it is.23 THE COURT: I’m not remembering this. Give24 me another hint.25 MR. MESEREAU: It has to do with behavior at26 Neverland. Nonsexual nature.27 THE COURT: All right. I’ll sustain the28 objection. 20241 Q. BY MR. MESEREAU: Do you recall you and your2 brother Star being picked up by a FOX News reporter3 at your home.4 A. No.5 Q. Never happened.6 A. Well, I have a friend that works for FOX7 News, but --8 Q. What’s your friend’s name.9 A. Barbara.10 Q. Barbara Schroeder.11 A. I don’t know her last name.12 Q. Do you recall being picked up by Barbara13 Schroeder and taken for a spending spree.14 A. I remember going to the movies with her and15 her daughter.16 Q. Do you remember she and another member of17 the media treating you and your brother to shopping.18 A. I have a friend that used to work for FOX19 that I met at The Laugh Factory, but he works in,20 like, cell phones or something.21 Q. Do you recall Barbara Schroeder and another22 representative of FOX News taking you and Star23 shopping and paying your bills.24 A. They weren’t representing FOX News to us.25 They were our friends.26 Q. Do you remember them taking you shopping and27 paying your bills; yes or no.28 A. I don’t remember them paying my bills. And 20251 I remember going to the movies with them. I don’t2 remember going on shopping sprees.3 Q. Where did you go with them.4 A. We went to the movies.5 Q. Where.6 A. Galleria.7 Q. Which galleria.8 A. I don’t know. Somewhere in Los -- Hollywood9 somewhere.10 Q. In Los Angeles, right.11 A. Yes.12 Q. Okay. And you’re saying they never took you13 to any store and paid any bill for you.14 A. No.15 Q. Okay. You mentioned that someone named Gary16 Hearn had driven you and your family from time to17 time while you were at Neverland, correct.18 A. Yeah, Gary drove us around.19 Q. How many times do you recall Gary Hearn20 driving you around.21 A. I don’t remember.22 Q. Was it five times. Ten times.23 A. Well, no, it was less than that.24 Q. Okay. And where do you remember Gary Hearn25 driving you to.26 A. I remember he drove us one time from the27 hospital to Neverland, and once from our apartment28 to Neverland. 20261 Q. Do you remember your being in his car and2 your mother asking to stop so you could buy various3 things at stores.4 A. No.5 Q. Don’t recall him ever stopping so anyone in6 your family could go shopping.7 A. No.8 Q. Okay. Do you know someone named Andrew9 Lassak.10 A. No.11 Q. Okay. Now, you mentioned --12 A. Lassak. Police officer.13 Q. Yes. Do you know him.14 A. Yes.15 Q. How did you meet him.16 A. He was an LAPD officer that -- I forgot,17 really, how we met him. I think he was -- I don’t18 know. My mom met him or something, and then he19 visited us a lot.20 Q. Do you know approximately when you first met21 this LAPD officer, Mr. Lassak.22 A. After my father left. A few months after my23 father left, after I finished chemotherapy.24 Q. And he was a friend of your family, correct.25 A. Yes.26 Q. He used to visit your house, correct.27 A. Yes.28 Q. You spoke to him, right. 20271 A. Yes.2 Q. You saw your brother and sister speak to3 him, didn’t you.4 A. Yes.5 Q. And you saw your mother speak to him, right.6 A. Yes.7 Q. Do you recall anyone ever complaining to Los8 Angeles Police Officer Andrew Lassak that anyone was9 being held against their will.10 MR. SNEDDON: Your Honor, I’m going to11 object to the question as vague as to time frame.12 MR. MESEREAU: I’ll rephrase it, Your Honor.13 THE COURT: All right.14 Q. BY MR. MESEREAU: During the period you15 claim you escaped from Neverland three times, do you16 recall anyone in your family ever complaining to17 LAPD Officer Andrew Lassak that anyone was being18 mistreated or held against their will.19 A. His name is Lassak, and I don’t remember20 anything happening like that.21 Q. Okay. Now, correct me if I’m wrong, I think22 you testified that you used to stay up -- let me23 rephrase that.24 You would end up staying up most of the25 night when you were at Neverland, correct.26 A. Sometimes.27 Q. Not all the time.28 A. No. 20281 Q. Isn’t it true that you and your brother2 would sometimes roam around the main house starting3 at 7:00 a.m. in the morning.4 A. The cooks -- the chefs would be in there5 like 6:30 or 7:00 or something, and then we’d go in6 there to eat breakfast.7 Q. Okay. And how often do you remember doing8 that.9 A. Every morning when we would eat breakfast.10 Q. Do you know someone named Shane Meredith.11 A. No.12 Q. Never knew an employee named Shane Meredith13 at Neverland.14 A. If I did, I don’t remember that.15 Q. He caught you with an open bottle of alcohol16 at Neverland, didn’t he, when Michael Jackson wasn’t17 even around.18 A. No.19 Q. Now, you talked yesterday about someone20 named Brett Ratner. Do you remember that.21 A. Yes.22 Q. And he was working on a Rush Hour movie,23 right.24 A. Yes, he was the director for both of them.25 Q. And you met Brett Ratner at Neverland one26 time, right.27 A. Yes, he came to Neverland once.28 Q. And you saw him in the library, right. 20291 A. Michael and him were in the library, and2 they told me to go there.3 Q. You saw him in the library with Michael,4 correct.5 A. They told me to go in there.6 Q. Okay. And you sat down next to Michael7 Jackson, didn’t you.8 A. I sat on the couch. I sat on this red couch9 and Michael was sitting here on the seat, and Brett10 Ratner was sitting here also.11 Q. At one point during that meeting, you rested12 your head on Michael Jackson’s shoulder, didn’t you.13 A. No. It was early in the morning, and I14 was -- we were sitting -- he was sitting on another15 chair.16 Q. And you asked if you could go with Michael17 and Brett Ratner to Florida, didn’t you.18 A. I don’t remember asking that.19 Q. You don’t remember it or you’re not sure you20 did it.21 A. I don’t remember ever asking that.22 Q. Okay. Do you remember hearing your mother23 tell Jesus Salas that she was very concerned about24 all the media attention.25 A. I don’t remember. I remember my mom would26 say stuff like that, but -- she didn’t really like27 it, but, I mean, I don’t remember if she did say it28 to Jesus Salas. 20301 Q. Okay. Now, you indicated that you would get2 to the kitchen sometimes early in the morning,3 right.4 A. Well, yeah. Me and a bunch of other people,5 when we wanted to eat breakfast.6 Q. Now, you and your brother often would cook7 for yourselves, correct.8 A. We wouldn’t really cook. We might grab an9 apple or some ice cream, but we wouldn’t cook.10 Q. Ever see your brother Star cook in that11 kitchen.12 A. No.13 Q. Do you remember ever telling Chris Tucker14 that you didn’t make any money from the fund-raiser.15 A. No. Well, what fund-raising.16 Q. Fund-raiser for you at The Laugh Factory.17 A. No, because we did make money at The Laugh18 Factory.19 Q. Yes. So you never told Chris Tucker, “We20 didn’t make any money from the fund-raiser”.21 A. Why would I say that when we did. No, I22 never said that.23 Q. Okay. Do you recall yourself asking Chris24 Tucker for money.25 A. No.26 Q. Do you remember telling Chris Tucker that27 your family was being hounded by the media and could28 not leave your house. 20311 A. No.2 Q. Never said that.3 A. I might have told them about some media4 people that were around our house, but, I mean --5 Q. Do you remember telling Chris Tucker the6 media was hounding your family and there was no7 place for you people to go.8 A. No. Because --9 Q. Never said that.10 A. I might have talked to him about some guy11 that was holding a camera outside of my house, but,12 I mean --13 Q. Do you remember telling Chris Tucker that14 your family had nowhere to go.15 A. No.16 Q. Do you remember telling Chris Tucker that17 you knew Michael Jackson was in Miami and you wanted18 to go see him.19 A. No. Well, I -- well, the first time I flew20 in his plane over to Miami, so I don’t know if21 you’re trying to talk about that or what.22 Q. Well, before you flew on Chris Tucker’s23 plane to Miami, do you remember telling Chris Tucker24 that you wanted to go to Florida to see Michael25 Jackson.26 A. No.27 Q. Never said that.28 A. Michael called, and they arranged it so that 20321 we can go on Chris’s plane.2 Q. But you never told Chris you wanted to go3 see Michael in Florida, right.4 A. I don’t remember if I said in those exact5 words.6 Q. Okay. Do you know Vernee Watson.7 A. I kind of remember her name. But --8 Q. She was an acting teacher for you, wasn’t9 she.10 A. Was she on a show with Will Smith, the Fresh11 Prince of Bel Air show.12 Q. Excuse me, I couldn’t understand what you13 said.14 A. I think I remember who she is, but I don’t15 remember.16 Q. Did she teach you acting at a school owned17 by Belinda Johnson.18 A. I went to some -- I mean, I don’t know if19 we’re talking about the same Renee Watson.20 Q. Just asking you if you know someone named21 Vernee Watson.22 A. I kind of remember her name. But, I mean, I23 haven’t --24 Q. Do you know who she is.25 A. As I said, I kind of think I do, but I don’t26 know if it’s that person -- if that name goes with27 that face.28 Q. Well, can you please describe the Vernee 20331 Watson that you know.2 A. She has like dreadlocks and she’s3 African-American. And she -- she played Will4 Smith’s mother on Fresh Prince of Bel Air. And --5 yeah.6 Q. And how do you know her.7 A. I don’t remember. She’s been our friend for8 a long time.9 Q. Is she still your friend.10 A. Um, we -- we haven’t called her in a while.11 But I think I met her through a dance company, a12 dance class -- a dance studio I was with.13 Q. Do you recall ever asking her for money.14 A. No.15 Q. Do you recall your mother ever asking Vernee16 Watson for money.17 A. No.18 Q. Now, correct me if I’m wrong, I think you19 said yesterday that you did not call Chris Tucker on20 February 4th, 2003; is that right.21 A. I said that I don’t really remember if I22 said that or not, but I don’t know if I called Chris23 Tucker on February 4th, 2003.24 Q. Do you remember calling Chris Tucker before25 you went to Miami and telling him you’re being26 harassed by the media.27 MR. SNEDDON: Your Honor, object as asked28 and answered. 20341 THE COURT: Sustained.2 Q. BY MR. MESEREAU: Did your mother ask you to3 call Chris Tucker.4 A. No, I don’t think so.5 Q. How did you know Michael Jackson was in6 Miami.7 A. Because he called us and told us that he was8 in Miami.9 Q. Did you call Chris Tucker on a regular basis10 at that particular time.11 A. Yeah, I was still talking to him.12 Q. Okay. Did you typically call him from home.13 A. Sometimes.14 Q. Where else would you call him from.15 A. I don’t know. At my grandma’s house.16 Q. Now, Chris told you that he was going to17 Orlando, right.18 A. I don’t know.19 Q. Do you remember him saying that.20 A. No.21 Q. Okay. And to your knowledge, did Evvy22 Tavasci book a commercial flight for your family to23 fly to Miami to see Michael Jackson.24 A. I don’t know.25 Q. Okay. Do you know who was in charge of26 deciding how you would get to Miami.27 A. I don’t know who was in charge of that.28 Q. Okay. Do you know how you ended up on Chris 20351 Tucker’s plane rather than a commercial flight.2 A. Chris wanted to see Michael. And then we3 could just -- we could have just went on a ride with4 him because he was going over there.5 Q. Okay. Do you recall you, your brother, your6 sister and your mother going to a dental office7 around February 24th, 2003.8 A. I remember we might have went to a dental9 office. I mean, I used to have braces.10 Q. And you went to that office to have your11 braces removed, right.12 A. I believe so.13 Q. Pardon me.14 A. I believe so.15 Q. Okay. Well, do you remember going there16 from Neverland.17 A. Yes.18 Q. And it was a Dr. Seamont you went to, right.19 A. I don’t know.20 Q. He was not too far from Neverland, right.21 A. I think they were in Solvang.22 Q. And you had your braces removed, right.23 A. Yes. Because my teeth started separating24 because the wires were all broken.25 Q. And who took you to that dental office.26 A. I think it was Frank.27 Q. Do you know the approximate date.28 A. No. 20361 Q. And you left Neverland and went into town2 that day about 2:34 in the afternoon, right.3 A. I don’t know.4 Q. Okay. And do you remember how long you were5 away that day, from Neverland.6 A. I don’t know.7 Q. It was about five and a half hours, wasn’t8 it.9 A. As I said, I don’t know.10 Q. Okay. Do you remember stopping in Solvang.11 A. I thought that’s what the orthodontist was,12 in Solvang.13 Q. Do you remember, when you left the office,14 going anywhere else.15 A. No.16 Q. Do you remember anybody complaining at the17 office that anyone in your family was being held18 against their will.19 A. I don’t remember.20 Q. Did you have dinner or any meal in Solvang.21 A. I don’t remember having a dinner or a meal.22 Q. Do you remember going shopping in Solvang23 that day.24 A. No.25 Q. No.26 A. No.27 Q. Now, your mother was mad at your L.A.28 dentist that put the braces on originally, right. 20371 A. I don’t know if she was mad at him.2 Q. You never noticed that at all.3 A. No.4 Q. Okay. Do you know who paid for your dental5 work in Solvang on that day.6 A. I don’t know who paid for it.7 Q. And your mother was there, right.8 A. I think so.9 Q. Davellin was there, right.10 A. I think so.11 Q. And Star was there, right.12 A. I think so.13 Q. Okay.14 A. They never -- they hardly ever let us be15 apart. They wanted to keep us together.16 Q. Excuse me.17 A. They never wanted us to be in separate18 areas. They always wanted to keep us together.19 Q. Well, remember you went to Toys R Us with20 Michael.21 A. Yeah, I remember.22 Q. Your mother wasn’t there.23 A. My mom was at Neverland, where they can24 still keep her.25 Q. Oh, was your mother on the trip to Toys R26 Us.27 A. No, she was in Neverland in her unit, where28 they could still keep her and watch her. 20381 Q. I see. So you went into town with Michael2 Jackson, correct.3 A. Yeah. Michael took us to Toys R Us.4 Q. You picked up some fans, correct, on the5 way.6 A. Yeah, Michael invited some people into7 our -- the thing.8 Q. You never complained to anyone in the store9 or any of these fans that anyone was being held10 against their will, correct.11 A. I was actually happy to be at Neverland all12 the time.13 Q. And you were happy to go --14 A. That’s something you don’t really15 understand, is that the majority of those times16 was -- the first few escapes that you talk about,17 I liked being at Neverland. That was like18 Disneyland. I loved being there. I had lots of19 fun.20 I mean, my mom was the one always worried.21 It wasn’t until the last time that I realized22 “I don’t want to be here.”23 Q. Your mother was worried, but she always came24 back, right. Right.25 A. I guess so.26 Q. Okay. I’m going to show you some27 photographs that have been premarked.28 They’ve been shown to the prosecutor, Your 20391 Honor.2 THE COURT: All right.3 MR. MESEREAU: May I approach.4 THE COURT: They’re not in evidence yet.5 MR. MESEREAU: Not yet.6 THE COURT: Can you just give me the numbers.7 It’s for my notes. No, just -- what’s the run.8 MR. MESEREAU: It’s Exhibit 5020 through9 Exhibit 5029.10 THE COURT: Thank you.11 MR. MESEREAU: Thank you, Your Honor.12 Q. Mr. Arvizo, I’m going to show you some13 photographs, and ask you if they appear accurate to14 you. The first one says “Jean Seamont, DDS.” Do15 you see that.16 A. Yes.17 Q. Do you remember going to that office.18 A. That might be a little -- it’s like the -- a19 little -- I don’t know exactly how it is, but --20 Q. It’s like a sign.21 A. Yeah, a sign. There we go.22 Q. Okay. And that’s -- that looks accurate to23 you, right.24 A. Yes.25 Q. Okay. And that is Exhibit 5020.26 Now I’m showing you Exhibit 5021. Does that27 look familiar to you.28 A. A little bit. Yeah. That looks like the 20401 place that they took us to.2 Q. That’s the dentist’s office, right.3 A. Yes.4 Q. Appears accurate to you.5 A. Yes.6 Q. Okay. Now I’m showing you Exhibit 5022. Do7 you see that.8 A. Yes, I see it.9 Q. And that’s downtown Solvang, right.10 A. I don’t know.11 Q. That’s near the dental office, isn’t it.12 A. I don’t know if that was the same place.13 Q. Does it look accurate to you.14 A. I don’t know where that is.15 Q. Okay. Now I’m showing you Exhibit 5023. Do16 you see that.17 A. Yes.18 Q. And does that look like the inside of the19 dentist’s office.20 A. I think so.21 Q. Okay. Looks accurate to you.22 A. I think it was the dentist’s office.23 Q. Okay. And now I’m showing you Defense24 Exhibit 5024. Do you see that.25 A. Yes.26 Q. And that’s the inside of the dentist’s27 office, right.28 A. I think so. 20411 Q. Looks accurate to you.2 A. Yes.3 Q. And now I’m showing you Defense Exhibit4 5025. Do you see that.5 A. Yes.6 Q. And that’s the inside of the dentist’s7 office, right.8 A. I don’t know if that’s the same place they9 did my stuff, but, I mean, it looks --10 Q. Looks accurate to you.11 A. Yeah.12 Q. Okay. I’m showing you now Exhibit 5026.13 Do you see that.14 A. Yes.15 Q. Inside of the dentist’s office, right.16 A. Yes.17 Q. Look accurate to you.18 A. Yes.19 Q. Now I’m showing you Exhibit 5027. Do you20 see that.21 A. Yes.22 Q. And that’s also the inside of the dentist’s23 office, right.24 A. I think so, yes.25 Q. Look accurate to you.26 A. Yes.27 Q. I’m now showing you Exhibit 5028. Do you28 see that. 20421 A. Yes.2 Q. That’s the outside of the dentist’s office,3 right.4 A. I don’t know. I never went out there.5 Q. Does it look accurate to you.6 A. I don’t know. I never went out there.7 Q. Okay. And now I’m showing you Exhibit 5029.8 Do you see that.9 A. Yes.10 Q. That’s the outside of the dentist’s office,11 right.12 A. I don’t know.13 Q. Does it look accurate to you.14 A. I don’t know. I never went out there.15 Q. Okay.16 Unless there’s an objection, I’ll move these17 photographs into evidence.18 MR. SNEDDON: Well, excuse me, Your Honor.19 There is an objection to the ones he said he didn’t20 know anything about, so that would be --21 THE COURT: I’ve got it. 5023 is not22 admitted. 5025 and 502 -- no, 5028 and 5029 are not23 admitted. The others are all admitted.24 Q. BY MR. MESEREAU: You don’t know how long25 you were at that dental office, correct.26 A. No.27 Q. Did you ever see any telephones --28 THE BAILIFF: Is your microphone on. 20431 MR. MESEREAU: Oh. Pardon me. Let me start2 again.3 Q. You don’t know how long you were at that4 dental office, right.5 A. No.6 Q. Did you ever see any phones in that dental7 office.8 A. No -- well, there’s probably one in the9 front. But I didn’t see one in that picture,10 though.11 Q. Did anyone in your family ever complain12 while you were at that dental office, “We’re being13 held against our will,” to your knowledge.14 A. No.15 MR. MESEREAU: Your Honor, I’d like -- I16 have in front of me a Neverland Valley guest book17 I’d like to be marked next in order.18 THE COURT: That would be 5030.19 MR. MESEREAU: Yes, please.20 MR. SANGER: There is a 5030.21 THE CLERK: We already have a 5030. So that22 would be 5031.23 THE COURT: Excuse me. 5031.24 THE CLERK: Yes.25 Q. BY MR. MESEREAU: Mr. Arvizo, I have --26 Excuse me, Your Honor.27 Oh.28 MR. SNEDDON: Excuse me, you know, could -- 20441 Your Honor, we’ve never seen this. It wasn’t2 provided to us.3 MR. MESEREAU: We produced it to them, Your4 Honor.5 MR. SNEDDON: I haven’t seen the book. And6 I’d like to look at it before he asks any questions.7 THE COURT: We’ll organize this. You let8 her -- there you go. You got the label on it.9 Would you show it to the District Attorney.10 MR. MESEREAU: Yes, Your Honor.11 (Off-the-record discussion held at counsel12 table.)13 MR. MESEREAU: Your Honor, I have in front14 of me Defense Exhibit 5034 (sic).15 THE COURT: They can’t hear you.16 MR. MESEREAU: Oh. Here we go again.17 I have in front of me Defense Exhibit 5031,18 which is a Neverland Valley guest book.19 May I approach the witness.20 THE COURT: Yes.21 Q. BY MR. MESEREAU: Mr. Arvizo, I’m showing22 you a Neverland Valley guest book that’s listed as23 Exhibit 5031. Have you seen that before.24 A. Yes.25 Q. Where have you seen this before.26 A. In the front of the -- the -- where you walk27 in the front entrance, there’s like this podium-type28 thing, and it sat on there.6. 204512 Q. Now, there’s some writing on the cover of3 that book. Do you see that.4 A. Yes.5 Q. Is that your writing.6 A. No.7 Q. You didn’t write that.8 A. No. That’s my brother’s, I think.9 Q. Well, it says “Gavin,” doesn’t it.10 A. Yeah.11 Q. You didn’t write that.12 A. It says “Blow Hole and Gavin.”13 Q. Okay. Do you know who wrote that.14 A. “Blow Hole’s” my brother.15 Q. You didn’t write that at all.16 A. No.17 Q. Okay. Do you know why your brother wrote on18 the cover of the guest book.19 A. Because it looked cool. Because it’s on the20 part where you can see it. I don’t know. You21 should ask my brother.22 Q. Did you see him do that.23 A. No.24 Q. Did you ever talk to him about it.25 A. No.26 Q. Now, you had looked through this guest book27 before, correct.28 A. I didn’t really look through it, but I 20461 signed it once.2 Q. Okay. So your signature would be in there.3 A. I don’t know if my signature would be in4 there. But I remember --5 Q. I’m sorry.6 A. I don’t know if my signature was in there,7 but I remember saying, like, “Thanks for letting us8 come to Neverland,” and it was the first time I’d9 ever been to Neverland.10 Q. Okay. But this is the book you saw at11 Neverland, right.12 A. Yes.13 Q. Okay.14 Move to admit Defense Exhibit 5031.15 MR. SNEDDON: Your Honor, I have no16 objection to either option. They can put in a17 photocopy of the front, which is what he was18 questioned about, but as to the entire contents, I19 object.20 THE COURT: All right. The objection is21 sustained as to the contents.22 MR. MESEREAU: Okay. With your permission,23 Your Honor, we can just get a duplicate of the24 cover.25 THE COURT: That would be fine.26 MR. MESEREAU: Okay. Okay.27 THE COURT: You can leave -- is there an28 agreement that once he gets the duplicate of the 20471 cover, that he can exchange the duplicate for the2 original and remove the original. Or do you want to3 wait until the end of the trial for that.4 MR. SNEDDON: No, that would be fine, Your5 Honor. I’m just at a little bit -- “duplicate”6 meaning --7 THE COURT: The duplicate of the cover is8 what he was saying.9 MR. MESEREAU: Yeah.10 MR. SNEDDON: Will it have the same writing11 on it.12 THE COURT: “Duplicate” usually means the13 same. I mean, it’s a duplicate.14 MR. SNEDDON: All right. I’ll wait till the15 duplicate comes in, and we can talk about it then.16 How’s that.17 THE COURT: Okay. All right. Go ahead,18 Counsel.19 MR. MESEREAU: Thank you, Your Honor.20 Q. Mr. Arvizo, according to you, it’s your21 brother’s handwriting, right.22 A. It kind of looks like it. But I don’t know23 if it is.24 Q. And it says, “Hi, Doe-Doe, it’s your Blow25 Hole. I love with you all my heart. Love forever,26 your Blow Hole, Gavin.” Do you see that.27 A. It says “Blow Hole and Gavin.” It doesn’t28 say “Blow Hole” -- 20481 Q. It looks like an “F.”2 THE COURT: Counsel, you’re testifying.3 MR. MESEREAU: I’m sorry, Your Honor. Okay.4 Q. You didn’t see your brother do this, right.5 A. No --6 MR. SNEDDON: Asked and answered, Your7 Honor.8 THE COURT: Sustained.9 MR. MESEREAU: Your Honor, I have in front10 of me an exhibit, No. 5032, which is a photocopy of11 a mannequin.12 I’d like to approach the witness, if I may.13 Q. Mr. Arvizo, I’m showing you a document14 that’s labeled Exhibit 5032. Do you see that.15 A. Yes.16 Q. And that appears to be a photograph of a17 mannequin, correct.18 A. Yes.19 Q. Appears to be an African-American girl with20 braids, right.21 A. Yes.22 Q. With a blue jean jacket, right.23 A. Yes.24 Q. And a pink shirt. Do you see that.25 A. Yes.26 Q. Have you seen that mannequin before.27 A. Yes, I saw it in Michael’s bedroom.28 Q. Is that the mannequin that you’re claiming 20491 Mr. Jackson simulated a sex act with.2 A. Yes.3 Q. Okay. Now, did you ever discuss with Mr.4 Jackson where that mannequin came from.5 A. No. He said that -- there was a bunch of6 mannequins all over his bedroom.7 Q. Well, did he ever tell you this was8 something that was custom made and it’s a mannequin9 of a cousin of his.10 A. No. He just said that he has lots of11 mannequins.12 Q. So you never discussed with him what this13 mannequin was all about, right.14 A. No.15 Q. You never knew that this mannequin was16 something that was paid for and custom made because17 it’s his cousin.18 A. He never told me that.19 Q. Okay. Okay. When did you first see this20 mannequin.21 A. In his bedroom. Where the bed actually is.22 Q. And do you know approximately when that was.23 A. I don’t -- probably the first time I went in24 his room I saw it there. And then the second time I25 was in his room. All the way after Miami was when26 we made the joke about it.27 Q. At some point you learned that somebody had28 defaced that mannequin, right. 20501 A. Defaced. What do you mean.2 Q. Yes. Somebody had taken like a magic marker3 and messed up that mannequin, right.4 A. No, I don’t remember that.5 MR. MESEREAU: Your Honor, at this time I’d6 like to approach the witness and show him Exhibit7 No. 5033, which is a photograph --8 THE COURT: All right.9 MR. MESEREAU: -- of a mannequin as well.10 Q. Mr. Arvizo, I’m showing you Defense11 Exhibit No. 5033. Do you see that.12 A. Yes.13 Q. And do you see where somebody went into the14 vaginal portion of that mannequin and defaced it15 with a magic marker.16 A. Yes. I see that, I guess.17 Q. You know who did that, don’t you.18 A. No.19 MR. MESEREAU: May I publish this, Your20 Honor.21 THE COURT: No.22 Q. BY MR. MESEREAU: You don’t know who did23 that at all.24 A. No.25 Q. You didn’t do it.26 A. No.27 Q. Your brother didn’t do it.28 A. No. 20511 MR. MESEREAU: May I approach one more time.2 THE COURT: Yes.3 Q. BY MR. MESEREAU: Do you see the skirt on4 the mannequin in Defense Exhibit 5032.5 A. Yes.6 Q. Same material as you see on the mannequin in7 Defense Exhibit 5033, right.8 A. I guess so. Yeah.9 Q. But you’ve never seen this defaced10 portion --11 A. No.12 Q. -- right.13 A. No. No.14 Q. Do you know why your brother defaced the15 guest book.16 MR. SNEDDON: Your Honor, I’m going to17 object. Counsel’s testifying. And he’s already18 said he didn’t do it.19 MR. MESEREAU: I didn’t ask if he did it.20 THE COURT: Sustained; calls for speculation.21 MR. MESEREAU: Okay. Move to admit Defense22 Exhibits 5032 and 5033, Your Honor.23 THE COURT: They haven’t been properly24 identified. So it’s denied.25 MR. MESEREAU: Exhibit 5032 is the26 photograph of the mannequin that I showed27 Mr. Sneddon.28 THE COURT: That one is admitted. 20521 MR. MESEREAU: And 5033 is also a photograph2 of the same mannequin.3 THE COURT: But it hasn’t been identified as4 to the marking you’re talking about. He has never5 seen it that way, so we don’t know who did it, when6 it was done. There’s no foundation.7 MR. MESEREAU: We’ll do it -- we’ll do it8 later, then.9 THE COURT: All right. No foundation.10 MR. MESEREAU: Okay. All right.11 Q. Finally, Mr. Arvizo, in your direct12 examination, you commented a couple of times on13 Mr. Jackson wearing makeup. Do you remember that.14 A. Here.15 Q. When you were answering Prosecutor Sneddon’s16 questions, a couple of times you used the word17 “makeup” in referring to Michael Jackson, right.18 A. I said one time when he was -- a story about19 a time when we were in the room where his makeup20 was, but I don’t remember me saying it a lot of21 times.22 Q. Now, you knew that Michael Jackson has a23 skin disease called vitiligo, right.24 A. He told me about it.25 Q. And he told you that he’s an26 African-American man with a skin disease that eats27 up pigment in his skin, correct.28 A. Yes. 20531 Q. And you knew that that disease was causing2 certain patches of white and brown on his skin,3 right.4 A. Yes. I guess.5 Q. And --6 A. I don’t know. It’s not like I was making7 fun of him yesterday, if that’s what you’re trying8 to imply.9 Q. Well, you knew that his skin is vulnerable10 to sunlight, correct.11 A. Yes.12 Q. And that’s why you see him with an umbrella,13 correct.14 A. Yes.15 Q. And you also knew, because of the patches16 that appear on his skin from that disease, he does17 sometimes put some makeup on, right.18 A. I didn’t know about patches. I thought he19 was just all white.20 Q. Well, you discussed the skin disease with21 him, right.22 A. Yes.23 Q. You knew the skin disease was changing the24 color of his skin, right.25 A. That’s what he told me.26 Q. And you knew that’s why he put makeup on;27 true.28 A. Not really. I thought it was just because 20541 he had, like -- because he -- he didn’t have pink on2 his lips, so he would put makeup on his lips.3 I mean, I wasn’t making fun of him4 yesterday, if that’s what you are trying to say.5 Q. You weren’t making fun of him at all.6 A. No.7 Q. Okay. Now, you’re aware, are you not, that8 you have until the age of 18 to file a lawsuit9 against Mr. Jackson if you choose to, correct.10 A. No.11 Q. You’ve never discussed that with your12 mother.13 A. No.14 Q. Never discussed that with Larry Feldman, the15 attorney.16 A. No.17 Q. And never discussed it with Bill Dickerman,18 the attorney.19 A. No.20 Q. Okay. You’re also aware that if Mr. Jackson21 is convicted, you could automatically win that civil22 suit, right.23 A. No.24 Q. No one’s ever discussed that with you.25 A. No. We said things like, oh, we don’t want26 his money, and stuff like that.27 Q. Never discussed that issue with any28 attorney, right. 20551 A. No.2 Q. First time you’ve heard about it.3 A. About that I can -- you just told me now4 that I can sue him till I’m 18 or something like5 that. I didn’t even know about that stuff.6 Q. Didn’t even know about that, right. And7 never heard your mother mention it.8 A. No.9 MR. MESEREAU: No further questions.10 THE COURT: Redirect.11 MR. SNEDDON: Yes.1213 REDIRECT EXAMINATION14 BY MR. SNEDDON:15 Q. Morning, Gavin.16 A. Hey, Tom.17 Q. I’m going to ask you just a few questions.18 It won’t be long.19 First of all, with regard to this particular20 case, Mr. Mesereau has asked you a lot of questions21 about did you have conversations with your brother22 and your mother and other people about what you’ve23 testified here in court today.24 A. Uh-huh.25 Q. Do you recall those questions.26 A. Yes.27 Q. And you said you did not.28 A. Yes. 20561 Q. Were you given some instructions with regard2 to who you could talk to and who you couldn’t talk3 to about this case.4 A. You guys told us that we can’t talk to5 anybody about this case. Well, our family and --6 anyone that was, like, involved; you know what I7 mean.8 Q. When were you told that.9 A. When the case first started.10 Q. So from the time you were first involved in11 the case till today, those were the instructions you12 were given.13 A. Yes.14 Q. And have you followed those instructions15 faithfully.16 A. Yes.17 Q. Mr. Mesereau asked you yesterday about the18 fact that when you went through chemotherapy you had19 some temporary memory loss and inability to20 concentrate at some points in time.21 A. Yes.22 Q. At the time that these events occurred at23 Neverland Ranch involving you and the defendant,24 Michael Jackson, were any of those effects from the25 chemotherapy still present with you.26 A. No, they went away after a while.27 Q. Do you remember Mr. Mesereau asking you28 about a video that was taken during one of your 20571 first trips to Neverland, with you and Mr. Jackson,2 when we saw the music “I’ll Be There”. Do you3 remember that one.4 A. The one where he carried me and stuff.5 Q. Yeah. Do you remember that video.6 A. Yes.7 Q. When was the first time you saw that video.8 A. Um, it was probably -- I think they brought9 it to Chris at his house, and that was the first10 time I saw it.11 Q. Who brought it to Chris.12 A. I think it was -- or -- I don’t remember the13 first time. It could have been either at the hotel14 in Miami or at Chris’s house before we left. But15 I’m not sure.16 Q. So up until the time -- that photograph was17 taken back in 2000 when you were just starting your18 chemotherapy, correct.19 A. Yes.20 Q. So from the time in 2000 when the video was21 produced until the time that you went to Miami, or22 shortly before Miami, with Chris Tucker, you had23 never been given a copy of that by Mr. Jackson.24 A. No.25 Q. Did Mr. Jackson ever visit you in the26 hospital when you were sick.27 A. Never.28 Q. Now, you told us that you had some telephone 20581 numbers for Mr. Jackson that had been given to you2 by Mr. Jackson or somebody else.3 A. Yes.4 Q. Who gave you the phone numbers.5 A. It was usually Michael. But, like, Frank6 gave me his phone and he said that he was usually7 with Michael, so that I can call his phone and then8 he can give me Michael.9 Q. Were there times when you called Frank’s10 phone and got ahold of Mr. Jackson.11 A. Yes.12 Q. Now, did you have conversations with the13 defendant, Mr. Jackson, about his relationship with14 the person that you call Frank Tyson.15 A. Yeah. Frank told me, like, he’s like his --16 MR. MESEREAU: Objection; hearsay.17 THE COURT: Sustained.18 Q. BY MR. SNEDDON: You say you had a19 conversation.20 A. Yeah. I had a conversation, yes.21 Q. All right. Now, first of all, I want to ask22 you, did Mr. Jackson make statements about his23 relationship with Frank.24 A. Yes.25 MR. SNEDDON: Your Honor, offered under26 1223.27 MR. MESEREAU: Same objection.28 THE COURT: I’ll admit it. These are 20591 statements by Mr. Jackson.2 MR. SNEDDON: They are, Your Honor. About3 his relationship with a co-conspirator.4 THE COURT: All right. These are admitted5 conditionally, as the other statements were.6 Q. BY MR. SNEDDON: Now, what did the7 defendant, Mr. Jackson, say about his relationship8 with Frank Tyson.9 A. He told us that Frank was like his second10 cousin or something. And then that Michael would11 change his diapers when he was a baby, and stuff12 like that.13 Q. So he had known him for a long, long time.14 A. Yes.15 Q. Now, when you testified, you were asked by16 Mr. Mesereau some questions concerning the Martin17 Bashir documentary. Do you recall that.18 A. Yes.19 Q. Now, what I want to ask you is, before you20 went to Miami and saw Mr. Jackson in Miami -21 okay. --22 A. Uh-huh.23 Q. -- what was it -- what portions of that24 video had you seen at anyplace.25 A. I haven’t seen it -- I didn’t see it at all.26 I just saw news media talking about it, talking27 about a movie or something. I didn’t really know28 what it was until I got to Miami. 20601 Q. So before you went to Miami you had heard2 media talking about it. Did you actually see any3 footage on T.V..4 A. No.5 Q. You just heard the voices.6 A. Yes.7 Q. When you got to Miami, did you see the8 Bashir video.9 A. No, Michael didn’t want us to see it in his10 hotel so --11 Q. Did you see any parts of it.12 A. No.13 Q. Now, you told the ladies and gentlemen of14 the jury that when you went to Miami that you were15 upset with somebody over the Bashir documentary. Do16 you recall that.17 A. Um --18 Q. Actually, let me rephrase that.19 Mr. Mesereau asked you if your mother was20 upset with somebody when you went to Miami. Do you21 recall that.22 A. Not really.23 Q. Were you upset with anybody, or angry.24 A. I was angry at -- kind of angry at Martin25 Bashir.26 Q. At who.27 A. Martin Bashir.28 Q. Do you know what your mother’s attitude was 20611 towards that, if you know.2 A. I don’t remember.3 Q. Now, you told the ladies and gentlemen of4 the jury a few moments ago that when Mr. Mesereau5 asked you how you knew Mr. Jackson was in Miami, do6 you recall that question.7 A. I’m sorry, can you repeat the question.8 Q. I want to take you to that point in time9 with regard to where you -- when you learned that10 Mr. Jackson was in Miami.11 A. Okay.12 Q. Before you went to Miami.13 A. Okay.14 Q. Okay. Who was it that told you that15 Mr. Jackson was in Miami.16 A. Michael. Evvy said that Michael’s going to17 call me in a few minutes. Well, I told my mother.18 And then Michael called on the phone, and I19 picked up, and he told me that he was in Miami and20 he wanted me to go over there.21 Q. Was that the first time that you learned22 that Mr. Jackson was in Miami.23 A. Yes.24 Q. And that’s when he invited you to be a part25 of a press conference.26 A. Yes.27 Q. Just a couple of questions about things that28 happened at the ranch. You were questioned by Mr. 20621 Mesereau about the nanny named Grace. Do you recall2 that.3 A. Yes.4 Q. And about -- specifically about the area5 upstairs, where it had some -- a chalkboard and some6 tables and things.7 A. Yes.8 Q. During the time that you were at the ranch,9 did you ever see anybody other than Grace come in as10 a teacher to the children.11 A. I think they switched -- I think Grace went12 away for a while. And then some other lady came.13 Q. Do you know who that lady was.14 A. No.15 Q. Okay. Now, you’ve identified in one of the16 photographs a person by the name of Aldo. Do you17 recall that.18 A. Yes.19 Q. Was Aldo at the ranch during times that you20 were there with Mr. Jackson.21 A. Yes.22 Q. Do you recall when it was that you were23 there -- when -- Tuesday morning.24 Do you recall in relationship to when you25 and Mr. Jackson were there, what part of the visit26 was it that Aldo was there.27 A. In the beginning.28 Q. Now, there was a considerable amount of 20631 discussion about the codes that were needed to get2 into certain areas of the ranch.3 A. Uh-huh.4 Q. Do you recall that.5 A. Yes.6 Q. Now, with regard to the -- let’s just run7 through this real quickly. With regard to the8 theater, did you need a code to get in there.9 A. No.10 Q. With regard to the arcade, did you need a11 code to get in there.12 A. No.13 Q. With regard to the main house, did you need14 a code to get in there.15 A. Yes.16 Q. In the front door.17 A. No, in the back door. Oh, it was in the18 front door, I never really saw one. But, I mean, we19 always went through the back door.20 Q. So there was a code that was necessary to21 know to get into the back door of the house.22 A. Yes.23 Q. And then there was a code to get into Mr.24 Jackson’s bedroom, we’ve heard a great deal about.25 A. Yes.26 Q. Were there any other areas on the ranch that27 you know of that you needed a code to get into those28 areas. 20641 A. No, there was no other place.2 Q. How about Mr. Jackson’s office.3 A. I don’t really remember if there was a code4 needed to get in there. I don’t think there was.5 Q. When you went to Miami with Chris Tucker on6 his charter plane to meet Mr. Jackson, did you want7 to meet Mr. Jackson.8 A. Yes.9 Q. Gavin, when you testified in front of the10 grand jury, did you tell the truth.11 A. Yes.12 Q. And when you testified in front of the grand13 jury, were the things that you told the grand jury14 fresh in your mind at that time.15 A. They were probably fresher.16 MR. MESEREAU: Objection; leading.17 MR. SNEDDON: Your Honor, I’m laying the18 foundation for an Evidence Code section exception.19 THE COURT: All right. The objection is20 overruled. The answer was already in. Next21 question.22 Q. BY MR. SNEDDON: Yesterday Mr. Mesereau23 showed you a number of cards, greeting cards, that24 were sent to Mr. Jackson by you and other members of25 your family.26 A. Yes.27 Q. Were some of those -- were any of those28 cards in handwritings other than yours. 20651 A. Yes. Some were mine.2 Q. Yesterday you made a statement to the jury3 in response to one of Mr. Mesereau’s statements.4 You made a statement something to the effect, “God5 gave me cancer to guide me in a certain way.” Do6 you recall that.7 A. Yes.8 Q. What did you mean by that.9 A. Well, through -- when I had cancer, I got10 really close to God.11 And they had like missions all over the West12 Coast down to Mexico praying for me. They had --13 I don’t know. Something happened where they had a14 picture and they put on a wall.15 And then my friend went to Israel and put a16 picture on this wall where they put, like, all these17 people that have, like, diseases and stuff like18 that.19 And then -- I don’t know. Because of my20 cancer, my parents started fighting more, I guess.21 And -- I mean, it sounds kind of sad that they got22 divorced, but, I mean, it was kind of a window, I23 believe, to find my stepdad and -- because it’s a24 lot better than it was before having my stepdad in25 my life.26 Q. Now, you’re currently in school, correct.27 A. Yes.28 Q. Just -- are you in school. 20661 A. Yes.2 Q. You’re in a high school.3 A. Yes.4 Q. What grade are you.5 A. I’m in ninth grade.6 Q. And yesterday you were asked -- I think you7 made the statement rather candidly, you were asked8 by Mr. Mesereau, were you a discipline problem, and9 you said yes, when you were at John Burroughs.10 A. Yes.11 Q. Okay. Currently in the high school that12 you’re in, do you get good grades.13 A. Yes.14 Q. Did you make the honor roll.15 A. Yes.16 Q. Do you get in fights anymore.17 A. No.18 MR. MESEREAU: Objection; relevance.19 THE COURT: Overruled. The answer was “No.”20 Next question.21 Q. BY MR. SNEDDON: Have you had any discipline22 problems.23 A. No.24 Q. Are you involved in after-school activities.25 MR. MESEREAU: Objection; relevance.26 THE COURT: Sustained.27 Q. BY MR. SNEDDON: During the time that you28 were -- let’s go back just a second. In the year, I 20671 believe you testified 2001, at some point your2 father left; is that correct.3 A. Right after I was done with cancer, I didn’t4 see him anymore.5 Q. What was the impact on you when your dad6 left.7 A. I cried every night.8 Q. For -- why.9 A. Because, I mean, I didn’t have a dad10 anymore. I mean, I was kind of happy that he left11 because he hit my mom a lot, but I didn’t -- I just12 felt like I didn’t have anybody. Any father; you13 know what I mean.14 Q. Yeah. And you don’t feel that way anymore.15 A. No.16 Q. Because of.17 MR. MESEREAU: Objection; relevance.18 THE WITNESS: My stepdad.19 THE COURT: Overruled.20 THE WITNESS: Because of my stepdad.21 Q. BY MR. SNEDDON: So it was the relationship22 with your stepdad that changed that feeling.23 A. Yes.24 Q. So let’s talk a little bit about some of the25 things Mr. Mesereau talked about yesterday. Mr.26 Geraldt. He talked about an incident where you had27 a run-in with Mr. Geraldt that ended up you going to28 see Mr. Alpert. Do you recall that. 20681 A. I don’t know if I saw Mr. Alpert, but I2 remember seeing a -- some -- someone that was in the3 office.4 Q. Did you ever receive any discipline as a5 result of that incident with Mr. Geraldt.6 A. No, I don’t think -- no, they never even did7 anything.8 Q. Now, when you went back to school after you9 left Neverland Ranch - okay. --10 A. Yes.11 Q. -- March and April, you were at John12 Burroughs, correct.13 A. Yes.14 Q. Did -- what was -- what was it like when you15 went back to school.16 A. All the kids would laugh at me and try to17 push me around and stuff, and say, “That’s the kid18 that got raped by Michael Jackson,” and stuff like19 that.20 Q. Did -- what was your reaction to that.21 A. I would sometimes not say anything and just22 walk away. And if they got close enough, sometimes23 I would fight them. After they hit me first,24 because I didn’t like to throw the first punch,25 because I believe that -- I mean --26 MR. MESEREAU: Objection; nonresponsive.27 THE COURT: I’ll sustain the objection.28 In the middle, “After they hit me first,” is where 20691 it stops.2 MR. SNEDDON: Thank you, Your Honor.3 Q. So there were fights that you got into after4 you left Neverland Valley Ranch because of the5 things that the kids were saying to you.6 A. Yes.7 Q. And when you get in a fight, what happens.8 Where do you have to go.9 A. They took us to Dean Alpert.10 Q. Now, you were asked yesterday whether you11 had a conversation with Dean Alpert where he asked12 you whether or not Mr. Jackson had touched you. Do13 you recall that.14 A. Yes.15 Q. And you recall that you probably told him it16 didn’t happen, correct.17 A. I told him that it didn’t happen.18 Q. Okay. You told him it didn’t happen.19 A. Yes.20 Q. Okay. Why did you tell him that.21 A. Because all the kids were already making fun22 of me in school, and I didn’t want anybody to think23 that it really happened.24 Q. Gavin, have you ever been a member of a25 gang.26 A. No.27 Q. Did anybody ever ask you to join a gang.28 A. Yes. 20701 Q. What happened.2 A. They jumped me because I said no. So I got3 in a fight with a bunch of guys.4 Q. Because you wouldn’t join a gang.5 A. Yes.6 Q. Almost done. Just a couple more easy7 questions and --8 Mr. Mesereau asked you yesterday about going9 to Anchor Blue. Do you recall that.10 A. Yes.11 Q. How many times do you recall going to shop12 at Anchor Blue.13 A. Once.14 Q. Now, the suitcases that they bought you --15 I just want to talk about you individually, okay. --16 A. Okay.17 Q. -- was it more than one.18 A. It was -- like, they had this package thing19 where you would buy one, and they would have all --20 they would have this big one, and in the inside it21 would be one smaller, and another one that was even22 smaller that was a carry-on bag.23 Q. So you had a series of suitcases.24 A. Yeah, and -- yes.25 Q. And when you left Neverland, did you take26 all those suitcases with you, you personally.27 A. I think I just took the -- no, I didn’t take28 them. They -- after we left and we stopped -- we 20711 didn’t want to go back --2 Q. Okay.3 A. -- Frank and Vinnie showed up on our door4 and they were knocking on the door. And then we5 waited until they left, and we looked outside and6 our suitcases were there.7 Q. Did you open your suitcase and go through8 it.9 A. Yes.10 Q. Was there anything missing.11 A. Yeah.12 Q. What.13 A. Some of my underwear, some of my shirts, a14 couple pants, and stuff like that. And they put in15 some other guy’s pants.16 Q. Did you ever have a conversation with the17 defendant in this case, Mr. Jackson, about your18 underpants.19 A. Yes.20 Q. Tell the jury about it.21 MR. MESEREAU: Objection; beyond the scope.22 THE COURT: Overruled.23 THE WITNESS: There was one time that I slept24 in his room - and he was probably joking but I kind25 of took it serious - I had pajamas on and -- I was26 using his pajamas. And I told him I was going in to27 take a shower in my unit.28 And then he was like, “Leave your stinking 20721 underwear in the hamper,” or something like that.2 And then so -- because I had to change out3 of my clothes to go to my unit. And then I don’t4 know if he was joking or not, but I actually did.5 Q. BY MR. SNEDDON: Did what.6 A. Put my underwear in the hamper.7 Q. Did you ever get those back.8 A. No.9 Q. With regard to the items that were dropped10 at your -- at your door by Frank and Vinnie, that11 was after you left Neverland for good.12 A. Yes.13 Q. Okay. Gavin, I just have one last question14 to ask you: Yesterday in response to Mr. Mesereau’s15 questions, you told him that Mr. Jackson was like a16 father figure to you; is that correct.17 A. Michael Jackson.18 Q. Yeah.19 A. Yes.20 Q. And that you thought he was one of the21 coolest guys in the world, correct.22 A. Yes.23 Q. And that you admired him.24 A. Well, I only admire God, but he was a pretty25 cool guy.26 Q. How do you feel about Mr. Jackson now in27 light of what he did to you.28 MR. MESEREAU: Objection. 352; relevance; 20731 leading.2 THE COURT: Overruled.3 THE WITNESS: I don’t really like him4 anymore. I don’t think he’s really that deserving5 of the respect that I was giving him and as the6 coolest guy in the world.7 MR. SNEDDON: Nothing further, Your Honor.8 THE COURT: Recross.9 MR. MESEREAU: Yes, please, Your Honor.1011 RECROSS-EXAMINATION12 BY MR. MESEREAU:13 Q. Mr. Arvizo, did you discuss your testimony14 of yesterday with anyone last evening.15 A. No.16 Q. Did you discuss any of it with Mr. Sneddon.17 A. No.18 Q. Was the last meeting you had with Mr.19 Sneddon Sunday night.20 A. Yes.21 Q. Did you discuss your testimony with any22 attorney or employee of an attorney last night.23 A. No.24 Q. Okay. Did anyone talk to you about what25 Mr. Sneddon was going to ask you today.26 A. No.27 Q. Okay. Now, did you have a meeting at a law28 office last Saturday. 20741 A. No.2 Q. Anyone in your family go to a law office3 last Saturday, to your knowledge.4 A. No.5 Q. Never heard about it.6 A. No.7 Q. Okay. When is the last time you talked to8 any lawyer associated with Larry Feldman’s office.9 MR. SNEDDON: Your Honor, I’m going to10 object as beyond the scope of the redirect.11 THE COURT: Sustained.12 Q. BY MR. MESEREAU: Mr. Arvizo, when you were13 having disciplinary problems at school, they went14 far beyond just fighting with students, didn’t they.15 A. No, it was everything that I told you.16 That’s what happened.17 Q. You were repeatedly accused of disrespecting18 teachers, right.19 A. That’s what I told you yesterday.20 Q. Okay. And you didn’t even show up for21 detention much of the time when you were ordered to,22 right.23 A. No, I showed up at every detention.24 Q. Well, do you recall never showing up for a25 detention that Teacher Parker ordered you to attend.26 A. No.27 Q. Don’t recall that.28 A. No. 20751 Q. Okay. You were accused of getting up in the2 middle of class and disrupting everything, right.3 MR. SNEDDON: Your Honor, I’m going to4 object as asked and answered. We went through this5 yesterday.6 THE COURT: Sustained.7 MR. MESEREAU: No further questions, Your8 Honor.9 THE COURT: All right. Do you have anything10 further, Mr. Sneddon.11 MR. SNEDDON: No, Your Honor.12 THE COURT: You may step down.13 Call your next witness.14 MR. MESEREAU: Your Honor, may the witness15 be subject to re-call.16 THE COURT: Yes. He’s not excused.17 MR. MESEREAU: Thank you, Your Honor.
Gavin Arvizo Redirect Recross
1 Santa Maria, California2 Tuesday, March 15, 20053 8:30 a.m.45 THE COURT: Good morning.6 THE JURY: (In unison) Good morning.7 THE COURT: You ready to proceed.8 MR. MESEREAU: Yes, Your Honor.9 Thank you, Your Honor.1011 GAVIN-ANTON ARVIZO12 Having been previously sworn, resumed the13 stand and testified further as follows:1415 CROSS-EXAMINATION (Continued)16 BY MR. MESEREAU:17 Q. Mr. Arvizo, when you claim you were18 inappropriately touched by Mr. Jackson, you claim19 there were no witnesses watching, correct.20 A. Yes.21 Q. Now, at some point, do you recall giving a22 DNA swab to any Santa Barbara Sheriff.23 A. Yes. They gave me a DNA swab.24 Q. Do you know approximately when that was.25 A. No.26 Q. Did you ever learn what the results were of27 any DNA testing.28 A. No. 20211 Q. Did you ever discuss it with Prosecutor2 Sneddon.3 A. No.4 Q. Did you ever discuss it with any other5 prosecutor.6 A. No.7 Q. Did you ever discuss it with any sheriff.8 A. No.9 Q. How about any lawyer or paralegal.10 A. No.11 Q. Did you ever discuss it with any member of12 your family.13 A. No.14 Q. So as you sit here today, you don’t know15 what the results are of those DNA tests, right.16 A. No.17 Q. Okay. Now, you indicated that you were18 upset that there was no press conference in Miami19 when you and your family traveled to Miami to see20 Michael Jackson, correct.21 A. I said it wasn’t that big of a deal, because22 I was already having fun.23 Q. Well, you wanted a press conference in this24 case, didn’t you.25 A. Michael wanted it.26 Q. No --27 A. Michael told me he wanted it.28 Q. Sir, when you were testifying before the 20221 grand jury, you wanted to give a press conference,2 didn’t you.3 A. No, I thought we were going to have a press4 conference, because that’s what I was told.5 Q. Do you remember telling Mr. Sneddon and the6 grand jury that you wanted to have a press7 conference.8 A. I might have said that we wanted to have a9 press conference, because Michael wanted to.10 Q. Michael wanted to have a press conference11 when you were in front of the grand jury; is that12 what you’re saying.13 You can answer the question.14 A. No.15 Q. Remember telling Mr. Sneddon, “Oh, man, I16 was going to have a press conference”.17 MR. SNEDDON: Excuse me, Your Honor. Could18 we have a page reference on that, before Counsel19 reads it.20 MR. MESEREAU: Sure. Sure. It’s 449.21 MR. SNEDDON: That’s fine.22 Q. BY MR. MESEREAU: Okay. Do you remember23 when you were in front of the Santa Barbara Grand24 Jury, Mr. Sneddon told you there was an order that25 you not talk to the media, and your response was,26 “Oh, man, I was going to have a press conference”.27 Do you remember that.28 A. That was probably a joke. 20231 Q. That was a joke.2 A. Yeah.3 Q. So you’re in front of the Santa Barbara4 Grand Jury talking about this case and you’re5 telling a joke.6 A. Yes.7 Q. Okay. All right. Do you know someone who8 worked at Neverland named Julio Avila.9 A. I don’t remember.10 Q. Do you remember that name at all.11 A. I remember a guy that might have been named12 Julio, but I forgot his name.13 Q. Okay. And was he someone who worked around14 the amusement rides.15 A. Oh, yes. Well, he -- he was the manager of16 the whole Neverland, but then they moved him to the17 amusement park, if we’re talking about the same guy.18 Q. Do you remember anyone complaining about you19 and Star --20 MR. SNEDDON: Object, Your Honor. It’s a21 violation of a 403 ruling.22 MR. MESEREAU: I don’t think it is.23 THE COURT: I’m not remembering this. Give24 me another hint.25 MR. MESEREAU: It has to do with behavior at26 Neverland. Nonsexual nature.27 THE COURT: All right. I’ll sustain the28 objection. 20241 Q. BY MR. MESEREAU: Do you recall you and your2 brother Star being picked up by a FOX News reporter3 at your home.4 A. No.5 Q. Never happened.6 A. Well, I have a friend that works for FOX7 News, but --8 Q. What’s your friend’s name.9 A. Barbara.10 Q. Barbara Schroeder.11 A. I don’t know her last name.12 Q. Do you recall being picked up by Barbara13 Schroeder and taken for a spending spree.14 A. I remember going to the movies with her and15 her daughter.16 Q. Do you remember she and another member of17 the media treating you and your brother to shopping.18 A. I have a friend that used to work for FOX19 that I met at The Laugh Factory, but he works in,20 like, cell phones or something.21 Q. Do you recall Barbara Schroeder and another22 representative of FOX News taking you and Star23 shopping and paying your bills.24 A. They weren’t representing FOX News to us.25 They were our friends.26 Q. Do you remember them taking you shopping and27 paying your bills; yes or no.28 A. I don’t remember them paying my bills. And 20251 I remember going to the movies with them. I don’t2 remember going on shopping sprees.3 Q. Where did you go with them.4 A. We went to the movies.5 Q. Where.6 A. Galleria.7 Q. Which galleria.8 A. I don’t know. Somewhere in Los -- Hollywood9 somewhere.10 Q. In Los Angeles, right.11 A. Yes.12 Q. Okay. And you’re saying they never took you13 to any store and paid any bill for you.14 A. No.15 Q. Okay. You mentioned that someone named Gary16 Hearn had driven you and your family from time to17 time while you were at Neverland, correct.18 A. Yeah, Gary drove us around.19 Q. How many times do you recall Gary Hearn20 driving you around.21 A. I don’t remember.22 Q. Was it five times. Ten times.23 A. Well, no, it was less than that.24 Q. Okay. And where do you remember Gary Hearn25 driving you to.26 A. I remember he drove us one time from the27 hospital to Neverland, and once from our apartment28 to Neverland. 20261 Q. Do you remember your being in his car and2 your mother asking to stop so you could buy various3 things at stores.4 A. No.5 Q. Don’t recall him ever stopping so anyone in6 your family could go shopping.7 A. No.8 Q. Okay. Do you know someone named Andrew9 Lassak.10 A. No.11 Q. Okay. Now, you mentioned --12 A. Lassak. Police officer.13 Q. Yes. Do you know him.14 A. Yes.15 Q. How did you meet him.16 A. He was an LAPD officer that -- I forgot,17 really, how we met him. I think he was -- I don’t18 know. My mom met him or something, and then he19 visited us a lot.20 Q. Do you know approximately when you first met21 this LAPD officer, Mr. Lassak.22 A. After my father left. A few months after my23 father left, after I finished chemotherapy.24 Q. And he was a friend of your family, correct.25 A. Yes.26 Q. He used to visit your house, correct.27 A. Yes.28 Q. You spoke to him, right. 20271 A. Yes.2 Q. You saw your brother and sister speak to3 him, didn’t you.4 A. Yes.5 Q. And you saw your mother speak to him, right.6 A. Yes.7 Q. Do you recall anyone ever complaining to Los8 Angeles Police Officer Andrew Lassak that anyone was9 being held against their will.10 MR. SNEDDON: Your Honor, I’m going to11 object to the question as vague as to time frame.12 MR. MESEREAU: I’ll rephrase it, Your Honor.13 THE COURT: All right.14 Q. BY MR. MESEREAU: During the period you15 claim you escaped from Neverland three times, do you16 recall anyone in your family ever complaining to17 LAPD Officer Andrew Lassak that anyone was being18 mistreated or held against their will.19 A. His name is Lassak, and I don’t remember20 anything happening like that.21 Q. Okay. Now, correct me if I’m wrong, I think22 you testified that you used to stay up -- let me23 rephrase that.24 You would end up staying up most of the25 night when you were at Neverland, correct.26 A. Sometimes.27 Q. Not all the time.28 A. No. 20281 Q. Isn’t it true that you and your brother2 would sometimes roam around the main house starting3 at 7:00 a.m. in the morning.4 A. The cooks -- the chefs would be in there5 like 6:30 or 7:00 or something, and then we’d go in6 there to eat breakfast.7 Q. Okay. And how often do you remember doing8 that.9 A. Every morning when we would eat breakfast.10 Q. Do you know someone named Shane Meredith.11 A. No.12 Q. Never knew an employee named Shane Meredith13 at Neverland.14 A. If I did, I don’t remember that.15 Q. He caught you with an open bottle of alcohol16 at Neverland, didn’t he, when Michael Jackson wasn’t17 even around.18 A. No.19 Q. Now, you talked yesterday about someone20 named Brett Ratner. Do you remember that.21 A. Yes.22 Q. And he was working on a Rush Hour movie,23 right.24 A. Yes, he was the director for both of them.25 Q. And you met Brett Ratner at Neverland one26 time, right.27 A. Yes, he came to Neverland once.28 Q. And you saw him in the library, right. 20291 A. Michael and him were in the library, and2 they told me to go there.3 Q. You saw him in the library with Michael,4 correct.5 A. They told me to go in there.6 Q. Okay. And you sat down next to Michael7 Jackson, didn’t you.8 A. I sat on the couch. I sat on this red couch9 and Michael was sitting here on the seat, and Brett10 Ratner was sitting here also.11 Q. At one point during that meeting, you rested12 your head on Michael Jackson’s shoulder, didn’t you.13 A. No. It was early in the morning, and I14 was -- we were sitting -- he was sitting on another15 chair.16 Q. And you asked if you could go with Michael17 and Brett Ratner to Florida, didn’t you.18 A. I don’t remember asking that.19 Q. You don’t remember it or you’re not sure you20 did it.21 A. I don’t remember ever asking that.22 Q. Okay. Do you remember hearing your mother23 tell Jesus Salas that she was very concerned about24 all the media attention.25 A. I don’t remember. I remember my mom would26 say stuff like that, but -- she didn’t really like27 it, but, I mean, I don’t remember if she did say it28 to Jesus Salas. 20301 Q. Okay. Now, you indicated that you would get2 to the kitchen sometimes early in the morning,3 right.4 A. Well, yeah. Me and a bunch of other people,5 when we wanted to eat breakfast.6 Q. Now, you and your brother often would cook7 for yourselves, correct.8 A. We wouldn’t really cook. We might grab an9 apple or some ice cream, but we wouldn’t cook.10 Q. Ever see your brother Star cook in that11 kitchen.12 A. No.13 Q. Do you remember ever telling Chris Tucker14 that you didn’t make any money from the fund-raiser.15 A. No. Well, what fund-raising.16 Q. Fund-raiser for you at The Laugh Factory.17 A. No, because we did make money at The Laugh18 Factory.19 Q. Yes. So you never told Chris Tucker, “We20 didn’t make any money from the fund-raiser”.21 A. Why would I say that when we did. No, I22 never said that.23 Q. Okay. Do you recall yourself asking Chris24 Tucker for money.25 A. No.26 Q. Do you remember telling Chris Tucker that27 your family was being hounded by the media and could28 not leave your house. 20311 A. No.2 Q. Never said that.3 A. I might have told them about some media4 people that were around our house, but, I mean --5 Q. Do you remember telling Chris Tucker the6 media was hounding your family and there was no7 place for you people to go.8 A. No. Because --9 Q. Never said that.10 A. I might have talked to him about some guy11 that was holding a camera outside of my house, but,12 I mean --13 Q. Do you remember telling Chris Tucker that14 your family had nowhere to go.15 A. No.16 Q. Do you remember telling Chris Tucker that17 you knew Michael Jackson was in Miami and you wanted18 to go see him.19 A. No. Well, I -- well, the first time I flew20 in his plane over to Miami, so I don’t know if21 you’re trying to talk about that or what.22 Q. Well, before you flew on Chris Tucker’s23 plane to Miami, do you remember telling Chris Tucker24 that you wanted to go to Florida to see Michael25 Jackson.26 A. No.27 Q. Never said that.28 A. Michael called, and they arranged it so that 20321 we can go on Chris’s plane.2 Q. But you never told Chris you wanted to go3 see Michael in Florida, right.4 A. I don’t remember if I said in those exact5 words.6 Q. Okay. Do you know Vernee Watson.7 A. I kind of remember her name. But --8 Q. She was an acting teacher for you, wasn’t9 she.10 A. Was she on a show with Will Smith, the Fresh11 Prince of Bel Air show.12 Q. Excuse me, I couldn’t understand what you13 said.14 A. I think I remember who she is, but I don’t15 remember.16 Q. Did she teach you acting at a school owned17 by Belinda Johnson.18 A. I went to some -- I mean, I don’t know if19 we’re talking about the same Renee Watson.20 Q. Just asking you if you know someone named21 Vernee Watson.22 A. I kind of remember her name. But, I mean, I23 haven’t --24 Q. Do you know who she is.25 A. As I said, I kind of think I do, but I don’t26 know if it’s that person -- if that name goes with27 that face.28 Q. Well, can you please describe the Vernee 20331 Watson that you know.2 A. She has like dreadlocks and she’s3 African-American. And she -- she played Will4 Smith’s mother on Fresh Prince of Bel Air. And --5 yeah.6 Q. And how do you know her.7 A. I don’t remember. She’s been our friend for8 a long time.9 Q. Is she still your friend.10 A. Um, we -- we haven’t called her in a while.11 But I think I met her through a dance company, a12 dance class -- a dance studio I was with.13 Q. Do you recall ever asking her for money.14 A. No.15 Q. Do you recall your mother ever asking Vernee16 Watson for money.17 A. No.18 Q. Now, correct me if I’m wrong, I think you19 said yesterday that you did not call Chris Tucker on20 February 4th, 2003; is that right.21 A. I said that I don’t really remember if I22 said that or not, but I don’t know if I called Chris23 Tucker on February 4th, 2003.24 Q. Do you remember calling Chris Tucker before25 you went to Miami and telling him you’re being26 harassed by the media.27 MR. SNEDDON: Your Honor, object as asked28 and answered. 20341 THE COURT: Sustained.2 Q. BY MR. MESEREAU: Did your mother ask you to3 call Chris Tucker.4 A. No, I don’t think so.5 Q. How did you know Michael Jackson was in6 Miami.7 A. Because he called us and told us that he was8 in Miami.9 Q. Did you call Chris Tucker on a regular basis10 at that particular time.11 A. Yeah, I was still talking to him.12 Q. Okay. Did you typically call him from home.13 A. Sometimes.14 Q. Where else would you call him from.15 A. I don’t know. At my grandma’s house.16 Q. Now, Chris told you that he was going to17 Orlando, right.18 A. I don’t know.19 Q. Do you remember him saying that.20 A. No.21 Q. Okay. And to your knowledge, did Evvy22 Tavasci book a commercial flight for your family to23 fly to Miami to see Michael Jackson.24 A. I don’t know.25 Q. Okay. Do you know who was in charge of26 deciding how you would get to Miami.27 A. I don’t know who was in charge of that.28 Q. Okay. Do you know how you ended up on Chris 20351 Tucker’s plane rather than a commercial flight.2 A. Chris wanted to see Michael. And then we3 could just -- we could have just went on a ride with4 him because he was going over there.5 Q. Okay. Do you recall you, your brother, your6 sister and your mother going to a dental office7 around February 24th, 2003.8 A. I remember we might have went to a dental9 office. I mean, I used to have braces.10 Q. And you went to that office to have your11 braces removed, right.12 A. I believe so.13 Q. Pardon me.14 A. I believe so.15 Q. Okay. Well, do you remember going there16 from Neverland.17 A. Yes.18 Q. And it was a Dr. Seamont you went to, right.19 A. I don’t know.20 Q. He was not too far from Neverland, right.21 A. I think they were in Solvang.22 Q. And you had your braces removed, right.23 A. Yes. Because my teeth started separating24 because the wires were all broken.25 Q. And who took you to that dental office.26 A. I think it was Frank.27 Q. Do you know the approximate date.28 A. No. 20361 Q. And you left Neverland and went into town2 that day about 2:34 in the afternoon, right.3 A. I don’t know.4 Q. Okay. And do you remember how long you were5 away that day, from Neverland.6 A. I don’t know.7 Q. It was about five and a half hours, wasn’t8 it.9 A. As I said, I don’t know.10 Q. Okay. Do you remember stopping in Solvang.11 A. I thought that’s what the orthodontist was,12 in Solvang.13 Q. Do you remember, when you left the office,14 going anywhere else.15 A. No.16 Q. Do you remember anybody complaining at the17 office that anyone in your family was being held18 against their will.19 A. I don’t remember.20 Q. Did you have dinner or any meal in Solvang.21 A. I don’t remember having a dinner or a meal.22 Q. Do you remember going shopping in Solvang23 that day.24 A. No.25 Q. No.26 A. No.27 Q. Now, your mother was mad at your L.A.28 dentist that put the braces on originally, right. 20371 A. I don’t know if she was mad at him.2 Q. You never noticed that at all.3 A. No.4 Q. Okay. Do you know who paid for your dental5 work in Solvang on that day.6 A. I don’t know who paid for it.7 Q. And your mother was there, right.8 A. I think so.9 Q. Davellin was there, right.10 A. I think so.11 Q. And Star was there, right.12 A. I think so.13 Q. Okay.14 A. They never -- they hardly ever let us be15 apart. They wanted to keep us together.16 Q. Excuse me.17 A. They never wanted us to be in separate18 areas. They always wanted to keep us together.19 Q. Well, remember you went to Toys R Us with20 Michael.21 A. Yeah, I remember.22 Q. Your mother wasn’t there.23 A. My mom was at Neverland, where they can24 still keep her.25 Q. Oh, was your mother on the trip to Toys R26 Us.27 A. No, she was in Neverland in her unit, where28 they could still keep her and watch her. 20381 Q. I see. So you went into town with Michael2 Jackson, correct.3 A. Yeah. Michael took us to Toys R Us.4 Q. You picked up some fans, correct, on the5 way.6 A. Yeah, Michael invited some people into7 our -- the thing.8 Q. You never complained to anyone in the store9 or any of these fans that anyone was being held10 against their will, correct.11 A. I was actually happy to be at Neverland all12 the time.13 Q. And you were happy to go --14 A. That’s something you don’t really15 understand, is that the majority of those times16 was -- the first few escapes that you talk about,17 I liked being at Neverland. That was like18 Disneyland. I loved being there. I had lots of19 fun.20 I mean, my mom was the one always worried.21 It wasn’t until the last time that I realized22 “I don’t want to be here.”23 Q. Your mother was worried, but she always came24 back, right. Right.25 A. I guess so.26 Q. Okay. I’m going to show you some27 photographs that have been premarked.28 They’ve been shown to the prosecutor, Your 20391 Honor.2 THE COURT: All right.3 MR. MESEREAU: May I approach.4 THE COURT: They’re not in evidence yet.5 MR. MESEREAU: Not yet.6 THE COURT: Can you just give me the numbers.7 It’s for my notes. No, just -- what’s the run.8 MR. MESEREAU: It’s Exhibit 5020 through9 Exhibit 5029.10 THE COURT: Thank you.11 MR. MESEREAU: Thank you, Your Honor.12 Q. Mr. Arvizo, I’m going to show you some13 photographs, and ask you if they appear accurate to14 you. The first one says “Jean Seamont, DDS.” Do15 you see that.16 A. Yes.17 Q. Do you remember going to that office.18 A. That might be a little -- it’s like the -- a19 little -- I don’t know exactly how it is, but --20 Q. It’s like a sign.21 A. Yeah, a sign. There we go.22 Q. Okay. And that’s -- that looks accurate to23 you, right.24 A. Yes.25 Q. Okay. And that is Exhibit 5020.26 Now I’m showing you Exhibit 5021. Does that27 look familiar to you.28 A. A little bit. Yeah. That looks like the 20401 place that they took us to.2 Q. That’s the dentist’s office, right.3 A. Yes.4 Q. Appears accurate to you.5 A. Yes.6 Q. Okay. Now I’m showing you Exhibit 5022. Do7 you see that.8 A. Yes, I see it.9 Q. And that’s downtown Solvang, right.10 A. I don’t know.11 Q. That’s near the dental office, isn’t it.12 A. I don’t know if that was the same place.13 Q. Does it look accurate to you.14 A. I don’t know where that is.15 Q. Okay. Now I’m showing you Exhibit 5023. Do16 you see that.17 A. Yes.18 Q. And does that look like the inside of the19 dentist’s office.20 A. I think so.21 Q. Okay. Looks accurate to you.22 A. I think it was the dentist’s office.23 Q. Okay. And now I’m showing you Defense24 Exhibit 5024. Do you see that.25 A. Yes.26 Q. And that’s the inside of the dentist’s27 office, right.28 A. I think so. 20411 Q. Looks accurate to you.2 A. Yes.3 Q. And now I’m showing you Defense Exhibit4 5025. Do you see that.5 A. Yes.6 Q. And that’s the inside of the dentist’s7 office, right.8 A. I don’t know if that’s the same place they9 did my stuff, but, I mean, it looks --10 Q. Looks accurate to you.11 A. Yeah.12 Q. Okay. I’m showing you now Exhibit 5026.13 Do you see that.14 A. Yes.15 Q. Inside of the dentist’s office, right.16 A. Yes.17 Q. Look accurate to you.18 A. Yes.19 Q. Now I’m showing you Exhibit 5027. Do you20 see that.21 A. Yes.22 Q. And that’s also the inside of the dentist’s23 office, right.24 A. I think so, yes.25 Q. Look accurate to you.26 A. Yes.27 Q. I’m now showing you Exhibit 5028. Do you28 see that. 20421 A. Yes.2 Q. That’s the outside of the dentist’s office,3 right.4 A. I don’t know. I never went out there.5 Q. Does it look accurate to you.6 A. I don’t know. I never went out there.7 Q. Okay. And now I’m showing you Exhibit 5029.8 Do you see that.9 A. Yes.10 Q. That’s the outside of the dentist’s office,11 right.12 A. I don’t know.13 Q. Does it look accurate to you.14 A. I don’t know. I never went out there.15 Q. Okay.16 Unless there’s an objection, I’ll move these17 photographs into evidence.18 MR. SNEDDON: Well, excuse me, Your Honor.19 There is an objection to the ones he said he didn’t20 know anything about, so that would be --21 THE COURT: I’ve got it. 5023 is not22 admitted. 5025 and 502 -- no, 5028 and 5029 are not23 admitted. The others are all admitted.24 Q. BY MR. MESEREAU: You don’t know how long25 you were at that dental office, correct.26 A. No.27 Q. Did you ever see any telephones --28 THE BAILIFF: Is your microphone on. 20431 MR. MESEREAU: Oh. Pardon me. Let me start2 again.3 Q. You don’t know how long you were at that4 dental office, right.5 A. No.6 Q. Did you ever see any phones in that dental7 office.8 A. No -- well, there’s probably one in the9 front. But I didn’t see one in that picture,10 though.11 Q. Did anyone in your family ever complain12 while you were at that dental office, “We’re being13 held against our will,” to your knowledge.14 A. No.15 MR. MESEREAU: Your Honor, I’d like -- I16 have in front of me a Neverland Valley guest book17 I’d like to be marked next in order.18 THE COURT: That would be 5030.19 MR. MESEREAU: Yes, please.20 MR. SANGER: There is a 5030.21 THE CLERK: We already have a 5030. So that22 would be 5031.23 THE COURT: Excuse me. 5031.24 THE CLERK: Yes.25 Q. BY MR. MESEREAU: Mr. Arvizo, I have --26 Excuse me, Your Honor.27 Oh.28 MR. SNEDDON: Excuse me, you know, could -- 20441 Your Honor, we’ve never seen this. It wasn’t2 provided to us.3 MR. MESEREAU: We produced it to them, Your4 Honor.5 MR. SNEDDON: I haven’t seen the book. And6 I’d like to look at it before he asks any questions.7 THE COURT: We’ll organize this. You let8 her -- there you go. You got the label on it.9 Would you show it to the District Attorney.10 MR. MESEREAU: Yes, Your Honor.11 (Off-the-record discussion held at counsel12 table.)13 MR. MESEREAU: Your Honor, I have in front14 of me Defense Exhibit 5034 (sic).15 THE COURT: They can’t hear you.16 MR. MESEREAU: Oh. Here we go again.17 I have in front of me Defense Exhibit 5031,18 which is a Neverland Valley guest book.19 May I approach the witness.20 THE COURT: Yes.21 Q. BY MR. MESEREAU: Mr. Arvizo, I’m showing22 you a Neverland Valley guest book that’s listed as23 Exhibit 5031. Have you seen that before.24 A. Yes.25 Q. Where have you seen this before.26 A. In the front of the -- the -- where you walk27 in the front entrance, there’s like this podium-type28 thing, and it sat on there.6. 204512 Q. Now, there’s some writing on the cover of3 that book. Do you see that.4 A. Yes.5 Q. Is that your writing.6 A. No.7 Q. You didn’t write that.8 A. No. That’s my brother’s, I think.9 Q. Well, it says “Gavin,” doesn’t it.10 A. Yeah.11 Q. You didn’t write that.12 A. It says “Blow Hole and Gavin.”13 Q. Okay. Do you know who wrote that.14 A. “Blow Hole’s” my brother.15 Q. You didn’t write that at all.16 A. No.17 Q. Okay. Do you know why your brother wrote on18 the cover of the guest book.19 A. Because it looked cool. Because it’s on the20 part where you can see it. I don’t know. You21 should ask my brother.22 Q. Did you see him do that.23 A. No.24 Q. Did you ever talk to him about it.25 A. No.26 Q. Now, you had looked through this guest book27 before, correct.28 A. I didn’t really look through it, but I 20461 signed it once.2 Q. Okay. So your signature would be in there.3 A. I don’t know if my signature would be in4 there. But I remember --5 Q. I’m sorry.6 A. I don’t know if my signature was in there,7 but I remember saying, like, “Thanks for letting us8 come to Neverland,” and it was the first time I’d9 ever been to Neverland.10 Q. Okay. But this is the book you saw at11 Neverland, right.12 A. Yes.13 Q. Okay.14 Move to admit Defense Exhibit 5031.15 MR. SNEDDON: Your Honor, I have no16 objection to either option. They can put in a17 photocopy of the front, which is what he was18 questioned about, but as to the entire contents, I19 object.20 THE COURT: All right. The objection is21 sustained as to the contents.22 MR. MESEREAU: Okay. With your permission,23 Your Honor, we can just get a duplicate of the24 cover.25 THE COURT: That would be fine.26 MR. MESEREAU: Okay. Okay.27 THE COURT: You can leave -- is there an28 agreement that once he gets the duplicate of the 20471 cover, that he can exchange the duplicate for the2 original and remove the original. Or do you want to3 wait until the end of the trial for that.4 MR. SNEDDON: No, that would be fine, Your5 Honor. I’m just at a little bit -- “duplicate”6 meaning --7 THE COURT: The duplicate of the cover is8 what he was saying.9 MR. MESEREAU: Yeah.10 MR. SNEDDON: Will it have the same writing11 on it.12 THE COURT: “Duplicate” usually means the13 same. I mean, it’s a duplicate.14 MR. SNEDDON: All right. I’ll wait till the15 duplicate comes in, and we can talk about it then.16 How’s that.17 THE COURT: Okay. All right. Go ahead,18 Counsel.19 MR. MESEREAU: Thank you, Your Honor.20 Q. Mr. Arvizo, according to you, it’s your21 brother’s handwriting, right.22 A. It kind of looks like it. But I don’t know23 if it is.24 Q. And it says, “Hi, Doe-Doe, it’s your Blow25 Hole. I love with you all my heart. Love forever,26 your Blow Hole, Gavin.” Do you see that.27 A. It says “Blow Hole and Gavin.” It doesn’t28 say “Blow Hole” -- 20481 Q. It looks like an “F.”2 THE COURT: Counsel, you’re testifying.3 MR. MESEREAU: I’m sorry, Your Honor. Okay.4 Q. You didn’t see your brother do this, right.5 A. No --6 MR. SNEDDON: Asked and answered, Your7 Honor.8 THE COURT: Sustained.9 MR. MESEREAU: Your Honor, I have in front10 of me an exhibit, No. 5032, which is a photocopy of11 a mannequin.12 I’d like to approach the witness, if I may.13 Q. Mr. Arvizo, I’m showing you a document14 that’s labeled Exhibit 5032. Do you see that.15 A. Yes.16 Q. And that appears to be a photograph of a17 mannequin, correct.18 A. Yes.19 Q. Appears to be an African-American girl with20 braids, right.21 A. Yes.22 Q. With a blue jean jacket, right.23 A. Yes.24 Q. And a pink shirt. Do you see that.25 A. Yes.26 Q. Have you seen that mannequin before.27 A. Yes, I saw it in Michael’s bedroom.28 Q. Is that the mannequin that you’re claiming 20491 Mr. Jackson simulated a sex act with.2 A. Yes.3 Q. Okay. Now, did you ever discuss with Mr.4 Jackson where that mannequin came from.5 A. No. He said that -- there was a bunch of6 mannequins all over his bedroom.7 Q. Well, did he ever tell you this was8 something that was custom made and it’s a mannequin9 of a cousin of his.10 A. No. He just said that he has lots of11 mannequins.12 Q. So you never discussed with him what this13 mannequin was all about, right.14 A. No.15 Q. You never knew that this mannequin was16 something that was paid for and custom made because17 it’s his cousin.18 A. He never told me that.19 Q. Okay. Okay. When did you first see this20 mannequin.21 A. In his bedroom. Where the bed actually is.22 Q. And do you know approximately when that was.23 A. I don’t -- probably the first time I went in24 his room I saw it there. And then the second time I25 was in his room. All the way after Miami was when26 we made the joke about it.27 Q. At some point you learned that somebody had28 defaced that mannequin, right. 20501 A. Defaced. What do you mean.2 Q. Yes. Somebody had taken like a magic marker3 and messed up that mannequin, right.4 A. No, I don’t remember that.5 MR. MESEREAU: Your Honor, at this time I’d6 like to approach the witness and show him Exhibit7 No. 5033, which is a photograph --8 THE COURT: All right.9 MR. MESEREAU: -- of a mannequin as well.10 Q. Mr. Arvizo, I’m showing you Defense11 Exhibit No. 5033. Do you see that.12 A. Yes.13 Q. And do you see where somebody went into the14 vaginal portion of that mannequin and defaced it15 with a magic marker.16 A. Yes. I see that, I guess.17 Q. You know who did that, don’t you.18 A. No.19 MR. MESEREAU: May I publish this, Your20 Honor.21 THE COURT: No.22 Q. BY MR. MESEREAU: You don’t know who did23 that at all.24 A. No.25 Q. You didn’t do it.26 A. No.27 Q. Your brother didn’t do it.28 A. No. 20511 MR. MESEREAU: May I approach one more time.2 THE COURT: Yes.3 Q. BY MR. MESEREAU: Do you see the skirt on4 the mannequin in Defense Exhibit 5032.5 A. Yes.6 Q. Same material as you see on the mannequin in7 Defense Exhibit 5033, right.8 A. I guess so. Yeah.9 Q. But you’ve never seen this defaced10 portion --11 A. No.12 Q. -- right.13 A. No. No.14 Q. Do you know why your brother defaced the15 guest book.16 MR. SNEDDON: Your Honor, I’m going to17 object. Counsel’s testifying. And he’s already18 said he didn’t do it.19 MR. MESEREAU: I didn’t ask if he did it.20 THE COURT: Sustained; calls for speculation.21 MR. MESEREAU: Okay. Move to admit Defense22 Exhibits 5032 and 5033, Your Honor.23 THE COURT: They haven’t been properly24 identified. So it’s denied.25 MR. MESEREAU: Exhibit 5032 is the26 photograph of the mannequin that I showed27 Mr. Sneddon.28 THE COURT: That one is admitted. 20521 MR. MESEREAU: And 5033 is also a photograph2 of the same mannequin.3 THE COURT: But it hasn’t been identified as4 to the marking you’re talking about. He has never5 seen it that way, so we don’t know who did it, when6 it was done. There’s no foundation.7 MR. MESEREAU: We’ll do it -- we’ll do it8 later, then.9 THE COURT: All right. No foundation.10 MR. MESEREAU: Okay. All right.11 Q. Finally, Mr. Arvizo, in your direct12 examination, you commented a couple of times on13 Mr. Jackson wearing makeup. Do you remember that.14 A. Here.15 Q. When you were answering Prosecutor Sneddon’s16 questions, a couple of times you used the word17 “makeup” in referring to Michael Jackson, right.18 A. I said one time when he was -- a story about19 a time when we were in the room where his makeup20 was, but I don’t remember me saying it a lot of21 times.22 Q. Now, you knew that Michael Jackson has a23 skin disease called vitiligo, right.24 A. He told me about it.25 Q. And he told you that he’s an26 African-American man with a skin disease that eats27 up pigment in his skin, correct.28 A. Yes. 20531 Q. And you knew that that disease was causing2 certain patches of white and brown on his skin,3 right.4 A. Yes. I guess.5 Q. And --6 A. I don’t know. It’s not like I was making7 fun of him yesterday, if that’s what you’re trying8 to imply.9 Q. Well, you knew that his skin is vulnerable10 to sunlight, correct.11 A. Yes.12 Q. And that’s why you see him with an umbrella,13 correct.14 A. Yes.15 Q. And you also knew, because of the patches16 that appear on his skin from that disease, he does17 sometimes put some makeup on, right.18 A. I didn’t know about patches. I thought he19 was just all white.20 Q. Well, you discussed the skin disease with21 him, right.22 A. Yes.23 Q. You knew the skin disease was changing the24 color of his skin, right.25 A. That’s what he told me.26 Q. And you knew that’s why he put makeup on;27 true.28 A. Not really. I thought it was just because 20541 he had, like -- because he -- he didn’t have pink on2 his lips, so he would put makeup on his lips.3 I mean, I wasn’t making fun of him4 yesterday, if that’s what you are trying to say.5 Q. You weren’t making fun of him at all.6 A. No.7 Q. Okay. Now, you’re aware, are you not, that8 you have until the age of 18 to file a lawsuit9 against Mr. Jackson if you choose to, correct.10 A. No.11 Q. You’ve never discussed that with your12 mother.13 A. No.14 Q. Never discussed that with Larry Feldman, the15 attorney.16 A. No.17 Q. And never discussed it with Bill Dickerman,18 the attorney.19 A. No.20 Q. Okay. You’re also aware that if Mr. Jackson21 is convicted, you could automatically win that civil22 suit, right.23 A. No.24 Q. No one’s ever discussed that with you.25 A. No. We said things like, oh, we don’t want26 his money, and stuff like that.27 Q. Never discussed that issue with any28 attorney, right. 20551 A. No.2 Q. First time you’ve heard about it.3 A. About that I can -- you just told me now4 that I can sue him till I’m 18 or something like5 that. I didn’t even know about that stuff.6 Q. Didn’t even know about that, right. And7 never heard your mother mention it.8 A. No.9 MR. MESEREAU: No further questions.10 THE COURT: Redirect.11 MR. SNEDDON: Yes.1213 REDIRECT EXAMINATION14 BY MR. SNEDDON:15 Q. Morning, Gavin.16 A. Hey, Tom.17 Q. I’m going to ask you just a few questions.18 It won’t be long.19 First of all, with regard to this particular20 case, Mr. Mesereau has asked you a lot of questions21 about did you have conversations with your brother22 and your mother and other people about what you’ve23 testified here in court today.24 A. Uh-huh.25 Q. Do you recall those questions.26 A. Yes.27 Q. And you said you did not.28 A. Yes. 20561 Q. Were you given some instructions with regard2 to who you could talk to and who you couldn’t talk3 to about this case.4 A. You guys told us that we can’t talk to5 anybody about this case. Well, our family and --6 anyone that was, like, involved; you know what I7 mean.8 Q. When were you told that.9 A. When the case first started.10 Q. So from the time you were first involved in11 the case till today, those were the instructions you12 were given.13 A. Yes.14 Q. And have you followed those instructions15 faithfully.16 A. Yes.17 Q. Mr. Mesereau asked you yesterday about the18 fact that when you went through chemotherapy you had19 some temporary memory loss and inability to20 concentrate at some points in time.21 A. Yes.22 Q. At the time that these events occurred at23 Neverland Ranch involving you and the defendant,24 Michael Jackson, were any of those effects from the25 chemotherapy still present with you.26 A. No, they went away after a while.27 Q. Do you remember Mr. Mesereau asking you28 about a video that was taken during one of your 20571 first trips to Neverland, with you and Mr. Jackson,2 when we saw the music “I’ll Be There”. Do you3 remember that one.4 A. The one where he carried me and stuff.5 Q. Yeah. Do you remember that video.6 A. Yes.7 Q. When was the first time you saw that video.8 A. Um, it was probably -- I think they brought9 it to Chris at his house, and that was the first10 time I saw it.11 Q. Who brought it to Chris.12 A. I think it was -- or -- I don’t remember the13 first time. It could have been either at the hotel14 in Miami or at Chris’s house before we left. But15 I’m not sure.16 Q. So up until the time -- that photograph was17 taken back in 2000 when you were just starting your18 chemotherapy, correct.19 A. Yes.20 Q. So from the time in 2000 when the video was21 produced until the time that you went to Miami, or22 shortly before Miami, with Chris Tucker, you had23 never been given a copy of that by Mr. Jackson.24 A. No.25 Q. Did Mr. Jackson ever visit you in the26 hospital when you were sick.27 A. Never.28 Q. Now, you told us that you had some telephone 20581 numbers for Mr. Jackson that had been given to you2 by Mr. Jackson or somebody else.3 A. Yes.4 Q. Who gave you the phone numbers.5 A. It was usually Michael. But, like, Frank6 gave me his phone and he said that he was usually7 with Michael, so that I can call his phone and then8 he can give me Michael.9 Q. Were there times when you called Frank’s10 phone and got ahold of Mr. Jackson.11 A. Yes.12 Q. Now, did you have conversations with the13 defendant, Mr. Jackson, about his relationship with14 the person that you call Frank Tyson.15 A. Yeah. Frank told me, like, he’s like his --16 MR. MESEREAU: Objection; hearsay.17 THE COURT: Sustained.18 Q. BY MR. SNEDDON: You say you had a19 conversation.20 A. Yeah. I had a conversation, yes.21 Q. All right. Now, first of all, I want to ask22 you, did Mr. Jackson make statements about his23 relationship with Frank.24 A. Yes.25 MR. SNEDDON: Your Honor, offered under26 1223.27 MR. MESEREAU: Same objection.28 THE COURT: I’ll admit it. These are 20591 statements by Mr. Jackson.2 MR. SNEDDON: They are, Your Honor. About3 his relationship with a co-conspirator.4 THE COURT: All right. These are admitted5 conditionally, as the other statements were.6 Q. BY MR. SNEDDON: Now, what did the7 defendant, Mr. Jackson, say about his relationship8 with Frank Tyson.9 A. He told us that Frank was like his second10 cousin or something. And then that Michael would11 change his diapers when he was a baby, and stuff12 like that.13 Q. So he had known him for a long, long time.14 A. Yes.15 Q. Now, when you testified, you were asked by16 Mr. Mesereau some questions concerning the Martin17 Bashir documentary. Do you recall that.18 A. Yes.19 Q. Now, what I want to ask you is, before you20 went to Miami and saw Mr. Jackson in Miami -21 okay. --22 A. Uh-huh.23 Q. -- what was it -- what portions of that24 video had you seen at anyplace.25 A. I haven’t seen it -- I didn’t see it at all.26 I just saw news media talking about it, talking27 about a movie or something. I didn’t really know28 what it was until I got to Miami. 20601 Q. So before you went to Miami you had heard2 media talking about it. Did you actually see any3 footage on T.V..4 A. No.5 Q. You just heard the voices.6 A. Yes.7 Q. When you got to Miami, did you see the8 Bashir video.9 A. No, Michael didn’t want us to see it in his10 hotel so --11 Q. Did you see any parts of it.12 A. No.13 Q. Now, you told the ladies and gentlemen of14 the jury that when you went to Miami that you were15 upset with somebody over the Bashir documentary. Do16 you recall that.17 A. Um --18 Q. Actually, let me rephrase that.19 Mr. Mesereau asked you if your mother was20 upset with somebody when you went to Miami. Do you21 recall that.22 A. Not really.23 Q. Were you upset with anybody, or angry.24 A. I was angry at -- kind of angry at Martin25 Bashir.26 Q. At who.27 A. Martin Bashir.28 Q. Do you know what your mother’s attitude was 20611 towards that, if you know.2 A. I don’t remember.3 Q. Now, you told the ladies and gentlemen of4 the jury a few moments ago that when Mr. Mesereau5 asked you how you knew Mr. Jackson was in Miami, do6 you recall that question.7 A. I’m sorry, can you repeat the question.8 Q. I want to take you to that point in time9 with regard to where you -- when you learned that10 Mr. Jackson was in Miami.11 A. Okay.12 Q. Before you went to Miami.13 A. Okay.14 Q. Okay. Who was it that told you that15 Mr. Jackson was in Miami.16 A. Michael. Evvy said that Michael’s going to17 call me in a few minutes. Well, I told my mother.18 And then Michael called on the phone, and I19 picked up, and he told me that he was in Miami and20 he wanted me to go over there.21 Q. Was that the first time that you learned22 that Mr. Jackson was in Miami.23 A. Yes.24 Q. And that’s when he invited you to be a part25 of a press conference.26 A. Yes.27 Q. Just a couple of questions about things that28 happened at the ranch. You were questioned by Mr. 20621 Mesereau about the nanny named Grace. Do you recall2 that.3 A. Yes.4 Q. And about -- specifically about the area5 upstairs, where it had some -- a chalkboard and some6 tables and things.7 A. Yes.8 Q. During the time that you were at the ranch,9 did you ever see anybody other than Grace come in as10 a teacher to the children.11 A. I think they switched -- I think Grace went12 away for a while. And then some other lady came.13 Q. Do you know who that lady was.14 A. No.15 Q. Okay. Now, you’ve identified in one of the16 photographs a person by the name of Aldo. Do you17 recall that.18 A. Yes.19 Q. Was Aldo at the ranch during times that you20 were there with Mr. Jackson.21 A. Yes.22 Q. Do you recall when it was that you were23 there -- when -- Tuesday morning.24 Do you recall in relationship to when you25 and Mr. Jackson were there, what part of the visit26 was it that Aldo was there.27 A. In the beginning.28 Q. Now, there was a considerable amount of 20631 discussion about the codes that were needed to get2 into certain areas of the ranch.3 A. Uh-huh.4 Q. Do you recall that.5 A. Yes.6 Q. Now, with regard to the -- let’s just run7 through this real quickly. With regard to the8 theater, did you need a code to get in there.9 A. No.10 Q. With regard to the arcade, did you need a11 code to get in there.12 A. No.13 Q. With regard to the main house, did you need14 a code to get in there.15 A. Yes.16 Q. In the front door.17 A. No, in the back door. Oh, it was in the18 front door, I never really saw one. But, I mean, we19 always went through the back door.20 Q. So there was a code that was necessary to21 know to get into the back door of the house.22 A. Yes.23 Q. And then there was a code to get into Mr.24 Jackson’s bedroom, we’ve heard a great deal about.25 A. Yes.26 Q. Were there any other areas on the ranch that27 you know of that you needed a code to get into those28 areas. 20641 A. No, there was no other place.2 Q. How about Mr. Jackson’s office.3 A. I don’t really remember if there was a code4 needed to get in there. I don’t think there was.5 Q. When you went to Miami with Chris Tucker on6 his charter plane to meet Mr. Jackson, did you want7 to meet Mr. Jackson.8 A. Yes.9 Q. Gavin, when you testified in front of the10 grand jury, did you tell the truth.11 A. Yes.12 Q. And when you testified in front of the grand13 jury, were the things that you told the grand jury14 fresh in your mind at that time.15 A. They were probably fresher.16 MR. MESEREAU: Objection; leading.17 MR. SNEDDON: Your Honor, I’m laying the18 foundation for an Evidence Code section exception.19 THE COURT: All right. The objection is20 overruled. The answer was already in. Next21 question.22 Q. BY MR. SNEDDON: Yesterday Mr. Mesereau23 showed you a number of cards, greeting cards, that24 were sent to Mr. Jackson by you and other members of25 your family.26 A. Yes.27 Q. Were some of those -- were any of those28 cards in handwritings other than yours. 20651 A. Yes. Some were mine.2 Q. Yesterday you made a statement to the jury3 in response to one of Mr. Mesereau’s statements.4 You made a statement something to the effect, “God5 gave me cancer to guide me in a certain way.” Do6 you recall that.7 A. Yes.8 Q. What did you mean by that.9 A. Well, through -- when I had cancer, I got10 really close to God.11 And they had like missions all over the West12 Coast down to Mexico praying for me. They had --13 I don’t know. Something happened where they had a14 picture and they put on a wall.15 And then my friend went to Israel and put a16 picture on this wall where they put, like, all these17 people that have, like, diseases and stuff like18 that.19 And then -- I don’t know. Because of my20 cancer, my parents started fighting more, I guess.21 And -- I mean, it sounds kind of sad that they got22 divorced, but, I mean, it was kind of a window, I23 believe, to find my stepdad and -- because it’s a24 lot better than it was before having my stepdad in25 my life.26 Q. Now, you’re currently in school, correct.27 A. Yes.28 Q. Just -- are you in school. 20661 A. Yes.2 Q. You’re in a high school.3 A. Yes.4 Q. What grade are you.5 A. I’m in ninth grade.6 Q. And yesterday you were asked -- I think you7 made the statement rather candidly, you were asked8 by Mr. Mesereau, were you a discipline problem, and9 you said yes, when you were at John Burroughs.10 A. Yes.11 Q. Okay. Currently in the high school that12 you’re in, do you get good grades.13 A. Yes.14 Q. Did you make the honor roll.15 A. Yes.16 Q. Do you get in fights anymore.17 A. No.18 MR. MESEREAU: Objection; relevance.19 THE COURT: Overruled. The answer was “No.”20 Next question.21 Q. BY MR. SNEDDON: Have you had any discipline22 problems.23 A. No.24 Q. Are you involved in after-school activities.25 MR. MESEREAU: Objection; relevance.26 THE COURT: Sustained.27 Q. BY MR. SNEDDON: During the time that you28 were -- let’s go back just a second. In the year, I 20671 believe you testified 2001, at some point your2 father left; is that correct.3 A. Right after I was done with cancer, I didn’t4 see him anymore.5 Q. What was the impact on you when your dad6 left.7 A. I cried every night.8 Q. For -- why.9 A. Because, I mean, I didn’t have a dad10 anymore. I mean, I was kind of happy that he left11 because he hit my mom a lot, but I didn’t -- I just12 felt like I didn’t have anybody. Any father; you13 know what I mean.14 Q. Yeah. And you don’t feel that way anymore.15 A. No.16 Q. Because of.17 MR. MESEREAU: Objection; relevance.18 THE WITNESS: My stepdad.19 THE COURT: Overruled.20 THE WITNESS: Because of my stepdad.21 Q. BY MR. SNEDDON: So it was the relationship22 with your stepdad that changed that feeling.23 A. Yes.24 Q. So let’s talk a little bit about some of the25 things Mr. Mesereau talked about yesterday. Mr.26 Geraldt. He talked about an incident where you had27 a run-in with Mr. Geraldt that ended up you going to28 see Mr. Alpert. Do you recall that. 20681 A. I don’t know if I saw Mr. Alpert, but I2 remember seeing a -- some -- someone that was in the3 office.4 Q. Did you ever receive any discipline as a5 result of that incident with Mr. Geraldt.6 A. No, I don’t think -- no, they never even did7 anything.8 Q. Now, when you went back to school after you9 left Neverland Ranch - okay. --10 A. Yes.11 Q. -- March and April, you were at John12 Burroughs, correct.13 A. Yes.14 Q. Did -- what was -- what was it like when you15 went back to school.16 A. All the kids would laugh at me and try to17 push me around and stuff, and say, “That’s the kid18 that got raped by Michael Jackson,” and stuff like19 that.20 Q. Did -- what was your reaction to that.21 A. I would sometimes not say anything and just22 walk away. And if they got close enough, sometimes23 I would fight them. After they hit me first,24 because I didn’t like to throw the first punch,25 because I believe that -- I mean --26 MR. MESEREAU: Objection; nonresponsive.27 THE COURT: I’ll sustain the objection.28 In the middle, “After they hit me first,” is where 20691 it stops.2 MR. SNEDDON: Thank you, Your Honor.3 Q. So there were fights that you got into after4 you left Neverland Valley Ranch because of the5 things that the kids were saying to you.6 A. Yes.7 Q. And when you get in a fight, what happens.8 Where do you have to go.9 A. They took us to Dean Alpert.10 Q. Now, you were asked yesterday whether you11 had a conversation with Dean Alpert where he asked12 you whether or not Mr. Jackson had touched you. Do13 you recall that.14 A. Yes.15 Q. And you recall that you probably told him it16 didn’t happen, correct.17 A. I told him that it didn’t happen.18 Q. Okay. You told him it didn’t happen.19 A. Yes.20 Q. Okay. Why did you tell him that.21 A. Because all the kids were already making fun22 of me in school, and I didn’t want anybody to think23 that it really happened.24 Q. Gavin, have you ever been a member of a25 gang.26 A. No.27 Q. Did anybody ever ask you to join a gang.28 A. Yes. 20701 Q. What happened.2 A. They jumped me because I said no. So I got3 in a fight with a bunch of guys.4 Q. Because you wouldn’t join a gang.5 A. Yes.6 Q. Almost done. Just a couple more easy7 questions and --8 Mr. Mesereau asked you yesterday about going9 to Anchor Blue. Do you recall that.10 A. Yes.11 Q. How many times do you recall going to shop12 at Anchor Blue.13 A. Once.14 Q. Now, the suitcases that they bought you --15 I just want to talk about you individually, okay. --16 A. Okay.17 Q. -- was it more than one.18 A. It was -- like, they had this package thing19 where you would buy one, and they would have all --20 they would have this big one, and in the inside it21 would be one smaller, and another one that was even22 smaller that was a carry-on bag.23 Q. So you had a series of suitcases.24 A. Yeah, and -- yes.25 Q. And when you left Neverland, did you take26 all those suitcases with you, you personally.27 A. I think I just took the -- no, I didn’t take28 them. They -- after we left and we stopped -- we 20711 didn’t want to go back --2 Q. Okay.3 A. -- Frank and Vinnie showed up on our door4 and they were knocking on the door. And then we5 waited until they left, and we looked outside and6 our suitcases were there.7 Q. Did you open your suitcase and go through8 it.9 A. Yes.10 Q. Was there anything missing.11 A. Yeah.12 Q. What.13 A. Some of my underwear, some of my shirts, a14 couple pants, and stuff like that. And they put in15 some other guy’s pants.16 Q. Did you ever have a conversation with the17 defendant in this case, Mr. Jackson, about your18 underpants.19 A. Yes.20 Q. Tell the jury about it.21 MR. MESEREAU: Objection; beyond the scope.22 THE COURT: Overruled.23 THE WITNESS: There was one time that I slept24 in his room - and he was probably joking but I kind25 of took it serious - I had pajamas on and -- I was26 using his pajamas. And I told him I was going in to27 take a shower in my unit.28 And then he was like, “Leave your stinking 20721 underwear in the hamper,” or something like that.2 And then so -- because I had to change out3 of my clothes to go to my unit. And then I don’t4 know if he was joking or not, but I actually did.5 Q. BY MR. SNEDDON: Did what.6 A. Put my underwear in the hamper.7 Q. Did you ever get those back.8 A. No.9 Q. With regard to the items that were dropped10 at your -- at your door by Frank and Vinnie, that11 was after you left Neverland for good.12 A. Yes.13 Q. Okay. Gavin, I just have one last question14 to ask you: Yesterday in response to Mr. Mesereau’s15 questions, you told him that Mr. Jackson was like a16 father figure to you; is that correct.17 A. Michael Jackson.18 Q. Yeah.19 A. Yes.20 Q. And that you thought he was one of the21 coolest guys in the world, correct.22 A. Yes.23 Q. And that you admired him.24 A. Well, I only admire God, but he was a pretty25 cool guy.26 Q. How do you feel about Mr. Jackson now in27 light of what he did to you.28 MR. MESEREAU: Objection. 352; relevance; 20731 leading.2 THE COURT: Overruled.3 THE WITNESS: I don’t really like him4 anymore. I don’t think he’s really that deserving5 of the respect that I was giving him and as the6 coolest guy in the world.7 MR. SNEDDON: Nothing further, Your Honor.8 THE COURT: Recross.9 MR. MESEREAU: Yes, please, Your Honor.1011 RECROSS-EXAMINATION12 BY MR. MESEREAU:13 Q. Mr. Arvizo, did you discuss your testimony14 of yesterday with anyone last evening.15 A. No.16 Q. Did you discuss any of it with Mr. Sneddon.17 A. No.18 Q. Was the last meeting you had with Mr.19 Sneddon Sunday night.20 A. Yes.21 Q. Did you discuss your testimony with any22 attorney or employee of an attorney last night.23 A. No.24 Q. Okay. Did anyone talk to you about what25 Mr. Sneddon was going to ask you today.26 A. No.27 Q. Okay. Now, did you have a meeting at a law28 office last Saturday. 20741 A. No.2 Q. Anyone in your family go to a law office3 last Saturday, to your knowledge.4 A. No.5 Q. Never heard about it.6 A. No.7 Q. Okay. When is the last time you talked to8 any lawyer associated with Larry Feldman’s office.9 MR. SNEDDON: Your Honor, I’m going to10 object as beyond the scope of the redirect.11 THE COURT: Sustained.12 Q. BY MR. MESEREAU: Mr. Arvizo, when you were13 having disciplinary problems at school, they went14 far beyond just fighting with students, didn’t they.15 A. No, it was everything that I told you.16 That’s what happened.17 Q. You were repeatedly accused of disrespecting18 teachers, right.19 A. That’s what I told you yesterday.20 Q. Okay. And you didn’t even show up for21 detention much of the time when you were ordered to,22 right.23 A. No, I showed up at every detention.24 Q. Well, do you recall never showing up for a25 detention that Teacher Parker ordered you to attend.26 A. No.27 Q. Don’t recall that.28 A. No. 20751 Q. Okay. You were accused of getting up in the2 middle of class and disrupting everything, right.3 MR. SNEDDON: Your Honor, I’m going to4 object as asked and answered. We went through this5 yesterday.6 THE COURT: Sustained.7 MR. MESEREAU: No further questions, Your8 Honor.9 THE COURT: All right. Do you have anything10 further, Mr. Sneddon.11 MR. SNEDDON: No, Your Honor.12 THE COURT: You may step down.13 Call your next witness.14 MR. MESEREAU: Your Honor, may the witness15 be subject to re-call.16 THE COURT: Yes. He’s not excused.17 MR. MESEREAU: Thank you, Your Honor.
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