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 LOS ANGELES, CALIFORNIA; TUESDAY, MAY 2, 1995
                    9:00 A.M.
DEPARTMENT NO. 103            HON. LANCE A. ITO, JUDGE
APPEARANCES:
           (APPEARANCES AS HERETOFORE NOTED.)

 (JANET M. MOXHAM, CSR NO. 4855, OFFICIAL REPORTER.) (CHRISTINE
M. OLSON, CSR NO. 2378, OFFICIAL REPORTER.)

           (THE FOLLOWING PROCEEDINGS WERE
            HELD IN OPEN COURT, OUT OF THE
            PRESENCE OF THE JURY:)

     THE COURT:  ALL RIGHT.
           BACK ON THE RECORD IN THE SIMPSON MATTER.
           ALL PARTIES ARE AGAIN PRESENT. MR. SIMPSON IS PRESENT
WITH HIS COUNSEL, MR. SHAPIRO, MR. COCHRAN, MR. SCHECK, MR.
BLASIER, PEOPLE REPRESENTED BY MR. DARDEN, MR. GOLDBERG, MR.
CLARK. THE JURY IS NOT PRESENT.
           THE RECORD SHOULD REFLECT THAT THIS MORNING, THE
COURT HAD A CONFERENCE WITH COUNSEL IN CHAMBERS CONCERNING
CERTAIN DEMONSTRATIVE EVIDENCE ITEMS PREPARED BY THE PROSECUTION.

THE FIRST WAS THE "LAPD ADDITIONAL EVIDENCE DISPOSITION" WHICH
HAS BEEN PREVIOUSLY MARKED AS PEOPLE'S 209.

            THE COURT WILL ALLOW THE USE WITHOUT COMMENTARY
REGARDING WHAT WAS DONE WITH THE ITEMS REPRESENTED, WHICH ARE THE
SUBSTRATE CONTROLS, WHILE THEY WERE IN THE POSSESSION OF THE
DEFENSE AND MADE AVAILABLE AT THAT TIME FOR THEIR EXAMINATION.
           THERE IS A SECOND BOARD THAT IS ENTITLED "DEFENSE
TESTING," AND I'M SUSTAINING THE DEFENSE OBJECTION TO THE TITLE
OF THAT BOARD.  AND FOR SIMPLICITY PURPOSES, MR. GOLDBERG, I
WOULD SUGGEST AT THIS POINT THAT WE MARK THAT AS PEOPLE'S 210.
           IS THAT AGREEABLE TO THE PEOPLE?
     MR. GOLDBERG:  YES, YOUR HONOR.

         (PEO'S 210 FOR ID = BOARD)

     THE COURT:  AND I'M GOING TO DIRECT MR. FAIRTLOUGH TO COVER
THE TITLE OF THE BOARD AS "DEFENSE TESTING" SINCE AT THIS POINT,
IT'S NOT APPROPRIATE TO COMMENT ON WHETHER OR NOT ANY TESTING HAS
BEEN ACCOMPLISHED OR DONE BY THE DEFENSE.
     MR. GOLDBERG:  YOUR HONOR, IS THE COURT GOING TO HAVE THAT
STIPULATION PREPARED OR WILL WE BE ABLE TO ASK MR. MATHESON
WHETHER THESE ITEMS WERE TURNED OVER IN OCTOBER OF LAST YEAR?
     THE COURT:  YOU'LL BE ABLE TO ASK HIM IF THOSE ITEMS WERE
TURNED OVER AND THAT THEY WERE RETURNED AT SOME POINT IN TIME,
AND THAT'S IT.

      MR. BLASIER:  I BELIEVE YOU USED THE WORD "EXAMINATION"
AND IN CHAMBERS, YOU USED THE WORD "INSPECTION."
     THE COURT:  INSPECTION.
     MR. BLASIER:  THANK YOU.
     THE COURT:  ALL RIGHT.
           AND MR. MATHESON IS HERE AND, MR. GOLDBERG, YOU CAN
CONSULT WITH HIM ON THAT.
           ALL RIGHT.
           AS TO A THIRD BOARD THAT WAS SHOWN TO THE COURT WHICH
HAS VARIOUS DEPICTIONS OF ITEM 13, THE SOCKS, THE COURT WILL
SUSTAIN THE DEFENSE OBJECTION AT THIS TIME TO THE BOARD ITSELF.
HOWEVER, THE PHOTOGRAPH OF THE SINGLE SOCK, THE OBJECTION IS
OVERRULED.
           ALL RIGHT.
           ANYTHING ELSE WE NEED TO PUT ON THE RECORD BEFORE WE
INVITE THE JURORS TO REJOIN US?
     MR. BLASIER:  NO, YOUR HONOR.
     THE COURT:  MR. GOLDBERG?
     MR. GOLDBERG:  NO.
     THE COURT:  ALL RIGHT.
           LET'S HAVE THE JURY.


             (THE FOLLOWING PROCEEDINGS WERE
            HELD IN OPEN COURT, IN THE
            PRESENCE OF THE JURY:)

     THE COURT:  ALL RIGHT.
           THANK YOU, LADIES AND GENTLEMEN.  PLEASE BE SEATED.
           LET THE RECORD REFLECT THAT WE'VE BEEN REJOINED BY
ALL THE MEMBERS OF OUR JURY PANEL.
           GOOD MORNING, LADIES AND GENTLEMEN.
     THE JURY:  GOOD MORNING.
     THE COURT:  ALL RIGHT.
           MR. GREGORY MATHESON, WOULD YOU RESUME THE WITNESS
STAND, PLEASE.


                   GREGORY MATHESON,

THE WITNESS ON THE STAND AT THE TIME OF THE EVENING ADJOURNMENT,
RESUMED THE STAND AND TESTIFIED FURTHER AS FOLLOWS:
     THE COURT:  MR. MATHESON IS AGAIN ON THE WITNESS STAND
UNDERGOING DIRECT EXAMINATION BY MR. GOLDBERG.
           GOOD MORNING, MR. MATHESON.
     THE WITNESS:  GOOD MORNING.
     THE COURT:  MR. MATHESON, YOU ARE REMINDED, SIR, YOU ARE
STILL UNDER OATH.
           MR. GOLDBERG, YOU MAY CONTINUE WITH YOUR DIRECT
EXAMINATION.
     MR. GOLDBERG:  THANK YOU, YOUR HONOR.
           GOOD MORNING, MR. MATHESON.
     THE WITNESS:  GOOD MORNING.
     MR. GOLDBERG:  LADIES AND GENTLEMEN.
     THE JURY:  GOOD MORNING.

            DIRECT EXAMINATION (RESUMED)

BY MR. GOLDBERG:
     Q     MR. MATHESON, WHEN WE LEFT OFF YESTERDAY, WE WERE
TALKING ABOUT THE CREATION OF FITZCO CARDS FROM THE REFERENCE
FILE.  DO YOU RECALL THAT?
     A     YES, I DO.
     Q     I WANTED TO SHOW YOU WHAT WE PREVIOUSLY MARKED AS
163-L FOR IDENTIFICATION, SEE IF YOU CAN TELL US WHAT THIS TYPE
OF ITEM IS.
     A     THIS IS AN EXAMPLE OF A TYPE OF BLOOD SWATCH CARD
THAT WE PURCHASE.  IT HAS AN OUTER ENVELOPE FOR PROTECTION.
INSIDE CONTAINS AN AREA WHERE YOU CAN RECORD SOME INFORMATION
ABOUT THE ITEMS AND THEN FOUR CIRCLES THAT ARE IN A FILTER TYPE
PAPER APPROXIMATELY AN INCH IN DIAMETER WHERE YOU PUT THE BLOOD.
     Q     CAN YOU HOLD THAT UP SO THE JURORS CAN SEE WHAT
YOU'RE TALKING ABOUT?

           (THE WITNESS COMPLIES.)

     THE COURT:  1492 INDICATES SHE CAN'T SEE THAT. DO YOU WANT
TO PASS THAT THROUGH THE JURY BOX?
     MR. GOLDBERG:  SURE.  CAN I ALSO PASS THE ENVELOPE THAT IT
CAME IN?
     THE COURT:  YES.

            (BRIEF PAUSE.)

     MR. GOLDBERG:  YOUR HONOR, WOULD IT BE PERMISSIBLE TO MARK
ANOTHER EXHIBIT WHILE THE JURORS ARE --
     THE COURT:  YES.
     MR. GOLDBERG:  I WOULD LIKE TO MARK AS PEOPLE'S 1 -- EXCUSE
ME -- 211 FOR IDENTIFICATION, THAT'S 211-A WHAT APPEARS TO BE A
PHOTOGRAPH OF ITEM NO. 60.
     THE COURT:  I'M SORRY.  THAT WAS ITEM NO. 16?
     MR. GOLDBERG:  60.
     THE COURT:  6 0.

         (PEO'S 211-A FOR ID = PHOTOGRAPH)

     MR. GOLDBERG:  AS 211-B WHAT APPEARS TO BE ITEM NO. 59.
     THE COURT:  ALL RIGHT.  211-B.

         (PEO'S 211-B FOR ID = PHOTOGRAPH)

     MR. GOLDBERG:  211-C WHAT APPEARS TO BE ITEM NO. 17, THE
FITZCO CARDS.

         (PEO'S 211-C FOR ID = PHOTOGRAPH)



      MR. GOLDBERG:  I PLACED THE NUMBERS ON THE REVERSE OF THE
PHOTOGRAPHS.
     THE COURT:  ALL RIGHT.

           (BRIEF PAUSE.)

     THE COURT:  ALL RIGHT.  DEPUTY RUSSELL, WOULD YOU RETURN
THAT TO MR. GOLDBERG.

           (DEPUTY RUSSELL COMPLIES.)

     THE COURT:  THANK YOU, COUNSEL.
           PROCEED.
     Q     BY MR. GOLDBERG:  MR. MATHESON, I WOULD NOW LIKE TO
SHOW YOU THE PHOTOGRAPHS THAT HAVE BEEN MARKED AS 211-A THROUGH C
FOR IDENTIFICATION.
           IS THE RESOLUTION HIGH ENOUGH FOR YOU TO SEE THOSE ON
YOUR SCREEN?
     A     I CAN SEE THE ITEMS AND WHAT'S DISPLAYED THERE.  THE
WRITING IS DIFFICULT TO DISCERN.
     Q     DID YOU TAKE A LOOK AT THESE PHOTOGRAPHS PRIOR TO
COMING INTO COURT TODAY, LAST NIGHT?
     A     YES, I DID.
     Q     AND WITH RESPECT TO THESE THREE ITEMS, WHAT ARE THEY,
FIRST OF ALL?
     A     ALL THREE ITEMS ARE CARDS SIMILAR TO THE TYPE THAT
WAS JUST DISPLAYED IN THE COURTROOM HERE THAT ARE USED TO
PRESERVE LIQUID BLOOD SAMPLES.
            PORTIONS OF A LIQUID SAMPLE IS APPLIED TO THE FOUR
DIFFERENT SQUARES OF THE CARD.  BEST WAY TO PRESERVE A SAMPLE IS
DRIED AND FROZEN SO THAT WAY, WE HAVE PORTIONS OF THE BLOOD
RATHER THAN JUST KEEPING IN A VIAL IN THE BEST POSSIBLE FORM.
     Q     DO YOU DO YOUR TESTING OR SOME OF YOUR TESTING FROM
THESE CARDS AS OPPOSED TO THE BLOOD VIALS THEMSELVES?
     A     AS FAR AS THE CONVENTIONAL TYPING GOES, IT'S ALL DONE
DIRECTLY FROM THE BLOOD VIAL.  THESE WE STARTED USING IN OUR
LABORATORY WITH THE ADVENT OF DNA TYPING.
     Q     ALL RIGHT.
           NOW, IN MANY OF THE PHOTOGRAPHS THAT WE'VE SEEN OF
THE PACKAGING MATERIALS IN THIS CASE, THERE ARE THESE CARDS AT
THE BOTTOM.  WHAT ARE THOSE, THE ONES THAT HAVE THE DR NUMBER AND
THE DATE?
     A     THOSE CARDS ARE PLACED IN THERE BY THE PHOTOGRAPHER.
THEY HAVE THE DR NUMBER, DATE AND WHAT'S CALL A "C" NUMBER, WHICH
REFERENCES BACK TO THE ORDER NUMBER FOR THE PHOTOGRAPHY.
     Q     IS THAT SOMETHING THAT'S STANDARD WHEN YOUR SID
PHOTOGRAPHER IS TAKING PHOTOGRAPHS SUCH AS THESE?
     A     WELL, IT'S STANDARD FOR SOMETHING LIKE THAT TO SHOW
UP IN AT LEAST ONE FRAME OF A ROLL OF FILM OR A SEQUENCE OF
PHOTOGRAPHS REGARDING THE EVIDENCE.
      Q     AND WITH RESPECT TO THE PHOTOGRAPH THAT'S 211-A, ON
THE BINDLE, THERE ARE SOME INITIALS, IF YOU CAN SEE THEM, THAT
ARE "C.Y."  CAN YOU SEE THAT?
     A     NO.  I CAN'T MAKE IT OUT ON THE PICTURE.

           (DISCUSSION HELD OFF THE RECORD
            BETWEEN THE DEPUTY DISTRICT
            ATTORNEYS.)

     Q     BY MR. GOLDBERG:  OKAY.
           WHO IS THAT?
     A     THE "C.Y." ARE THE INITIALS OF COLLIN YAMAUCHI, A
CRIMINALIST THAT WORKS IN THE SEROLOGY UNIT.
     Q     AND WHAT IS THE C-2?
     A     C-2 REFERS TO A DESIGNATION THAT WE GAVE THE INITIAL
EXEMPLARS THAT WERE INVOLVED IN THIS CASE.  IT WAS DECIDED THAT
DUE TO CONFIDENTIALITY, WE WOULD GIVE AN ARBITRARY INDICATION,
C-1, C-2 AND C-3 TO THE EXEMPLAR, PORTIONS OF THE EXEMPLARS THAT
WERE SUBMITTED TO CELLMARK DIAGNOSTICS FOR ANALYSIS.
     Q     IS THAT SOMETHING THAT'S STANDARD OR WAS JUST DONE IN
THIS CASE?
     A     IT WAS DONE IN THIS CASE.  WE HAVEN'T DONE THAT
BEFORE.
     Q     AND C-2 THEN WAS NICOLE BROWN?
     A     YES, IT WAS.
     Q     WHO WAS C-1?
     A     C-1 WAS MR. SIMPSON.
     MR. BLASIER:  YOUR HONOR, OBJECT ON FOUNDATIONAL GROUNDS
PREVIOUSLY STATED.  CONTINUING OBJECTION.
     THE COURT:  NOTED.
     Q     BY MR. GOLDBERG:  AND C-3?
     A     C-3 WAS MR. GOLDMAN'S SAMPLE.
     Q     OKAY.  THANK YOU.
           NOW, I WAS ALSO GOING THROUGH THE BOARD THAT WE
MARKED AS PEOPLE'S 177, THE EVIDENCE DISPOSITION.
     MR. GOLDBERG:  CAN I SEE THE BOARD THAT HAS NUMBER 78, ITEM
NO. 78 ON IT?

           (BRIEF PAUSE.)

     MR. GOLDBERG:  AND I WOULD LIKE TO MARK AS MY NEXT EXHIBIT,
THAT'S 212, A DOCUMENT THAT SAYS "SEROLOGY ITEM DESCRIPTION
NOTES."
     THE COURT:  ALL RIGHT.  PEOPLE'S 212.

         (PEO'S 212 FOR ID = SEROLOGY NOTES)

     THE COURT:  MR. BLASIER, DO YOU HAVE A COPY OF THAT?
     MR. GOLDBERG:  I'M GOING TO PLACE A 212 ON THE REVERSE OF
THE DOCUMENT.

            (BRIEF PAUSE.)

     Q     BY MR. GOLDBERG:  SIR, DIRECTING YOUR ATTENTION TO
PEOPLE'S 177, AND THIS IS THE EXHIBIT THAT HAS 59 THROUGH 82 ON
IT, LOOKING AT ITEM NO. 78, THE PACKAGING, DID YOU DO SOME
TESTING YOURSELF ON THAT ITEM?
     A     YES, I DID.
     Q     OKAY.
           AND DID YOU TAKE SOME SWATCHES FROM THAT ITEM?
     A     YES.
     Q     WHAT WAS THAT?  WHAT IS THE ITEM?
     A     WELL, THE ITEM, ITEM NO. 78, ARE A PAIR OF WHITE
SHOES WITH RED STAINS ON THEM.
     Q     OKAY.
           NOW, IN REVIEWING THE RECORDS IN ORDER TO VERIFY THIS
BOARD, DID YOU SEE A RECORD THAT PERTAINED TO THE ENTRY 78 SWATCH
AND THE DATE 7-20-94 WITH MR. YAMAUCHI'S NAME?
     A     YES, I DID.  THE NAME APPEARS ON THE BOARD HERE.  I
RECOGNIZE THE DOCUMENT AS ONE PREPARED BY HIM.
     MR. GOLDBERG:  CAN WE SEE THAT NEXT DOCUMENT AS PEOPLE'S
212?



            (DISCUSSION HELD OFF THE RECORD
            BETWEEN THE DEPUTY DISTRICT
            ATTORNEYS.)

     MR. GOLDBERG:  THAT'S ALL RIGHT.  I'LL JUST -- TO SAVE
TIME, I'LL JUST SHOW THE WITNESS.
     Q     BY MR. GOLDBERG:  SHOWING YOU PEOPLE'S 212 FOR
IDENTIFICATION, CAN YOU TELL US WHAT THAT IS?
     A     THIS IS A SEROLOGY ITEM DESCRIPTION NOTE PAGE FILLED
OUT BY MR. YAMAUCHI INDICATING THE SWATCHING OR SAMPLING OF SOME
STAINS UNDER THE -- WHAT APPEARS TO BE THE LEFT SHOE FROM ITEM
NO. 78.
     Q     AND YOU'VE PREVIOUSLY DESCRIBED THIS TYPE OF
DOCUMENT.  IS THIS TYPE OF DOCUMENT ACTUALLY GENERATED AT THE
TIME THAT THE ACTUAL ANALYSIS OR SWATCHING IS BEING PERFORMED?
     A     YES, IT IS.
     Q     AND YOU HAVE SKETCHES ON THESE VERY OFTEN; IS THAT
CORRECT?
     A     YES.
     Q     AND DOES THE ANALYST SKETCH OUT OR TRY TO SKETCH OUT
WHERE THE SWATCH OR CUTTING CAME FROM WHEN THEY'RE TAKING A
SWATCH OR A CUTTING?
     A     YES.  NORMALLY.
     Q     ALL RIGHT.
           DID MR. YAMAUCHI DO THAT HERE?
     A     YES.
     MR. BLASIER:  OBJECTION.  NO FOUNDATION.
     THE COURT:  SUSTAINED.
     Q     BY MR. GOLDBERG:  IS THERE A SKETCH ON THIS
PARTICULAR DOCUMENT INDICATING WHERE THE SWATCHES CAME FROM?
     A     YES, THERE IS.
     Q     ALL RIGHT.
           AND I WANTED TO ASK YOU ANOTHER QUESTION ABOUT THE
ITEMS THAT WERE RECOVERED BY YOU FROM THE CARPET FROM THE BRONCO
THAT WAS PEOPLE'S 172, IF WE COULD SEE THAT BOARD AGAIN.

           (BRIEF PAUSE.)

           (DISCUSSION HELD OFF THE RECORD
            BETWEEN THE DEPUTY DISTRICT
            ATTORNEYS.)

     Q     BY MR. GOLDBERG:  IT'S PEOPLE'S 172.
           SIR, DIRECTING YOUR ATTENTION BACK TO PEOPLE'S 172
FOR IDENTIFICATION AND THE PHOTOGRAPH IN THE MIDDLE ON THE BOTTOM
THAT HAS THE NUMBER 293 IN IT, DO YOU RECOGNIZE WHAT'S DEPICTED
THERE?
     A     YES, I DO.
     Q     DO YOU KNOW WHO IS POINTING TO THAT ITEM WITH THE RED
PEN?
     A     I BELIEVE THAT'S MY HAND.


      Q     AND WHEN YOU COLLECTED THIS ITEM, 293, DID YOU
COLLECT IT FROM THE CARPET THAT'S DEPICTED IN THAT PHOTOGRAPH?
     A     YES, I DID.
     Q     AND YOU PREVIOUSLY DISCUSSED HOW YOU DID THAT.  YOU
USED THE METHOD OF JUST CUTTING RATHER THAN CLOTH SWATCH?
     A     THAT'S CORRECT.
     Q     NOW, WHAT ITEM NUMBER IS THE CARPET ITSELF?
     A     I BELIEVE IT'S ITEM NO. 33.
     Q     AND THAT WAS RECOVERED BY MR. FUNG; IS THAT CORRECT?
     A     YES.
     Q     NOW, IN TERMS OF THE SWATCHING THAT WAS DONE ON THE
CONSOLE OF THE BRONCO THAT YOU SAID THAT YOU COULD SEE PRIOR TO
WHEN YOU DID YOUR SWATCHING, DO YOU FEEL THAT MORE SAMPLE SHOULD
HAVE BEEN TAKEN FROM THOSE AREAS, 30 AND 31?
     A     YES.  I FEEL THAT PROBABLY --
     MR. BLASIER:  OBJECTION.  VAGUE AS TO TIME. SAMPLES WERE
TAKEN BY WHOM?
     THE COURT:  SUSTAINED.
           REPHRASE THE QUESTION.
     Q     BY MR. GOLDBERG:  WELL, WHEN THEY WERE INITIALLY
SWATCHED.


      A     YES, I DID.  UPON SEEING THE BLOOD THAT WAS PRESENT,
I BELIEVED THAT PROBABLY MORE SHOULD HAVE BEEN TAKEN ORIGINALLY.
     Q     AND WHAT DO YOU MEAN BY THAT?
     A     WELL, THERE WAS STAINS PRESENT ON THE CONSOLE, AND --
THAT'S A HARD SURFACE.  IT'S A NON-PORE SURFACE.  BLOOD IS JUST
SITTING RIGHT ON TOP.  IT'S FAIRLY EASY TO REMOVE, BUT IT ALSO
CAN BE FAIRLY THIN.
           WOULD HAVE -- PROBABLY THE BEST THING TO HAVE DONE
WOULD HAVE BEEN TO REMOVE MORE OF THE SAMPLE ORIGINALLY ON THE
FIRST SEARCH.
     Q     WHEN YOU REMOVED MORE SAMPLE FROM THOSE LOCATIONS,
WAS ALL OF IT GONE BY THE TIME YOU WERE FINISHED?
     A     NO, IT WAS NOT.
     Q     HOW MUCH WAS LEFT?
     A     I DON'T REMEMBER.
     Q     BUT THERE WAS SOME LEFT?
     A     THERE WAS VISIBLE STAINING LEFT, YES.
     Q     IF YOU'RE REMOVING STAINING THAT COVERS A FAIRLY
LARGE AREA ON A WALL, FOR EXAMPLE, HOW DO YOU DECIDE HOW MUCH OF
THAT STAIN TO REMOVE IF IT'S A SMEAR THAT COVERS MAYBE A SQUARE
FOOT?
     A     WELL, GIVEN THE DIFFERENT TYPES THAT ARE AVAILABLE TO
US NOW, I WOULD, IN A SITUATION LIKE THAT, WOULD PROBABLY WANT TO
COLLECT FOUR OR FIVE SWATCHES AND MAYBE QUARTER-INCH SQUARE
SWATCHES,  SOMETHING LIKE THAT.  MAYBE A LITTLE MORE.  DEPENDS ON
WHETHER THERE'S OTHER EVIDENCE AVAILABLE.
     Q     BUT WOULD YOU NECESSARILY COVER THE WHOLE SQUARE
FOOT?
     A     NO.  I PROBABLY WOULD NOT TAKE IT ALL.
     Q     OKAY.
           ALL RIGHT.  THANK YOU.
     MR. GOLDBERG:  I'D LIKE TO MARK AS PEOPLE'S NEXT IN ORDER
THE ADDITIONAL LAPD EVIDENCE DISPOSITION BOARD.  THAT'S 213.
           MAYBE MR. FAIRTLOUGH COULD PUT THAT UP FOR US WHILE
HE'S THERE.
           OH, I'M SORRY.  I THINK WE PREVIOUSLY MARKED THIS
BEFORE WE STARTED AS 209.
     THE COURT:  PEOPLE'S 209.
     MR. BLASIER:  209?
     THE COURT:  209.

           (BRIEF PAUSE.)

     Q     BY MR. GOLDBERG:  SIR, DIRECTING YOUR ATTENTION TO
WHAT'S BEEN PREVIOUSLY MARKED AS PEOPLE'S 209 FOR IDENTIFICATION,
DO YOU RECOGNIZE THAT?
     A     YES, I DO.
     Q     AND HAVE YOU HAD THE OPPORTUNITY TO LOOK AT THIS
DOCUMENT TO VERIFY IT AGAINST THE RECORDS THAT ARE MAINTAINED BY
THE SCIENTIFIC INVESTIGATIONS  DIVISION?
     A     YES, I DID.
     Q     DID YOU GO THROUGH THE SAME TYPE OF VERIFICATION
PROCESS THAT YOU DESCRIBED YESTERDAY AFTERNOON WHEN I WAS ASKING
YOU ABOUT THE OTHER EVIDENCE DISPOSITION BOARDS?
     A     THAT'S CORRECT.
     Q     NOW, WITH RESPECT TO ITEM NO. 6, WAS A CONTROL SWATCH
OF ITEM NO. 6 SENT SOMEWHERE ON FEBRUARY 17TH?
     A     YES, IT WAS.
     Q     AND WHAT RECORDS DID YOU HAVE TO LOOK AT IN ORDER TO
VERIFY THAT?
     A     WELL, THERE ARE A NUMBER OF NOTES THAT WERE MADE BY
THE INDIVIDUALS THAT PREPARED AND SENT THOSE SAMPLES.  ENDED UP
BEING MANY PAGES WORTH OF NOTES.
     Q     WERE THOSE NOTES THAT WERE PREPARED AT THE TIME THAT
THE SAMPLES WERE ACTUALLY BEING PACKAGED FOR TRANSMITTAL OR
SHIPPING?
     A     YES, THEY WERE.
     Q     NOW, IN ADDITION TO THE DOCUMENTATION PROCEDURES THAT
YOU DESCRIBED JUST NOW AND YESTERDAY, WAS THERE ANY PHOTO
DOCUMENTATION THAT OCCURRED?
     A     YES.
     Q     WHAT WAS THAT?


      A     WELL, PRIOR TO THE ITEMS THAT WERE SHIPPED OUT OR
DELIVERED OUT THAT -- DURING THOSE DATES IN FEBRUARY, ALL OF THE
ITEMS WERE DESCRIBED AND PHOTOGRAPHED PRIOR TO THEIR RELEASE.
     Q     AND DOES THE PHOTOGRAPH THAT'S IN THE CELL UNDER ITEM
NUMBER -- FOR NO. 6 DEPICT THE PHOTO DOCUMENTATION THAT WAS DONE?
     A     YES, IT DOES.
     MR. GOLDBERG:  MAYBE WE CAN LOWER THAT DOWN A LITTLE BIT,

           (BRIEF PAUSE.)

     Q     BY MR. GOLDBERG:  NOW, IN THE BINDLE THAT'S IN ITEM
NO. 6, WAS THERE ANYTHING OTHER THAN THE CONTROL?
     A     NO, THERE IS NOT.
     Q     AND, SIR, WHERE DID THESE ITEMS THAT WERE SENT OUT ON
THE 17TH GO TO?
     A     TO A LABORATORY IN ALBANY, NEW YORK.
     Q     DO YOU KNOW WHO BROUGHT THEM THERE?
     A     THEY ACTUALLY WENT OUT IN A COUPLE OF DIFFERENT
SHIPMENTS.  I BELIEVE D.A. INVESTIGATORS TRANSPORTED THEM.
     Q     OKAY.
           AND WHEN DID THESE VARIOUS ITEMS THAT WENT OUT ON THE
17TH COME BACK?

      A     WELL, THEY CAME BACK ALSO IN A COUPLE OF DIFFERENT
SHIPMENTS, BUT IN AND AROUND FEBRUARY 22ND.
     Q     NOW, WITH RESPECT TO ITEM NO. 6, WHEN IT CAME BACK OR
AFTER IT CAME BACK, WAS IT PHOTO DOCUMENTED AGAIN?
     A     YES, IT WAS.
     Q     CAN YOU GIVE US THE DATE THAT IT WAS PHOTO
DOCUMENTED?
     A     I'D HAVE TO REFER TO THE PHOTOGRAPH.
     Q     YEAH.
     A     THE DATE REFLECTS FEBRUARY 27TH, 1995.
     Q     NOW, ON THE DATE THAT IT WAS PHOTO DOCUMENTED, WERE
YOU NOTIFIED BY SOMEONE TO COME AND LOOK AT THAT BINDLE?
     A     YES, I WAS.
     Q     AND WHAT DID YOU DO?
     A     WELL, I WAS ASKED TO COME BACK TO THE SEROLOGY UNIT
TO TAKE A LOOK AT THE CONTENTS OF THAT BINDLE.
     Q     WHAT DID YOU SEE?
     A     A PORTION OF THE CONTROL PLUS A HAIR.
     Q     AND IS THAT DEPICTED IN THE PHOTO DOCUMENTATION THAT
WAS DONE ON THE 27TH?
     A     YES.
     MR. GOLDBERG:  PERHAPS WE COULD, WITH THE COURT'S
PERMISSION, JUST MOVE THIS BOARD DOWN SO THAT THE JURORS CAN SEE
IT.
     THE COURT:  YES.
            (BRIEF PAUSE.)

     Q     BY MR. GOLDBERG:  SO, MR. MATHESON, AS TO ITEM NO. 6,
WAS THERE A HAIR THAT WAS NOT THERE IN THE BINDLE WHEN IT WAS
SENT TO THE DEFENSE ON FEBRUARY 17TH, FOUND IN THE BINDLE WHEN IT
WAS PHOTO DOCUMENTED ON FEBRUARY THE 27TH?
     A     THAT'S CORRECT.
     Q     ALL RIGHT.
           AND WHAT HAPPENED TO ITEM NO. 6, THE CONTROL, AFTER
THE 27TH OF FEBRUARY?
     MR. BLASIER:  YOUR HONOR, I'M GOING TO OBJECT.
           MAY WE APPROACH BRIEFLY?
     THE COURT:  YES, WITH THE COURT REPORTER.

             (THE FOLLOWING PROCEEDINGS WERE              HELD
AT THE BENCH:)

     THE COURT:  WE'RE OVER AT THE SIDEBAR.
           MR. BLASIER.
     MR. BLASIER:  SINCE HE DIDN'T ASK THE QUESTION, I WOULD ASK
TO REINSTRUCT THE JURY THAT THIS WAS PROVIDED TO THE DEFENSE FOR
PURPOSES OF INSPECTION. I ASSUMED HE WAS GOING TO ASK THAT RATHER
THAN LEAVING THE IMPLICATION IT WENT TO ALBANY WITHOUT EXPLAINING
WHY IT WAS BACK THERE.
     MR. GOLDBERG:  I THOUGHT THE ONLY THING I WAS ALLOWED TO
ASK IS THAT IT WENT, BUT NOT ANYTHING ELSE.
     THE COURT:  YOU CAN ASK, WAS IT FOR THE PURPOSE OF ALLOWING
THE DEFENSE TO INSPECT THE ITEMS.
     MR. GOLDBERG:  I DON'T KNOW IF HE KNOWS FOR SURE WHAT THEY
DID.
     THE COURT:  THE PURPOSE OF RELEASING IT.  ASK A LEADING
QUESTION, THE PURPOSE WAS TO INSPECT.

             (THE FOLLOWING PROCEEDINGS WERE
            HELD IN OPEN COURT:)

     MR. GOLDBERG:  THANK YOU.
     Q     BY MR. GOLDBERG:  MR. MATHESON, TO YOUR KNOWLEDGE,
WAS THE PURPOSE OF THE ITEMS THAT WENT OUT ON FEBRUARY THE 17TH
TO ALLOW THE DEFENSE TO INSPECT THOSE ITEMS?
     A     THAT WAS MY UNDERSTANDING, YES.
     Q     ALL RIGHT.
           NOW, AFTER THE 27TH, AS TO ITEM NO. 6, WHAT HAPPENED
TO THAT ITEM?
     A     IT WAS SENT TO THE DEPARTMENT OF JUSTICE.
     Q     AND ON THE COLUMN THAT SAYS, "BACK TO SID," WHAT DOES
THAT MEAN?
     A     WELL, THAT REFERENCES WHEN ITEMS ARE RETURNED BACK TO
OUR FACILITY.
     Q     AND CERTAIN ITEMS ON THIS SAY, "RETURN TO EVIDENCE
CONTROL UNIT ON 2-29-95," ITEM 6, 56 AND 305; IS THAT CORRECT?
     A     YES, IT IS.
     Q     AND WHO DID THAT?
     A     THE ACTUAL RETURN OF THOSE ITEMS?
     Q     TO THE EVIDENCE CONTROL UNIT.
     A     I BELIEVE I DID.  I'D HAVE TO REFERENCE MY NOTES TO
BE SURE.


      Q     OKAY.
           AND MAYBE YOU CAN DOUBLE-CHECK YOUR NOTES.

           (THE WITNESS COMPLIES.)

     THE WITNESS:  I HAVE THE NOTES ON OTHER ITEMS THAT WERE
RETURNED ON 2-22ND.  I'M HAVING A DIFFICULT TIME LOCATING THESE
PARTICULAR ITEMS.
     Q     BY MR. GOLDBERG:  WELL, CAN YOU TELL FROM YOUR OTHER
NOTES WHO RETURNED THOSE OR CAN YOU --
     A     WELL, THERE ARE ITEMS THAT WERE RETURNED BY MR.
RAGLE, THE ECU, ON THE 22ND.
     Q     OKAY.
           THAT'S ALL RIGHT.
           BUT WHEN YOU REVIEWED THIS BOARD INITIALLY, DID YOU
CHECK SOME DOCUMENT TO SEE THAT THESE PARTICULAR ITEMS WERE
RETURNED TO ECU ON THE 22ND?
     A     I CHECKED DOCUMENTS THAT WERE IN A NOTEBOOK AT THE
D.A.'S OFFICE.  I DID NOT BRING ALL THE NOTES WE HAD ASSOCIATED
WITH.  JUST THINGS I WAS DIRECTLY INVOLVED WITH.
     Q     OKAY.
           NOW, WITH RESPECT TO THE CELL ON NO. 6 WHERE IT SAYS,
"DOJ, 6-29-95," DOES THAT REFLECT THE DATE THAT IT WENT OUT?
     A     YES.
     Q     AND THE ANALYZED -- THE COIN ENVELOPE ON THAT
PARTICULAR CELL IS AN ORIGINAL ENVELOPE OR A TRANSMITTAL
ENVELOPE?
     A     I WOULD HAVE TO TAKE A LOOK AT THE PICTURE.
           THAT PARTICULAR ENVELOPE IS ONE THAT WAS PREPARED BY
MR. YAMAUCHI, NOT THE ORIGINAL ENVELOPE.
     Q     NOW, WITH RESPECT TO NO. 7, DID YOU GO THROUGH THE
SAME VERIFICATION PROCESS THAT YOU JUST DESCRIBED WITH RESPECT TO
NO. 6?
     A     YES, I DID.
     Q     ALL RIGHT.
           AND YOU ALSO LOOKED AT THE PHOTOGRAPHS TO VERIFY THAT
THEY WERE IN FACT PHOTOGRAPHS THAT WERE PREPARED BY THE ANA --
ITEMS THAT WERE PREPARED BY THE ANALYST THAT ACTUALLY DID THE
SHIPPING?
     A     YES.
     Q     NOW, WITH RESPECT TO THE ITEMS THAT ARE NO. 12 AND 49
THAT SAY RETURNED ON 3-9-95 FROM DOJ, DID YOU VERIFY THAT THOSE
WERE IN FACT RETURNED ON THAT DATE?
     A     YES.
     Q     AND DO YOU KNOW WHO ACTUALLY PUT THEM BACK IN ECU?
     A     NOT AT THIS POINT, NO.
     Q     OKAY.
           BUT AT ANY RATE, YOU DID VERIFY THAT EITHER YOURSELF
OR ONE OF YOUR CRIMINALISTS DID THAT?
     A     THAT'S CORRECT.
     Q     AND WHAT ABOUT THE ITEMS THAT WERE RETURNED ON
11-22-94, 13 AND 305?
     A     YES.
     Q     OKAY.
           YOU VERIFIED THAT THOSE WERE IN FACT RETURNED ON THAT
DATE AND REBOOKED INTO ECU?
     A     WELL, THEY WERE RETURNED ON THAT DATE. THEY WERE NOT
REBOOKED INTO THE UNIT OR IN THE ECU AT THAT TIME.
     Q     AT THAT TIME.
           WHERE DID THEY GO?
     A     THEY WERE STORED IN THE SEROLOGY FREEZER.
     Q     OKAY.
           AND WITH RESPECT TO 305, WAS THAT ONE OF THE ITEMS
THAT YOU REMOVED FROM THE BRONCO?
     A     AS ITEM NO. 305, THAT'S CORRECT.
     Q     OKAY.
           AND WHEN IT CAME BACK, IT WAS REBOOKED AS ANOTHER
ITEM NUMBER?
     A     YES.
     Q     WHY WAS THAT?
     A     THAT IS A PROCEDURE THAT WE HAD IN PLACE REGARDING
EVIDENCE THAT WAS SUBMITTED TO OUTSIDE AGENCIES FOR ANALYSIS.
WHENEVER --
           AS I DESCRIBED EARLIER, THERE ARE TYPES OF DNA
ANALYSIS THAT WE DON'T PERFORM IN OUR LABORATORY.  SO WHEN WE
WANT THAT WORK DONE, WE SEND  IT OUT TO CELLMARK DIAGNOSTICS FOR
THEM TO PERFORM THE TESTING.
           IT WAS OUR POLICY THAT THE ITEMS WOULD BE SENT OUT TO
THE LABORATORY.  THEN WHAT WE RECEIVED BACK AT CELLMARK WOULD BE
REBOOKED AS A NEW ITEM.  WE WOULD NOT NECESSARILY GO THROUGH IT,
BUT RETAIN IT IN A SEALED CONDITION FROM THAT LABORATORY, CREATE
A NEW ITEM NUMBER FOR IT AND RETURN IT TO OUR EVIDENCE CONTROL
UNIT.
     Q     SO WHEN 305 REBOOKED AS 401, ONCE IT CAME BACK FROM
THE DEPARTMENT OF JUSTICE, WAS SENT OUT TO THE DEPARTMENT OF
JUSTICE AGAIN ON MAY THE 9TH, WAS IT SENT OUT UNDER ITEM NO. 401
OR 305?
     A     WELL, THE DATE WHEN IT WAS SENT BACK OUT WAS MARCH
THE 9TH.
     Q     I AM SORRY.  RIGHT.
     A     AND IT WOULD HAVE BEEN SENT OUT AS 401 REFERENCING IT
BACK TO 305.
     Q     OKAY.
           AND DID YOU ALSO CHECK THE ICONS ON THESE TO SEE THAT
IT WAS JUST SWATCHES THAT WERE SENT OUT ON 6, 7, 12, 49, 56 AND
305?
     A     YES, I DID.
     Q     AND YOU LOOKED AT THE TRANSMITTAL ENVELOPES THAT ARE
IN THE COLUMN THAT SAYS "TO OUTSIDE LAB" TO VERIFY THOSE?
     A     YES.

      Q     NOW, WITH RESPECT TO ITEM NO. 13, THERE'S AN ENTRY
UNDER THE DATE "TO DEFENSE," THE COLUMN "TO DEFENSE" ON 2-16-95,
SID.
           WHAT DOES THAT REFERENCE?
     A     THAT REFERENCES A VIEWING OF THAT ITEM OR INSPECTION
OF THAT ITEM WITHIN OUR LABORATORY. DIDN'T ACTUALLY GET SENT
ANYWHERE.
     Q     SO IT DIDN'T ACTUALLY LEAVE THE LABORATORY ON THAT
PARTICULAR -- WELL, IT DIDN'T LEAVE THE LABORATORY TO GO TO THE
DEFENSE ON THAT DATE?
     A     THAT IS CORRECT.  THAT'S WITHIN THE SID FACILITY.
     Q     AND DID IT LEAVE THE LABORATORY TO GO SOMEWHERE ON
2-16?
     A     YES, IT DID.
     Q     WHERE?
     A     TO THE FBI.
     Q     AND AS TO ITEM NO. 17, THE ENVELOPE CONTAINING A VIAL
OF BLOOD, WAS THAT ENTIRE ENVELOPE AND BLOOD VIAL SENT SOMEWHERE
ON APRIL THE 3RD?
     A     YES, IT WAS.
     Q     AND WHERE WAS IT SENT?
     A     TO THE FBI.
     Q     OKAY.  THANK YOU.

           (BRIEF PAUSE.)

      Q     BY MR. GOLDBERG:  NOW, ON JUNE THE 29TH OF LAST
YEAR, DID YOU PARTICIPATE IN AN INVENTORY THAT WAS DONE AT THE
LOS ANGELES POLICE DEPARTMENT OF CERTAIN OF THE EVIDENCE IN THIS
CASE?
     A     YES, I DID.
     Q     AND WHO WAS PRESENT DURING THAT INVENTORY?
     A     THAT INVENTORY WAS PERFORMED -- MYSELF, MR. YAMAUCHI
WAS PRESENT AND MISS KESTLER.
     Q     AND DID YOU LOOK AT THE SOCKS, ITEM NO. 13, BEARING
THE DR NUMBER IN THIS CASE DURING THAT INVENTORY?
     A     YES, I DID.
     Q     WAS THAT THE FIRST TIME THAT YOU ACTUALLY SAW THAT
ITEM?
     A     THAT'S CORRECT.
     MR. GOLDBERG:  YOUR HONOR, AT THIS TIME, I'D LIKE TO MARK
AS PEOPLE'S NEXT IN ORDER, I THINK IT'S 213, A PAGE FROM THE
INVENTORY SHEET OF 6-29.  IT'S THE SECOND PAGE.
     THE COURT:  ALL RIGHT.  213.
   (PEO'S 213 FOR ID = PG. FROM INVENTORY SHEET)

     THE COURT:  CAN YOU FINE FOCUS THAT JUST A LITTLE MORE?


            (DISCUSSION HELD OFF THE RECORD
            BETWEEN THE DEPUTY DISTRICT
            ATTORNEYS.)

     MR. GOLDBERG:  IT'S STILL A LITTLE BIT OUT OF FOCUS.
     Q     BY MR. GOLDBERG:  CAN WE SEE -- CAN YOU SEE THE AREA
THAT SAYS "13, SOCKS"?
     A     YES, I CAN.
     Q     AND CAN YOU READ WHAT IT SAYS TO THE RIGHT OF THE
SOCKS?  IS THAT "NAVY BLUE/BLACK"?
     A     I MADE OUT THE BLACK, AND AS SOON AS YOU MENTIONED
THE NAVY BLUE, THAT IS WHAT IS WRITTEN THERE AT THE SLASH.
     Q     OKAY.
           WHOSE HANDWRITING IS THIS?
     A     THAT'S MINE.
     Q     NOW --
     MR. GOLDBERG:  OKAY.  IF WE CAN SEE THE OTHER END OF THIS
COLUMN, 13.
           CAN WE GET A LITTLE BIT MORE -- CAN WE SEE THE TOP OF
THE DOCUMENT TOO?
     Q     BY MR. GOLDBERG:  AND, SIR, THERE ARE THREE COLUMNS
THAT YOU CAN SEE IN THIS FRAME.  ONE IS "ANALYSIS PERFORMED."
THAT'S ON THE LEFT AS WE'RE LOOKING AT THE DOCUMENT NOW.
           WHAT DOES THAT REFER TO?

      A     THAT WAS AN AREA WHERE WE COULD RECORD WHAT TYPE OF
WORK HAD BEEN DONE ON THAT ITEM UP TO THAT DATE.
     Q     AND FOR ITEM NO. 13, DID YOU RECORD ANYTHING IN THAT
COLUMN?
     A     NO, I DID NOT.
     Q     WHY NOT?
     A     BECAUSE NOTHING HAD BEEN DONE WITH THAT ITEM YET.
     Q     AND THEN THERE'S A COLUMN THAT SAYS "COMMENTS" THAT'S
ON THE RIGHT AS WE'RE LOOKING AT THIS DOCUMENT.
     A     THAT'S CORRECT.
     Q     AND WHAT'S THAT FOR?
     A     WELL, THAT WAS ANY SORT OF COMMENT, EITHER GREATER
DESCRIPTION OF THE ITEM, MISCELLANEOUS INFORMATION ABOUT IT,
POTENTIALLY WHAT ADDITIONAL WORK WE WOULD BE DOING WITH THAT
ITEM.
     Q     WHAT DID YOU WRITE IN THAT COLUMN?
     A     IN QUOTES, I HAVE "DRESS SOCKS" TO GIVE ME AN
INDICATION THAT THEY ARE, YOU KNOW, A THIN DRESS-STYLE SOCK
RATHER THAN HEAVY ATHLETIC SOCK OR SOMETHING LIKE THAT.  I HAVE
THE WORDS "BLOOD SEARCH" INDICATING THAT IT'S OUR INTENT TO DO
THAT AT SOME POINT AND THEN I ALSO HAVE IN PARENTHESIS "NONE
OBVIOUS."
     Q     WELL, DID YOU ACTUALLY DO A BLOOD SEARCH ON THIS DAY,
ON THE 29TH?
     A     JUST A QUICK VISUAL INSPECTION OF THE ITEM.
     Q     SO WHY DID YOU SAY "BLOOD SEARCH TO BE DONE"?
     A     BECAUSE THAT WAS NOT AN ANALYSIS AT THAT POINT.  WE
OPENED THEM UP, TOOK A LOOK AT THEM AND INDICATED THAT THAT'S
SOMETHING THAT WE'D SOMEDAY BE PERFORMING.
     Q     WHY DID YOU WANT TO PERFORM ONE IN THE FUTURE?
     A     SEEMED LIKE A LEGITIMATE THING TO DO ON THAT PIECE OF
ITEM -- EVIDENCE.  IT WAS AN ITEM OF CLOTHING.
           THE QUICK INSPECTION THAT WAS DONE IN THE OFFICE WAS
INSUFFICIENT, PARTICULARLY DUE TO ITS COLOR AND WE WERE NOT THERE
TO DO A SCIENTIFIC ANALYSIS.  IT WAS SOMETHING THAT WAS PLANNED.
     Q     WELL, SHOULDN'T YOU BE ABLE TO SEE BLOOD IF THERE WAS
BLOOD ON THERE?
     A     IT DEPENDS ON THE COLOR AND THE TYPE OF MATERIAL IT'S
ON.
     Q     HOW OFTEN IN YOUR EXPERIENCE AS A SEROLOGIST DO YOU
FIND BLOOD ON FABRICS BASED UPON TESTING THAT YOU DID NOT SEE
WITH YOUR EYES?
     A     WELL, IT HAPPENS OCCASIONALLY.  IT'S NOT A REGULAR
THING.  YOU HAVE TO -- THE CONDITIONS HAVE TO BE JUST RIGHT TO
MAKE IT DIFFICULT TO SEE.
     Q     WHAT ARE THOSE CONDITIONS?
     A     MOST NOTABLY, BLACK MATERIALS LIKE A BLACK LEATHER
JACKET, VERY DIFFICULT TO SEE BLOOD ON, BLACK DENIM, LEVIS, THAT
TYPE OF THING, DIFFICULT TO SEE BLOOD ON AND BLACK MATERIAL.
     MR. GOLDBERG:  OKAY.
           I'D LIKE TO MARK AS PEOPLE'S NEXT IN ORDER A
PHOTOGRAPH DEPICTING -- ONE THAT SAYS "SOCK A" ON THE REVERSE,
AND IT HAS A LITTLE WRITING UP IN THE UPPER RIGHT-HAND CORNER
THAT SAYS "13-A" AS PEOPLE'S 2 --
     THE COURT:  14.
     MR. GOLDBERG:  14.
           CAN I MAKE THAT 214-A?
     THE COURT:  YES, SINCE IT'S SOCK A.

         (PEO'S 214-A FOR ID = PHOTOGRAPH)

     THE COURT:  AND, MR. BLASIER, YOU'VE SEEN THAT?
     MR. BLASIER:  YES.
     THE COURT:  ALL RIGHT.
     MR. GOLDBERG:  AND AS 214-B WHAT APPEARS TO BE ANOTHER
SOCK.  IT HAS VARIOUS WRITING.  JUST FOR IDENTIFICATION PURPOSES,
THE WRITING CONTAINS THE NUMBERS 42-C, B, VARIOUS OTHER WRITING.
     THE COURT:  ALL RIGHT.  214-B.

         (PEO'S 214-B FOR ID = PHOTOGRAPH)
      THE COURT:  PROCEED.
     MR. GOLDBERG:  THANK YOU.
     Q     BY MR. GOLDBERG:  SIR, SHOWING YOU PEOPLE'S 214-A FOR
IDENTIFICATION -- MAYBE WE CAN GET A ZOOM IN ON THE AREA WITH THE
WRITING NEAR THE HEEL.
           DO YOU RECOGNIZE THIS ITEM?
     A     YES, I DO.
     Q     AND IS THERE ANYTHING ON IT THAT YOU PLACED ON THE
ITEM?
     A     YES.
     Q     WHAT?
     A     THAT WHITISH NOTATION THAT'S DIRECTLY ON THE SOCK
ITSELF, THERE'S AN ARROW THAT POINTS -- I WAS GOING TO SAY LEFT.
NOW DOWN AND NOW UPSIDE DOWN.
           ADJACENT TO THE LEFT OF THE ARROW IS THE DESIGNATION
15-A OR -- EXCUSE ME -- 13-A.  IT'S VERY HARD TO WRITE ON
MATERIAL WITH A PEN, INK PEN.
     Q     WHAT NUMBER A?
     A     13-A.
     Q     OKAY.
           AND DID SOMEONE TAKE A CUTTING FROM THAT AREA?
     A     YES.
     Q     WHO DID THAT?
     A     I DID.

      Q     ALL RIGHT.
           NOW, DID YOU DO THAT ON SOME DATE AFTER 6-29?
     A     YES.
     Q     DIRECTING YOUR ATTENTION TO THE DATE OF SEPTEMBER THE
18TH, CAN YOU TAKE A LOOK AT YOUR NOTES PERTAINING TO THAT DATE
AND SEE WHETHER YOU DID ANY WORK ON THE SOCK?

           (THE WITNESS COMPLIES.)

     THE WITNESS:  I'M REFERRING TO ANALYZED EVIDENCE REPORT AND
ASSOCIATED NOTES.  IN PARTICULAR, L-371, 372, 373 AND THEN "L"
PARTIALLY CUT OFF.  IT LOOKS LIKE 385.
     THE COURT:  ALL RIGHT.
           PROCEED, COUNSEL.
     Q     BY MR. GOLDBERG:  NOW, SIR, WHAT DATE DID YOU LOOK AT
THIS FOR THE PURPOSES OF COMMENCING THE TESTING THAT YOU
PERFORMED?
     A     ON SEPTEMBER 18TH, 1994.
     Q     WHEN WAS THE CUTTING, 13-A, MADE?
     A     ON THAT SAME DATE I BELIEVE.
     Q     AND WHEN YOU SAW THIS SOCK ON THE -- SEPTEMBER THE
18TH, AT THAT TIME, DID YOU SEE ANYTHING THAT STOOD OUT AND YOU
RECOGNIZED AS BEING BLOOD?
     A     WELL, INITIALLY --
     MR. BLASIER:  OBJECTION.  NO FOUNDATION.
     THE COURT:  SUSTAINED.
     Q     BY MR. GOLDBERG:  WHAT DID YOU SEE?
     A     WELL, INITIALLY UPON REMOVING THE SOCK FROM THE BAG,
BASICALLY I WAS LOOKING AT THE SAME THING AS WHAT I HAD SEEN ON
THE 29TH.  UPON CLOSER EXAMINATION, WITH DIFFERENT LIGHTING, I
WAS ABLE TO DISCERN THAT THERE WERE SOME STAINED AREAS ON THE
SOCK.
     Q     OKAY.
           NOW, WHEN YOU SAY INITIALLY BEFORE YOU USED DIFFERENT
LIGHTING, YOU PULLED IT OUT AND YOU SAW THE SAME THING AS ON THE
29TH, WHAT SAME THING?
     A     WELL, THE FACT THAT THEY WERE BLACK SOCKS THAT DID
NOT HAVE LARGE OBVIOUS STAINS ON IT.
     Q     AND THEN WHEN YOU SAY THAT YOU TOOK A CLOSER LOOK
WITH DIFFERENT LIGHTING, WHAT DID YOU SEE?
     A     I WAS ABLE TO DISCERN THAT THERE WERE STAINED AREAS
ON THE SOCKS.
     Q     AND CAN YOU DESCRIBE WHAT THE STAINED AREAS LOOKED
LIKE?
     A     THEY REALLY JUST LOOKED LIKE A DARKER AREA OF THE
SOCK THEMSELVES.
     Q     WAS ONE OF THE STAINED AREAS IN THE AREA OF 13-A?
     A     YES.

      Q     BUT WE CAN'T SEE IT ON THE PHOTOGRAPH OR CAN WE?
     A     THAT'S CORRECT.

           (DISCUSSION HELD OFF THE RECORD
            BETWEEN THE DEPUTY DISTRICT
            ATTORNEYS.)

     MR. GOLDBERG:  LET'S TRY TO GET A LITTLE CLOSER TO SEE IF
WE CAN SEE ANYTHING.
     Q     BY MR. GOLDBERG:  I DON'T KNOW IF YOU CAN SEE
ANYTHING NOW.  I CAN'T MAKE ANYTHING OUT.  MAYBE YOU --
           CAN YOU SEE ANYTHING ON THERE?
     A     AS FAR AS A VISIBLE STAIN?
     Q     YEAH.
     A     NO, I CAN NOT.
     Q     OKAY.
           AND HOW LONG DID YOU HAVE TO SEARCH WHEN YOU WERE
LOOKING AT IT ON THE 18TH BEFORE YOU COULD ACTUALLY SEE SOMETHING
VISIBLY?
     A     OH, IT WAS PROBABLY -- ONCE I HAD THEM SPREAD OUT AND
WAS DOWN LOOKING AT THEM, INITIALLY I WOULD SAY I STARTED SEEING
SOMETHING WITHIN A MATTER OF A MINUTE OR SO.
           THE THING IS, AS YOU GET TO LOOK AT IT OR AS YOUR
EYES BECOME ACCUSTOMED TO WHAT YOU'RE LOOKING FOR, IT BECAME
APPARENT THAT THERE WERE OTHER STAINS  ON THE SOCKS.
     Q     NOW, AT THAT TIME, COULD YOU TELL BASED UPON YOUR
TRAINING AND EXPERIENCE WHAT YOU WERE LOOKING AT?
     A     JUST BY LOOKING AT THE SOCK?
     Q     YES.
     A     AT THAT POINT, I JUST HAD A DARKENED AREA.  I DIDN'T
KNOW WHAT IT WAS.
     Q     SO YOU COULD NOT TELL FOR SURE THAT -- WELL, DID YOU
FORM AN OPINION THAT IT WAS BLOOD OR WAS IT JUST YOU DIDN'T KNOW?
     MR. BLASIER:  OBJECTION.
     THE COURT:  SUSTAINED.
     Q     BY MR. GOLDBERG:  DID YOU FORM ANY OPINIONS AT THAT
TIME AS TO WHAT THE STAIN WAS THAT YOU WERE LOOKING AT?
     A     NO, I DID NOT.
     MR. GOLDBERG:  OKAY.
           NOW MAYBE WE CAN SEE THE OTHER SOCK THAT'S BEEN
MARKED AS PEOPLE'S 113-B I THINK.  213.
           I'M SORRY.  IT'S 214-B.
     THE COURT:  214-A AND B.  THIS IS 214-B.
     MR. GOLDBERG:  RIGHT.
     THE COURT:  ALL RIGHT.
     MR. GOLDBERG:  LET ME SEE THE -- IS THAT THE WHOLE
PHOTOGRAPH?


      Q     BY MR. GOLDBERG:  SIR, DIRECTING YOUR ATTENTION NOW
TO PEOPLE'S 214-B FOR IDENTIFICATION, DOES THAT REPRESENT A
PHOTOGRAPH OF ONE OF THE OTHER SOCKS AS NO. 13?
     A     THAT APPEARS TO BE A BLACK SOCK LIKE NO. 13.
     Q     NOW, WHEN YOU SAW THIS PARTICULAR BLACK SOCK OR THE
OTHER BLACK SOCK, DID YOU SEE ANY OBVIOUS STAINING ON THAT?
     A     NOT OBVIOUS, NO.
     Q     AND DID YOU SEE ANY UPON FURTHER EXAMINATION?
     A     YES, I DID.
     Q     WHAT DID YOU SEE UPON FURTHER EXAMINATION?
     A     SAME THING.  THERE WAS SOME SMALL KIND OF DARKER
AREAS ON IT THAT, AS YOU ALLOW YOUR EYES TO FOCUS ALONG WITH
HAVING SEEN THE OTHER ONE, STARTED BECOMING APPARENT.
     Q     WERE THEY SIMILAR TO THE STAINS THAT YOU SAW ON THE
OTHER SOCK?
     A     WELL, SIMILAR IN GENERAL APPEARANCE.  NOT NECESSARILY
IN SIZE OR LOCATION.
     Q     THAT'S WHAT I MEANT.
           AND AT THE TIME THAT YOU TOOK A CLOSER LOOK AND YOUR
EYES ADJUSTED, DID YOU FORM ANY OPINION AT THAT TIME AS TO WHAT
THE STAIN WAS?
     A     NO, I DID NOT.
     MR. GOLDBERG:  ALL RIGHT.  THANK YOU.
     Q     BY MR. GOLDBERG:  NOW, IN YOUR EXPERIENCE, MR.
MATHESON, WHAT DOES DRY BLOOD LOOK LIKE?
     A     IT KIND OF DEPENDS WHAT SURFACE IT'S ON. BUT AS BLOOD
DRIES, IT GETS DARKER GOING FROM A REDDISH TO A MORE REDDISH
BROWN AND EVENTUALLY CAN LOOK ALMOST BLACK.
     Q     DO YOU KNOW HOW LONG IT WOULD TAKE TYPICALLY A DOT OF
BLOOD THAT'S DEPOSITED OUTDOORS ON CONCRETE SAY BEFORE IT TURNS
>FROM A RED TO A BROWN?
     MR. BLASIER:  OBJECTION.  NO FOUNDATION.
     THE COURT:  SUSTAINED.
     Q     BY MR. GOLDBERG:  WELL, HAVE YOU OBSERVED -- EVER HAD
OCCASION TO OBSERVE THAT -- A DOT THAT WAS RED AND LATER ON
TURNED BROWN?
     A     YES.
     Q     AND HOW LONG -- IS THAT SOMETHING THAT YOU COULD
PREDICT OR DOES IT DEPEND ON THE CIRCUMSTANCES HOW LONG IT TAKES?
     A     DEPENDS ON THE CIRCUMSTANCES.
     Q     ALL RIGHT.
           BUT AS IT AGES, IT DOES CHANGE COLOR?
     A     THAT'S CORRECT.
     Q     AND WITH RESPECT TO THE STAINS THAT YOU'VE TALKED
ABOUT ON ITEM NO. 13, WHAT COLOR WERE THOSE, IF YOU COULD DETECT
ANY COLOR?

      A     ALL I COULD SEE WAS, THEY WERE A DARKER AREA ON
THESE DARK SOCKS.
     Q     SO COULD YOU SEE THAT THEY APPEARED TO BE BLACK, RED,
BROWN OR JUST DARKER?
     A     THEY WERE JUST DARKER.
     Q     NOW, DIRECTING YOUR ATTENTION TO THE DATE OF JUNE THE
27TH OF LAST YEAR, DID YOU BEGIN TO DO SOME TESTING ON THAT DATE
ON ITEM NO. 18?
     A     OKAY.  I'M GOING TO AGAIN REFER TO MY NOTES.
     Q     17, I'M SORRY, IN THIS CASE.
     A     YES, I DID.
     Q     AND THAT'S THE REFERENCE VIAL?
     A     ITEM NO. 17, YES.  THE WHOLE BLOOD VIAL MARKED "O.J.
SIMPSON."
     Q     NOW, WHEN YOU STARTED TO DO SOME TESTING, DID YOU
TAKE ANYTHING OUT OF THE VIAL?
     A     YES.
     Q     WHAT DID YOU TAKE?
     A     BLOOD.
     Q     AND HOW DID YOU TAKE IT?
     A     I JUST TAKE A -- WHAT'S CALLED A PIPETTE.  IT'S
NOTHING MORE THAN A -- KIND OF A GLASS TUBE THAT COMES DOWN TO
ALMOST A POINT.  YOU HAVE A RUBBER BULB ON THE TOP.
           INSERT THAT INTO THE BLOOD, DRAW OUT, OH,
APPROXIMATELY A MILLILITER, WHICH IS NOT QUITE A TEASPOON,
SOMETHING LIKE THAT, AND TRANSFER THAT INTO  A -- IT'S CALLED A
CENTRIFUGE TUBE, A SMALL PLASTIC TUBE THAT HAS A CONE SHAPE ON
THE BOTTOM.
     Q     AND YOU TRANSFER IT FROM THE VIAL TO THE CENTRIFUGE
TUBE WITH THE PIPETTE?
     A     YES.
     Q     WHAT DO YOU DO WITH THE PIPETTE AFTER YOU MAKE THE
TRANSFER?
     A     WELL, DURING THE COURSE OF THE ANALYSIS -- NORMALLY
THE WAY I SET UP MY ANALYSIS ON A WHOLE BLOOD VIAL LIKE THIS, I
HAVE A -- WHAT'S CALLED A TEST TUBE RACK, WHICH IS NOTHING MORE
THEN A PLASTIC RACK WITH A BUNCH OF PLASTIC PRONGS STICKING UP.
           THE TUBE IS PLACED DOWN IN THERE SO IT DOESN'T FALL
OVER.  I PLACE A CLEAN TEST TUBE ALONGSIDE OF IT AND THEN THE
CENTRIFUGE TUBE.  WHEN I'M NOT USING THE PIPETTE, IT JUST DROPS
INTO THE CLEAN TEST TUBE TO HOLD IT.
     Q     MAYBE I CAN SHOW YOU DEFENSE 1124 FOR IDENTIFICATION
AGAIN.
           IS THIS THE SAME TYPE OF TUBE THAT THE REFERENCE
SAMPLE IS IN, PURPLE TOP TUBE?
     A     IT'S A PURPLE TOP TUBE.  I DON'T KNOW IF IT'S THE
EXACT SAME BRAND OR NOT.
     Q     BUT THAT COULD BE CHECKED BY LOOKING AT THE
PHOTOGRAPH ON OUR EVIDENCE DISPOSITION BOARD?
     A     IF IT'S VISIBLE IN THE PHOTOGRAPH, YES.

      Q     NOW, ARE THESE TUBES, THE PURPLE TOP TUBES THAT YOU
WORK WITH IN SEROLOGY, GRADUATED?
     A     NO.  THERE'S NO SORT OF INDICATION OF THE VOLUMES.
GRADUATED MEANING THAT THERE'S MARKS ON IT THAT SHOW THE
DIFFERENT VOLUMES.  IT'S JUST A GLASS TUBE.
     Q     OKAY.
           NOW, HOW MUCH OF THE BLOOD DID YOU ACTUALLY USE IN
THE TESTING THAT YOU COMMENCED ON THE 27TH?
     A     I DON'T KNOW EXACTLY HOW MUCH I USED.
     Q     CAN YOU GIVE US AN ESTIMATION AS TO HOW MUCH YOU
TYPICALLY USED OR IS CONSUMED IN THE TESTING ITSELF?
     A     NORMALLY, THERE'S NO RECORDS KEPT AS FAR AS IT USES A
SMALL QUANTITY.  THE APPROXIMATE MILLILITER THAT I MENTIONED
BEFORE, I MAY USE FOR ALL THE TESTING DEPENDING ON WHETHER I
RETAIN THAT CENTRIFUGE TUBE, RETURN IT TO THE BLOOD VIAL OR
WHETHER I DISCARD IT.
           I COULD USE ANYWHERE FROM, OH, A SMALL PORTION OF
THAT TO THE WHOLE MILLILITER, MILLILITER AND A HALF.
     Q     WELL, HOW MUCH DO YOU -- IS TYPICALLY CONSUMED IN AN
ABO TEST, FOR EXAMPLE?
     A     WHAT'S ACTUALLY CONSUMED FOR THE TEST IS ABOUT THREE
DROPS OF THE CELLS AND ABOUT THREE DROPS OF THE SERUM.
     Q     SO THE TEST ITSELF ONLY REQUIRES A FEW DROPS?
     A     THAT'S CORRECT.
     Q     SO WHAT DO YOU DO WITH THE REST OF THE ITEM THAT --
THE BLOOD THAT YOU PUT INTO THE MICRO CENTRIFUGE TUBE?
     A     ACTUALLY I'VE BEEN INCONSISTENT WITH THAT.  SOMETIMES
I RETURNED IT BACK TO THE BLOOD VIAL AND SOMETIMES I DISCARDED
IT.
     Q     DO YOU KNOW WHAT YOU DID IN THIS CASE?
     A     NO, I DO NOT.
     Q     DO YOU KNOW WHAT THE HABIT AND CUSTOM IS OF OTHER
ANALYSTS IN YOUR LABORATORY WHO WERE WORKING IN SEROLOGY?
     A     WELL, WITHIN SEROLOGY?
           SOME RETAIN THEM, SOME DISCARD THEM. IT'S -- WE'RE
NOT CONSISTENT WITH THAT.
     Q     SO IF YOU ASSUME IN A GIVEN CASE THAT YOU POURED OUT
A MILLILITER OF BLOOD OR PIPETTED OUT A MILLILITER OF FLUID INTO
A MICRO CENTRIFUGE TUBE AND ONLY THREE DROPS OR SO WERE USED IN
THE TESTING AND IF YOU ASSUME THAT YOU RETURNED THE REMAINDER TO
THE REFERENCE VIAL, HOW MUCH BLOOD IF ANY WOULD BE LEFT ON THE
PIPETTER AND ON THE MICRO CENTRIFUGE TUBE?
     A     WELL, YOU'RE GOING TO HAVE SOME CLINGING TO THE WALLS
OF BOTH OF THOSE.  APPROXIMATION, MAYBE A QUARTER TO A THIRD OF
THE ORIGINAL VOLUME THAT YOU'VE PULLED OUT.
           BLOOD IS FAIRLY VISCOUS.  IT WILL RETAIN TO THE SIDES
OF CONTAINERS.
     Q     CAN YOU TELL US IN MILLILITERS?
     A     WELL, GIVEN THAT, I WOULD SAY ABOUT A QUARTER OF A
MILLILITER OR SO.
     Q     HAVE YOU EVER DONE ANY EXPERIMENTS OR STUDIES TO TRY
TO FIGURE OUT, USING THE TECHNIQUE THAT YOU USUALLY USE, HOW MUCH
BLOOD IS THROWN AWAY THAT WAS CLINGING TO THE SIDES OF THE MICRO
CENTRIFUGE TUBE OR THE PIPETTER?
     A     NO.  WE'D NEVER HAD TO DEAL WITH AN ISSUE OF NEEDING
TO KNOW THAT.
     Q     NOW, DO YOU MAKE ANY DOCUMENTATION AT OR AROUND THE
TIME THAT THIS IS PERFORMED ON THE 27TH TO RECORD SPECIFICALLY
HOW MUCH BLOOD YOU USED IN THE ANALYSIS OR PIPETTED INTO THE
MICRO CENTRIFUGE TUBE?
     A     NO.
     Q     WHY NOT?
     A     BECAUSE IT'S NEVER BEEN AN ISSUE.  WE'VE NEVER HAD TO
WORRY ABOUT HOW MUCH WAS USED DURING THE COURSE OF THE ANALYSIS.
     Q     WHY HAVE YOU NEVER HAD TO WORRY ABOUT THAT?
     A     IT'S NEVER BEEN RAISED IN AN ISSUE. WE'VE NEVER HAD
TO ACCOUNT FOR EVERY PORTION OF BLOOD THAT WAS SUPPLIED TO US.
           IT -- LIKE I MENTIONED BEFORE, IN THE CASE OF LIVING
INDIVIDUALS, WE KNEW THAT WE HAD A  SOURCE TO GET AN ADDITIONAL
SAMPLE IF IT WAS NEEDED. IT JUST HAS NEVER BEEN AN ISSUE BEFORE.
     Q     SO YOU DON'T HAVE ANY WRITTEN DOCUMENTS AS TO
SPECIFICALLY WHETHER YOU USED THE TECHNIQUE OF POURING THE MICRO
CENTRIFUGE TUBE BACK INTO THE REFERENCE VIAL OR THE TECHNIQUE OF
THROWING THE REMAINDER AWAY?
     A     THAT'S CORRECT.
     Q     AND DO YOU MAKE ANY RECORDATION WHEN YOU SEE THE VIAL
ON THE 27TH AS TO HOW MUCH WAS IN IT WHEN YOU STARTED?
     A     I HAVE DONE THAT IN THE PAST.  I'D LIKE TO REFERENCE
MY NOTES, SEE IF I DID IN THIS CASE.
     Q     OKAY.

           (BRIEF PAUSE.)

     THE WITNESS:  THERE IS A REFERENCE BY MR. YAMAUCHI AS TO
HOW MUCH HE REMOVED AND USED.  I DID NOT.
     Q     BY MR. GOLDBERG:  WELL, I'M TALKING ABOUT THE 27TH
WHEN YOU DID -- WHEN YOU DID YOUR -- COMMENCED YOUR TESTING.
     A     NO, I DID NOT.
     Q     AND WHY DON'T YOU MAKE ANY RECORDATION AS TO HOW MUCH
WAS IN THERE WHEN YOU STARTED?
     A     FOR THE SAME REASON.  IT'S NEVER BEEN AN ISSUE
BEFORE.  I DIDN'T FEEL THAT THAT WAS  INFORMATION THAT NEEDED TO
BE RECORDED.
     Q     SO THIS HAS NOT COME UP PREVIOUSLY IN YOUR -- HOW
MANY YEARS OF EXPERIENCE WAS IT -- 17 AT THE LOS ANGELES POLICE
DEPARTMENT?
     A     WELL, I HAVEN'T BEEN IN SEROLOGY THAT LONG.  BUT IN
MY TIME IN SEROLOGY, I'VE NEVER HAD TO PROVIDE THIS INFORMATION
BEFORE.
     Q     NOW, I'D LIKE TO LOOK BACK FOR A MOMENT AT THE
DOCUMENT THAT WE MARKED "THE INVENTORY," WHICH WAS PEOPLE'S 213
FOR IDENTIFICATION.
           AND THIS IS THE SAME PAGE THAT WE SHOWED YOU BEFORE
>FROM 6-29?
     A     YES.
     Q     AND ON THIS PAGE, DID YOU WRITE SOMETHING OUT WITH
RESPECT TO ITEM NO. 17 AS TO HOW MUCH WAS IN THE VIAL AT THAT
TIME?
     A     YES, I DID.
     Q     WHAT DID YOU WRITE?
     A     I RECORDED TWO ML'S, WHICH STAND FOR TWO MILLILITERS.
     Q     NOW, HOW DID YOU COME UP WITH THAT FIGURE?
     A     IT WAS AN ESTIMATE.  WE OPENED UP THE ENVELOPE, HELD
UP THE TUBE AND MADE A GUESS OR AN ESTIMATE AS TO WHAT PERCENTAGE
OF THE VIAL.
     Q     SO YOU DIDN'T USE ANY MEASURING TECHNIQUE IN TERMS OF
A RULER OR COMPARING IT TO ANOTHER VIAL IN ORDER TO COME UP WITH
TWO MILLILITERS?
     A     NO, I DID NOT.
     Q     NOW, IN YOUR EXPERIENCE IN SEROLOGY, DO YOU HAVE A
LOT OF EXPERIENCE IN DEALING WITH THESE PURPLE TOP TUBES
ESTIMATING OR GUESSTIMATING HOW MUCH IS IN THEM?
     A     WELL, IN THAT -- NO, I DON'T.  I KNOW THE TOTAL
VOLUME OF IT, AND THAT'S WHAT I BASE MY GUESS ON.  BUT IT'S NOT
SOMETHING THAT WE DO ON A REGULAR BASIS AND NO, I DON'T HAVE A
LOT OF EXPERIENCE ESTIMATING THE QUANTITY.
     Q     WELL, ONE WOULD THINK THAT OVER THE 13 YEARS SEEING
THESE TUBES OVER AND OVER AGAIN, YOU KIND OF GET A SENSE OF WHAT
TWO MILLILITERS LOOKS LIKE AS OPPOSED TO THREE MILLILITERS.  IS
THAT NOT TRUE?
     A     WELL, YOU'D GET A SENSE IF YOU MEASURED IT.  THE WAY
YOU GET EXPERIENCE, THE WAY YOU LEARN SOMETHING IS BY DOING IT.
           AND LIKE I SAID, WE HAVE NOT MEASURED THE QUANTITY OF
BLOOD IN VIALS ON A REGULAR BASIS WITHIN THE LABORATORY.
     Q     SO WHEN YOU LOOKED AT OCCASION -- DID YOU HAVE
OCCASION TO LOOK AT THIS VIAL AGAIN FOR THE PURPOSES OF ACTUALLY
MEASURING IT AFTER THE 29TH?
     A     YES, I DID.
     Q     AND DIRECTING YOUR ATTENTION TO SEPTEMBER -- EXCUSE
ME -- SEPTEMBER -- EXCUSE ME -- JANUARY THE 4TH OF 1995 -- NO.
WAIT A MINUTE.
           I'M SORRY.  SEPTEMBER THE 21ST OF 1994, DID YOU TAKE
A LOOK AT THE VIAL AGAIN?
     A     REFERRING AGAIN TO MY NOTES AND A CHRONOLOGY PAGE
LABELED L-521 FOR 9-21-94, YES, I DID.
     Q     AND DID YOU MEASURE IT ON THAT OCCASION?
     A     YES, I DID.
     Q     HOW DID YOU MEASURE IT?
     A     AT THAT POINT, WHAT I DID IS TOOK A BLOOD VIAL OF
SIMILAR SHAPE AND SIZE, BUT EMPTY, PLACING IT ALONGSIDE OF THE
BLOOD VIAL, ITEM NO. 17, FILLED UP THE EMPTY VIAL WITH WATER TO
VISUALLY THE SAME LEVEL AS THE OTHER ONE AND THEN MEASURED THE
QUANTITY OF WATER THAT WAS EQUIVALENT TO THE AMOUNT OF BLOOD.
     Q     HOW MANY TIMES IN THE PAST HAVE YOU DONE THAT
PROCEDURE?
     A     OH, I'VE PROBABLY JUST DONE IT A COUPLE OF TIMES.  IT
IS NOT A COMMON SITUATION.
     Q     DO YOU KNOW HOW LONG AGO IT WAS PRIOR TO SEPTEMBER
THE 21ST THAT YOU HAD LAST DONE THAT PROCEDURE?
     A     NO, I DO NOT.
     Q     OKAY.
           BUT YOU THINK YOU'VE ONLY DONE IT A COUPLE TIMES
BEFORE THAT?
     A     YEAH.  I DON'T REMEMBER ANY SPECIFIC INSTANCE.  BUT
THE FACT THAT I FIGURED OUT THAT THAT'S HOW TO DO IT IN THIS
CASE, I WOULD ASSUME THAT  AT SOME POINT, I MUST HAVE DONE IT
BEFORE.
     Q     NOW, WHEN YOU DID THAT, HOW MUCH WAS IN IT?
     A     I DETERMINED TO BE PRESENT IN THE BLOOD VIAL ALONG
WITH THE CENTRIFUGE TUBE THAT WAS ALSO IN THE PACKAGE, FOR THERE
TO BE 3.8 OR APPROXIMATELY 3.8 MILLILITERS OF BLOOD.
     Q     SO WHEN YOU SAW IT ON THE 29TH DURING THE INVENTORY
--
     THE COURT:  OF JUNE.
     Q     BY MR. GOLDBERG:  -- JUNE, YOU SAID THAT THERE WAS
TWO MILLILITERS, AND THEN WHEN YOU SAW IT AGAIN ON THE 21ST OF
SEPTEMBER, YOU SAID THERE WAS 3.8?
     A     THAT'S CORRECT.
     Q     SO THERE'S A 1.8 MILLILITER DIFFERENCE?
     A     YES.
     Q     AND DO YOU THINK THAT YOU COULD BE 1.8 MILLILITERS
OFF IN MAKING A GUESSTIMATE AS TO HOW MUCH WAS IN THE TUBE?
     MR. BLASIER:  OBJECTION.  SPECULATION.
     THE COURT:  WHY DON'T YOU REPHRASE THE QUESTION.
     Q     BY MR. GOLDBERG:  WELL, HOW ACCURATE DO YOU BELIEVE
YOU ARE IN MAKING A GUESSTIMATE AS TO SOMETHING IN ONE OF THESE
PURPLE TOP TUBES?
     MR. BLASIER:  OBJECTION.
     THE COURT:  SUSTAINED.
           REPHRASE THE QUESTION.
     Q     BY MR. GOLDBERG:  HOW ACCURATE DO YOU THINK YOU ARE
IN ESTIMATING HOW MUCH IS IN ONE OF THOSE TUBES?
     A     OBVIOUSLY NOT VERY.  I WAS FAR OFF.
     Q     OKAY.
           HOW DO YOU KNOW THAT THE 3.8 WAS ACCURATE?
     A     WELL, BECAUSE THAT, I USED A -- I USED A LEGITIMATE
TECHNIQUE TO ACTUALLY MEASURE IT AS OPPOSED TO JUST HOLDING A
VIAL UP AND EYEBALLING IT.
     Q     OKAY.
           AND THAT WAS THE TECHNIQUE OF FILLING THE OTHER VIAL
UP WITH WATER?
     A     THAT'S CORRECT.
     Q     DO YOU HAVE ANY IDEA WHAT THE MARGIN OF ERROR IS IN
THAT TECHNIQUE?
     A     IN THAT TECHNIQUE, I WOULD SAY IT'S PROBABLY --
FAIRLY SMALL.  THAT'S WHY I SAID APPROXIMATELY 3.8 MILLILITERS.
           MY GUESS IS IS THAT THE ERROR ON THAT WOULD BE LESS
THAN .1 OR .2 MILLILITERS.
     Q     OKAY.
     MR. BLASIER:  I'M GOING TO OBJECT.  MOVE TO STRIKE.  HE'S
GUESSING.
     THE COURT:  OVERRULED.

           (BRIEF PAUSE.)
      THE COURT:  ALL RIGHT, COUNSEL.
           LET'S PROCEED.
     Q     BY MR. GOLDBERG:  NOW, HAVE YOU EVER SEEN ANYONE ELSE
MEASURE THAT VIAL IN YOUR PRESENCE?
     A     NO.
     Q     I'M NOT TALKING ABOUT BY THE TEST-TUBE METHOD, BUT BY
ANY OTHER METHOD?
     A     NOT THAT I RECALL.
     Q     NOW, ON THE SAME DATE, ON SEPTEMBER THE 29TH --
SEPTEMBER THE 21ST RATHER, DID YOU ALSO MEASURE THE CONTENTS OF
THE VIAL, NO. 60 AND ALSO 59?
     A     YES, I DID.
     Q     AND DID YOU USE THE SAME TECHNIQUE?
     A     THE TECHNIQUE INVOLVING EQUIVALENT AMOUNT OF WATER,
YES.
     Q     CAN YOU GIVE US THE MEASUREMENTS ON THOSE TWO?
     A     YES.
           FOR ITEM NO. 59, THE BLOOD VIAL, I FOUND 7 --
APPROXIMATELY 7.2 MILLILITERS OF BLOOD AND FOR ITEM NO. 60,
APPROXIMATELY 5.5 MILLILITERS OF BLOOD.
     Q     AND THEN ON SEPTEMBER THE 27TH, DID YOU GIVE --
RELEASE SOME BLOOD TO A DEFENSE EXPERT MR. RAGLE?
     A     AGAIN, REFERRING TO MY NOTES, A HANDWRITTEN RECEIPT
LABELED L-309, YES, I DID.
           I RELEASED APPROXIMATELY ONE MILLILITER OF BLOOD FROM
ITEM NO. 59 MARKED "BROWN SIMPSON,  NICOLE" AND APPROXIMATELY ONE
MILLILITER OF BLOOD FROM ITEM NO. 60 MARKED "GOLDMAN, RONALD."
     Q     DID YOU GIVE ANYTHING ELSE TO MR. RAGLE AT THAT TIME
IN TERMS OF REFERENCE BLOOD?
     A     YES, I DID.
     Q     WHAT?
     A     AT THAT TIME, I ALSO CUT OUT FOR HIM APPROXIMATELY A
ONE-INCH SQUARE SECTION OF EACH OF ITEM NO. 72 AND 82, WHICH WERE
THE BLOOD SWATCHES THAT WERE PROVIDED TO US FROM THE TWO VICTIMS
>FROM THE CORONER'S OFFICE.
     Q     AND ON SEPTEMBER THE 30TH, DID YOU RELEASE SOME MORE
BLOOD TO MR. RAGLE?
     A     REFERRING TO MY NOTES, THERE IS A HANDWRITTEN RECEIPT
MARKED AS L-310, AND ON THAT DATE, SEPTEMBER 30TH, 1994, I
RELEASED APPROXIMATELY ONE MILLILITER OF BLOOD TO MR. RAGLE FROM
THE TUBE ITEM NO. 17 MARKED "O.J. SIMPSON."
     Q     NOW, HOW DID YOU COME UP WITH THE APPROXIMATE OF ONE
MILLILITER FOR THE 7 -- FOR THE 27TH OF SEPTEMBER AND THE 30TH OF
SEPTEMBER?
     A     FOR DOING THAT, I USED A WHAT -- A PIPETTER AS
OPPOSED TO THE GLASS PIPETTE WHICH IS NOT GRADUATED OR NOT
MEASURED.
           I MENTIONED BEFORE, WE HAVE MECHANICAL PIPETTERS SO
YOU CAN SET TO WITHDRAW AND DELIVER A SPECIFIC AMOUNT OF A FLUID,
AND THAT'S WHAT I USED IN THIS CASE, TRANSFERRING IT FROM THE
VIAL INTO THE  CENTRIFUGE TUBES PREVIOUSLY DESCRIBED.
     Q     DO YOU KNOW WHO MR. RAGLE IS?
     A     YES, I DO.
     Q     WHO IS HE?
     A     HE IS A RETIRED -- THE PREVIOUS DIRECTOR OF THE
ORANGE COUNTY CRIME LABORATORY.
     Q     AND IS HE NOW -- WAS HE WORKING FOR THE DEFENSE AT
THAT TIME?
     A     YES, HE WAS.
     Q     OKAY.

           (DISCUSSION HELD OFF THE RECORD
            BETWEEN THE DEPUTY DISTRICT
            ATTORNEYS.)

     Q     BY MR. GOLDBERG:  NOW, SIR, DIRECTING YOUR ATTENTION
TO THE DATE OF JANUARY THE 9TH OF 1994, DID YOU RETURN SOME
EVIDENCE ON THAT DATE FROM SEROLOGY TO THE EVIDENCE CONTROL UNIT?
     THE COURT:  JANUARY 9, '94?
     Q     BY MR. GOLDBERG:  '95.  I'M SORRY.
     A     AGAIN REFERRING TO -- THERE'S ACTUALLY MANY NOTES
UNDER THAT DATE AND YES, I DID.
     Q     AND CAN YOU TELL US WITH RESPECT TO THE REFERENCE
VIALS, ITEM 17, 59 AND 60 IN THIS CASE, WHETHER YOU RETURNED
THOSE ITEMS IN A SEALED CONDITION TO THE EVIDENCE CONTROL UNIT?
     A     YES, I DID.
     Q     WHAT OTHER ITEMS DID YOU RETURN ON THAT DATE?
     A     ON THAT DATE, I RETURNED -- WE HAD BEEN STORING UP TO
THAT DATE MANY OF THE BLOOD OR BIOLOGICAL EVIDENCE ITEMS IN THE
SEROLOGY FREEZER.
           AND AT THAT POINT, I INVENTORIED AND RETURNED THESE
ITEMS.  I CAN GO THROUGH THE LIST IF YOU'D LIKE.
     Q     YEAH.  I KNOW IT'S A LITTLE TIME CONSUMING, BUT IF
YOU COULD.
     A     OKAY.
           THERE WAS ONE PACKAGE THAT INCLUDED ITEM 72 THROUGH
74.
     THE COURT:  IS THERE A DOCUMENT THAT WE CAN USE INSTEAD FOR
THIS PURPOSE IF THERE ARE MULTIPLE ITEMS?
     MR. GOLDBERG:  I DON'T KNOW IF THERE IS A DOCUMENT THAT
DOESN'T HAVE SIGNIFICANT OTHER WRITING ON IT.
     THE COURT:  ALL RIGHT.
           PROCEED.
     THE WITNESS:  IN THAT SAME PACKAGE, ALSO CONTAINED ITEM NO.
82 THROUGH 85.  THERE WAS ONE PACKAGE THAT CONTAINED ITEM NO. 115
THROUGH 117, ANOTHER PACKAGE THAT CONTAINED ITEM NO. 170 THROUGH
175, ANOTHER PACKAGE TO CONTAIN ITEM NO. 293 THROUGH 309, ANOTHER
PACKAGE PURPORTED TO CONTAIN ITEM 118 THROUGH 120, ADDITIONAL
PACKAGE MARKED TO CONTAIN  ITEM NO. 78 THROUGH 80 AND 86 AND 87,
ANOTHER PACKAGE MARKED TO CONTAIN ITEM NO. 91, 93 AND 94 THROUGH
102, A BOX THAT WAS MARKED TO CONTAIN ITEM NOS. 1 THROUGH 9, 11
THROUGH 14, 20 THROUGH 34, 37 THROUGH 39, 41 THROUGH 45 --
     THE COURT:  SLOW DOWN.
     THE WITNESS:  -- 47 THROUGH 52 AND 54 THROUGH 57.
           I BELIEVE THAT WAS THE LAST ONE.
     Q     BY MR. GOLDBERG:  AND WHEN YOU RETURNED THOSE ITEMS
TO THE EVIDENCE CONTROL UNIT, WERE THEY RETURNED IN A SEALED
CONDITION?
     A     YES, THEY WERE.
     Q     OKAY.
           AND I WOULD LIKE TO TURN TO SOME OF THE TESTING THAT
YOU PERFORMED IN THIS CASE, MR. MATHESON.
           FIRST OF ALL, WHEN BLOOD EVIDENCE IS COLLECTED FROM A
CRIME SCENE AND THEN SUBMITTED TO THE SEROLOGY LABORATORY FOR
ANALYSIS, WHAT KIND OF INFORMATION ARE YOU AS A SEROLOGIST
LOOKING FOR TO DERIVE FROM THAT BLOOD EVIDENCE?
     A     WELL, FIRST OFF, WE WANT TO KNOW WHETHER IN FACT IT
IS BLOOD.  IF THAT'S WHAT WE HAVE, IF THERE IS BLOOD PRESENT, WE
WANT TO KNOW WHETHER OR NOT THAT BLOOD IS HUMAN IN ORIGIN.
           AND IF THAT IS A FACT, THEN WE CONTINUE ON TO
IDENTIFY THE DIFFERENT GENETIC MARKERS THAT  MIGHT BE PRESENT OR
IDENTIFIABLE IN A BLOODSTAIN OR AN EXEMPLAR BLOOD SAMPLE.
     Q     AND ARE THE TESTS THAT YOU PERFORM IN SEROLOGY KNOWN
AS TESTS OF EXCLUSION?
     A     THAT'S A TERM FOR IT, YES.
     Q     AND WHAT DOES THAT MEAN?
     A     WELL, THE IDEA BEING IS, THERE AREN'T ANY TESTS,
PARTICULARLY IN CONVENTIONAL SEROLOGY THAT WOULD MAKE A
DEFINITIVE MATCH BETWEEN A BLOODSTAIN AND A PARTICULAR
INDIVIDUAL.  THEY CAN MERELY INCLUDE SOMEBODY.  IN PARTICULAR,
THEY CAN EXCLUDE SOMEBODY.
           IF YOU'RE DOING AN ANALYSIS AND YOU FIND A MARKER
THAT IS IN A STAIN THAT IS NOT IN A REFERENCE SAMPLE, THEN YOU
CAN SAY ABSOLUTELY THAT THAT BLOODSTAIN COULD NOT HAVE COME FROM
THAT INDIVIDUAL.  IT'S AN EXCLUSION.
     Q     WHEN YOU ARE DOING YOUR TESTING, DO YOU HAVE TO
DECIDE WHAT GENETIC MARKERS THAT YOU'RE GOING TO TEST FOR IN A
GIVEN STAIN?
     A     SOMETIMES.  IT DEPENDS ON THE QUANTITY.
     Q     NOW, WHEN YOU'RE GOING ABOUT DECIDING WHAT KIND OF
TESTS YOU'RE GOING TO PERFORM, WHAT ARE YOU TRYING TO DO?  ARE
YOU TRYING TO INCLUDE THE SUSPECT OR EXCLUDE THE SUSPECT?
     A     WELL, THE IDEA -- IF YOU HAVE TO LIMIT YOUR TESTS DUE
TO SAMPLE SIZE OR SOME OTHER CONSIDERATION, THE IDEA IS TO TRY
AND FIND THE TEST THAT IS MORE LIKELY TO EXCLUDE A PARTICULAR
PERSON.
     Q     WELL, WHY IS IT THAT YOU DO IT THAT WAY?
     A     WELL, YOU WANT TO GET THE MOST INFORMATION POSSIBLE.
           THE IDEA IS TO FIND OUT WHETHER OR NOT A SAMPLE COULD
OR COULD NOT HAVE COME FROM SOMEBODY. AND IF YOU ONLY HAVE ONE
SHOT ON IT, YOU WANT TO DO THE ONE THAT'S MOST LIKELY TO EXCLUDE
SOMEBODY.
     Q     CAN YOU GIVE US AN EXAMPLE OF PICKING A GENETIC
MARKER TO TEST FOR THE PURPOSES OF EXCLUSION AS OPPOSED TO
PICKING ONE IN ORDER TO TRY TO INCLUDE SOMEONE?
     A     YES.
           THERE'S -- WE HAVE A VARIETY OF MARKERS THAT ARE
AVAILABLE TO US.  SOME ARE BETTER AT DIFFERENTIATING BETWEEN TWO
STAINS THAN OTHER ONES.
           EXAMPLE MIGHT BE AN ENYZME THAT GOES BY THE INITIALS
OF ADA.  APPROXIMATELY IN THE NEIGHBORHOOD OF 94 TO 97 PERCENT OF
THE POPULATION IS A TYPE 1.  THE REMAINDER OF THE POPULATION IS A
TYPE 2 1 OR A 2.
           IF YOU USE THAT TEST, ODDS ARE, YOU KNOW, 94, 97 OF
THE TIME, YOU'RE GOING TO GET A TYPE 1, AND THAT DOESN'T GIVE YOU
A WHOLE LOT OF INFORMATION.
           THERE'S ANOTHER TEST THAT GOES BY THE INITIALS OF PGM
OR PGM SUBTYPING; THAT RATHER THAN HAVING A CHOICE OF A 1, A 2 1
OR A 2, YOU HAVE 10 DIFFERENT POSSIBLE COMBINATIONS AND YOUR
LIKELIHOOD THEN OF HAVING -- IF A BLOODSTAIN IN FACT DID NOT
COME FROM A PARTICULAR PERSON, THE LIKELIHOOD OF EXCLUDING UNDER
THAT SYSTEM IS MUCH BETTER THAN THE ONE I PREVIOUSLY DESCRIBED.
     Q     SO WHEN YOU SAY THAT YOU'RE TRYING TO PICK OUT TESTS
TO EXCLUDE, WHAT WOULD THAT MEAN IN REFERENCE TO THE -- TO
EXAMPLES THAT YOU GAVE US?
     A     WELL, IT MEANS I WOULD CHOOSE THE PGM SUBTYPE SYSTEM
AS MY BEST CHOICE OF -- BETWEEN THE TWO OF THEM.
           ODDS ARE, IF I CHOOSE ADA, I'M GOING TO INCLUDE THEM
BECAUSE MOST PEOPLE ARE THE SAME TYPE. MY ODDS ARE BETTER OF
EXCLUDING USING THE OTHER SYSTEM.
     Q     NOW, YOU'VE BEEN USING A TERM THAT YOU SAID -- THAT
YOU -- A TERM CALLED "GENETIC MARKER."
           WHAT DO YOU MEAN WHEN YOU'RE TALKING ABOUT GENETIC
MARKER?
     A     WELL, GENETIC MARKER IS SOMETHING THAT EXISTS WITHIN
THE HUMAN BODY.  THE TERM "GENETIC" MEANS IT'S DEPRIVED FROM YOUR
PARENTS.
           YOU HAVE TO HAVE A CERTAIN COMBINATION OF TYPES
BECAUSE OF THE GENETIC INFORMATION THAT'S SUPPLIED TO YOU BY YOUR
PARENTS.
           A MARKER JUST MEANS SOMETHING THAT WE CAN USE TO
IDENTIFY SOMETHING WITHIN THE SYSTEM.
           AN EXAMPLE OF A GENETIC MARKER IS THE ABO BLOOD
TYPING SYSTEM.  YOU'RE A TYPE A, TYPE B, TYPE O OR TYPE AB.
           YOUR TYPE IS DETERMINED BY THE TYPES OF YOUR PARENTS
MAKING A GENETIC AND IT'S A WAY OF DISTINGUISHING POTENTIALLY TWO
BLOOD SAMPLES.
     Q     WHEN YOU USE THIS TERM "GENETIC MARKER," ARE YOU
IMPLYING IN THAT THAT THE TESTS THAT YOU HAVE DONE ARE DNA TYPE
TESTS?
     A     NO.
     Q     WHY IS THE TERM "GENETIC MARKER" USED THEN?
     A     WELL THE TERM "GENETIC MARKER" HAD BEEN AROUND FOR
QUITE A BIT LONGER THAN FORENSIC DNA TESTING.
           LIKE I MENTIONED BEFORE, GENETIC MERELY REFERS TO THE
FACT THAT IT'S DETERMINED -- YOU KNOW, IT'S INHERITED, IT'S
DETERMINED BY YOUR PARENTS.
     Q     SO COULD YOU VIEW SOMETHING LIKE EYE COLOR, DIFFERENT
PEOPLE HAVING DIFFERENT COLOR EYES AS BEING A GENETIC MARKER?
WOULD THAT BE AN APPROPRIATE USAGE OF THE TERM?
     A     AS AN ANALOGY OR AN EXAMPLE, EYE COLOR COULD BE
CONSIDERED A GENETIC MARKER.  YOUR EYE COLOR IS DETERMINED HEREDI
-- BY HEREDITY FROM YOUR PARENTS.
     Q     AND HAVE YOU HEARD OF THE TERM "POLYMORPHIC"?
     A     YES, I HAVE.
     Q     WHAT DOES THAT MEAN?

      A     THAT REFERS TO A SITUATION WHERE YOU HAVE SOMETHING
WITHIN THE BODY, LET'S SAY THE ABO BLOOD TYPE SYSTEM, THAT
EXISTS, PERFORMS THE SAME FUNCTION IN EVERY PERSON BUT EXISTS IN
DIFFERENT FORMS.
     Q     SO AGAIN -- I'M NOT SURE IF THIS ANALOGY WOULD BE
PROPER, BUT COULD YOU VIEW EYE COLOR THEN AS BEING A POLYMORPHISM
IN THAT DIFFERENT PEOPLE HAVE DIFFERENT COLOR EYES, BUT ALL EYES
HOPEFULLY PERFORM THE SAME TASK?
     A     THAT'S CORRECT.
           AN EYE, YOU SEE THROUGH IT, BUT THE EYE COLOR IS
DIFFERENT, BUT DOESN'T AFFECT THE PROCESS.
     Q     NOW, ARE THESE MARKERS, THESE GENETIC MARKERS THAT
YOU'RE TESTING FOR, ARE THEY POLYMORPHIC?
     A     YES, THEY ARE.  OTHERWISE, THERE WOULD NOT BE A
REASON TO DO IT.
     Q     NOW, HOW MANY OF THESE POLYMORPHIC ENZYMES ARE USED
IN FORENSIC TESTING?
     A     OH, I'M NOT SURE OF THE EXACT NUMBER.  I BELIEVE WE
WITHIN OUR LABORATORY REGULARLY USE SEVEN OR EIGHT, SOMETHING
LIKE THAT.  I'D HAVE TO REFER TO SOME NOTES TO REMEMBER EXACTLY.
     Q     ARE THERE MANY MORE GENETIC MARKERS IN PEOPLE'S BLOOD
IN ADDITION TO THOSE SEVEN OR EIGHT?
     A     YES.
     Q     AND HOW ARE THOSE CHOSEN?

      A     WELL, THE CHOICE AS TO WHAT TO USE FORENSICALLY IS,
YOU WANT SOMETHING THAT GIVES YOU A GOOD PERCENTAGE BREAKDOWN OF
THE POPULATION.
           IN OTHER WORDS, THE ONE I MENTIONED BEFORE, THE ADA,
IS ACTUALLY A POOR POLYMORPHIC ENZYME IN THAT THE MAJORITY OF THE
PEOPLE ARE EXACTLY THE SAME TYPE.  WE USE IT FOR OTHER REASONS
BECAUSE IT'S VERY STABLE.
           YOU WANT A MARKER -- IT'D BE PERFECT IF YOU HAD ONE
THAT HAD SAY FOUR DIFFERENT TYPES AND EACH TYPE WAS 25 PERCENT OF
THE POPULATION.
           YOU ALSO NEED A STABLE -- OR A SYSTEM IN FORENSICS
THAT IS STABLE BECAUSE OUR SAMPLES BY NATURE ARE OUTSIDE THE
BODY.  THEY ARE DEPOSITED IN A VARIETY OF DIFFERENT PLACES AND
BEGIN TO DEGRADE. YOU WANT SOMETHING THAT DOESN'T DEGRADE VERY
QUICKLY.
     Q     WHEN YOU SAY "STABLE," IS THAT WHAT YOU'RE TALKING
ABOUT, THAT THEY DON'T DEGRADE AS EASILY?
     A     THAT'S CORRECT.
     Q     DO THESE BLOOD TYPE MARKERS THAT YOU'RE TESTING FOR,
DO THEY CHANGE THROUGH SOMEONE'S LIFETIME?
     A     NO, THEY DO NOT.  THEY STAY CONSISTENT.
     Q     AND IS IT POSSIBLE WHEN YOU'VE DONE A TEST OF A
VARIETY OF THESE MARKERS TO CALCULATE SOME SORT OF A PERCENTAGE
OF THE POPULATION THAT HAS THOSE MARKERS?
     A     YES, IT IS.
     Q     NOW, YOU USED THE TERM "ABO BLOOD TYPE SYSTEM" AND
YOU GAVE US A DESCRIPTION OF THAT, AND YOU SAID THERE ARE HOW
MANY TYPES?
     A     THERE ARE THE FOUR COMMON TYPES; A, B, O AND AB.
     Q     AND IN ADDITION TO THIS ABO SYSTEM, IS THERE ANOTHER
SET OF SYSTEMS THAT YOU'RE LOOKING AT WHEN YOU'RE TESTING FOR
GENETIC MARKERS?
     A     YES.
     Q     WHAT IS THAT?
     A     WELL, THERE ARE A VARIETY OF ONE THAT ARE CALLED
ENZYMES, WHICH IS A CHEMICAL THAT EXISTS IN YOUR BODY TO PERFORM
-- FUNCTION TO HELP KEEP YOU ALIVE, AND THERE ARE A NUMBER OF
THESE ENZYMES THAT ARE POLYMORPHIC, EXIST IN DIFFERENT TYPES AND
CAN BE IDENTIFIED.
     Q     CAN YOU JUST GIVE US A SIMPLE EXPLANATION OF WHAT AN
ENYZME IS?
     A     WELL, AN ENYZME IS SOMETHING THAT CATALYZES OR MAKES
A REACTION OCCUR.  SIMPLY, IT PERFORMS A FUNCTION WITH YOUR BODY
THAT YOUR BODY NEEDS TO EXIST.
     THE COURT:  ALL RIGHT.
           MR. GOLDBERG, WOULD THIS BE AN APPROPRIATE POINT?
     MR. GOLDBERG:  SURE.

      THE COURT:  ALL RIGHT.
           LADIES AND GENTLEMEN, WE ARE GOING TO TAKE A RECESS,
BRIEF RECESS FOR THE MORNING.
           PLEASE REMEMBER ALL MY ADMONITIONS TO YOU; DON'T
DISCUSS THE CASE AMONGST YOURSELVES, FORM ANY OPINIONS ABOUT THE
CASE, CONDUCT ANY DELIBERATIONS OR ALLOW ANYBODY TO COMMUNICATE
WITH YOU.
           WE'LL STAND IN RECESS FOR 15 MINUTES.
           AND, MR. MATHESON, YOU MAY STEP DOWN, SIR.
     THE WITNESS:  THANK YOU.
     THE COURT:  ALL RIGHT.

               (RECESS.)


       THE COURT:  BACK ON THE RECORD IN THE SIMPSON MATTER.
ALL THE PARTIES ARE AGAIN PRESENT.
           THE JURY IS NOT PRESENT.
           ALL RIGHT.  LET'S HAVE THE JURY, PLEASE.
     MR. GOLDBERG:  IS THE JURY COMING OUT?
     THE COURT:  I HOPE SO.

           (BRIEF PAUSE.)


             (THE FOLLOWING PROCEEDINGS WERE
            HELD IN OPEN COURT, IN THE
            PRESENCE OF THE JURY:)

     THE COURT:  ALL RIGHT.  THANK YOU, LADIES AND GENTLEMEN.
           THE RECORD SHOULD REFLECT THAT WE HAVE NOW BEEN
REJOINED BY ALL THE MEMBERS OF OUR JURY PANEL.
           MR. GREGORY MATHESON IS AGAIN ON THE WITNESS STAND
UNDERGOING DIRECT EXAMINATION BY MR. GOLDBERG.
           AND MR. GOLDBERG, YOU MAY CONTINUE.
     MR. GOLDBERG:  THANK YOU.

           (DISCUSSION HELD OFF THE RECORD
            BETWEEN THE DEPUTY DISTRICT
            ATTORNEYS.)

     THE COURT:  MR. GOLDBERG.
     MR. GOLDBERG:  THANK YOU, YOUR HONOR.
     Q     MR. MATHESON, YESTERDAY YOU WERE TESTIFYING ABOUT
USING A PROCESS CALLED ELECTROPHORESIS?
     A     THAT'S CORRECT.
     Q     AND CAN YOU TELL WAS THAT IS?
     A     ELECTROPHORESIS IS A TECHNIQUE THAT IS USED TO
IDENTIFY THE DIFFERENT ENZYME TYPES, THESE  POLYMORPHIC ENZYMES
THAT WE WERE TALKING ABOUT BEFORE.
     Q     SO IS ELECTROPHORESIS USED ON ABO OR JUST THE
ENZYMES?
     A     WELL, IN THE CASE OF THE TYPE OF TESTING WE ARE
TALKING ABOUT HERE IT IS NOT USED IN THE ABO, IT IS USED IN
ENZYMES, AND IT IS USED IN OTHER PURPOSES, TOO.
     Q     AND CAN YOU GIVE US AN EXPLANATION OF HOW THE
ELECTROPHORESIS TECHNIQUE WORKS?
     A     WELL, LIKE IN THE ABO SYSTEM WHERE YOU HAVE DIFFERENT
TYPES THAT CAN BE IDENTIFIED IN THESE ENZYMES, THEY ALSO EXIST IN
DIFFERENT TYPES.
           AN EXAMPLE BEING A PGM THAT I MENTIONED EARLIER, IN
ITS SIMPLE FORM IT IS A TYPE 1 A TYPE 2-1 AND A 2.
           EACH OF THESE TYPES DIFFER SLIGHTLY IN THEIR
STRUCTURE, IN THEIR CHARGE.  THAT IS ONE OF THE WAYS WE USE TO
TELL THEM APART.
           THE ELECTROPHORETIC TECHNIQUE INVOLVES TAKING A GLASS
PLATE THAT IS APPROXIMATELY ABOUT EIGHT INCHES SQUARE, POURING
WHAT IS CALLED AN AGAROSE GEL ON IT, WHICH IS KIND OF LIKE A
JELLO LIKE SUBSTANCE ON THE TOP OF IT, PLACING THE SAMPLES ON --
YOU TAKE SMALL PORTIONS OF THE BLOOD OR THE CLOTH, ABSORB IT ONTO
THREADS, INSERT IT DOWN INTO THE GEL ALL IN A LINE.

            THIS THEN IS PLACED ON THAT COOLING BATH AND
ELECTRICITY IS ALLOWED TO RUN THROUGH IT FROM ONE SIDE TO THE
OTHER IN ONE DIRECTION AND THIS BASICALLY KIND OF PUSHES THE
ENZYMES ALONG AND THEY TRAVEL AT DIFFERENT RATES BASED ON THIS
CHARGE THAT IS ON THEM, THE SLIGHT DIFFERENCES.
           AFTER A PREDETERMINED AMOUNT OF TIME, YOU STOP THAT
ELECTRICAL PROCESS AND PUT CHEMICALS ON IT OVER THE TOP THAT WORK
WITH THE ENZYME SO YOU CAN SEE WHERE THE BANDS LINED UP.
           IN MOST OF THE SYSTEMS YOU IDENTIFY THE TYPE BY THE
QUANTITY AND LOCATION OF THESE BANDS ON THE GEL AND IN SOME
SYSTEMS YOU DO IT AS FAR AS LOCATION AND QUANTITY ALONG WITH THE
INTENSITY OR THE DARKNESS OR BRIGHTNESS OF EACH OF THE INDIVIDUAL
BANDS.
     Q     SO AFTER RUNNING THIS ELECTROPHORESIS GEL, YOU GET
SOME KIND OF A BANDING PATTERN?
     A     THAT'S CORRECT.
     Q     AND THEN WHAT DO YOU DO WITH THAT BANDING PATTERN
AFTER IT APPEARS?
     A     WELL, EACH DIFFERENT TYPE OF AN ENZYME WILL GIVE A
UNIQUE BANDING PATTERN SO YOU ARE THEN ABLE TO INTERPRET IT.  YOU
DON'T JUST DO IT FROM MEMORY, THOUGH.
           ON EACH OF THOSE GELS OR EACH OF THE PLATES THAT I
WAS TALKING ABOUT, WHICH WITH THE SYSTEM THAT WE HAVE SET UP WE
CAN RUN UP TO TWELVE  SAMPLES ON IT, OUT OF THOSE TWELVE SAMPLES
THREE OR FOUR OF THEM MAY BE A CONTROL OR KNOWN SAMPLE OF ALL THE
DIFFERENT TYPES THAT ARE PRESENT IN THE SYSTEM.
           SO YOU WOULD HAVE A SITUATION WHERE WOULD YOU HAVE A
SAMPLE, A CONTROL, A COUPLE SAMPLES AND A CONTROL.  THAT WAY YOU
CAN MAKE DIRECT COMPARISONS BETWEEN YOUR UNKNOWN SAMPLE AND YOUR
KNOWN TYPES AND MAKE THE CALL AND DETERMINE WHAT TYPE IT IS.
     MR. GOLDBERG:  YOUR HONOR, AT THIS TIME I WOULD LIKE TO
MARK AS PEOPLE'S NEXT IN ORDER, IT IS 215 FOR IDENTIFICATION,
ANOTHER BOARD ENTITLED "EVIDENCE TESTING DEMONSTRATION."

           (DISCUSSION HELD OFF THE RECORD
            BETWEEN THE DEPUTY DISTRICT
            ATTORNEYS.)

     THE COURT:  ALL RIGHT.  215.

         (PEO'S 215 FOR ID = POSTERBOARD)

     THE COURT:  CAN WE PUT THAT UP JUST A LITTLE BIT HIGHER?

           (BRIEF PAUSE.)

     THE COURT:  1492, CAN YOU SEE THAT?  UP A LITTLE.
     JUROR 1492:  THAT'S FINE.
     THE COURT:  THANK YOU.
           MR. GOLDBERG.
     MR. GOLDBERG:  THANK YOU.
     Q     SIR, DIRECTING YOUR ATTENTION TO THIS EXHIBIT 215 FOR
IDENTIFICATION, THE FIRST PHOTOGRAPH, PHOTOGRAPH NO. 1, "DOOR TO
SEROLOGY."
           MAY I HAVE THAT ON THE ELMO?
           WHAT DOES THAT PHOTOGRAPH DEPICT?
     A     IT DEPICTS THE DOOR INTO THE SEROLOGY LAB FROM THAT
HALLWAY FROM THE CHART THAT KIND OF GOES AROUND IN A SQUARE
AROUND THE LABORATORY ITSELF.  IT IS ALWAYS -- WHEN YOU ARE
TALKING ABOUT WINDOWS BEFORE, ALTHOUGH THERE ARE NO WINDOWS TO
THE OUTSIDE, EACH OF THE LABORATORIES HAS A COUPLE OF WINDOWS
THAT LOOK FROM THE LAB ITSELF INTO THE HALLWAY.
     Q     SO FROM THE HALLWAY YOU CAN SEE WHAT IS GOING ON
INSIDE THE LABORATORY?
     A     IN MOST AREAS; SOME AREAS YOU CAN'T SEE.
     Q     NOW, DIRECTING YOUR ATTENTION TO CELL
NO. 2 ON THIS DEMONSTRATION EXHIBIT, WHAT DOES THAT SHOW?
     A     THAT IS A PHOTOGRAPH THAT IS TAKEN IF YOU WERE TO
WALK JUST INSIDE THE DOOR SHOWN IN CELL 1 AND TURN TO THE LEFT.
IT LOOKS DOWN THROUGH THE SEROLOGY LABORATORY.
           WHAT YOU SEE ON THE LEFT IS A PERSONAL WORK BENCH
AREA OR ONE OF THE AREAS OF ONE OF OUR  CRIMINALISTS.  TO THE
RIGHT YOU CAN JUST BARELY MAKE OUT A LITTLE BIT OF A LAYOUT
TABLE, AND THEN FARTHER BACK ON THE RIGHT IS ONE OF OUR GROUP OR
ANALYTICAL AREAS.
     Q     AND CAN YOU SEE WHERE THE ELECTROPHORESIS MACHINES
ARE KEPT IN THIS PARTICULAR PHOTOGRAPH?
     A     YES, YOU CAN.
     Q     WHERE IS THAT?
     A     WELL, BY USING THE POINTER TOWARD THE RIGHT OF THE
PHOTOGRAPH YOU CAN SEE THESE REDDISH ENDS, THOSE ARE ALL THE
ELECTROPHORESIS COOLING PLATES OR COOLING TANKS THAT I TALKED
ABOUT EARLIER.
     Q     NOW, DIRECTING YOUR ATTENTION TO CELL
NO. 3 ON THIS EXHIBIT, WHAT DOES THIS SHOW?
     A     OKAY.
           AS I DESCRIBED IN THE PROCESS BEFORE, IN THE
ELECTROPHORESIS, YOU POUR A GEL ON A PLATE THAT IS ABOUT EIGHT
INCHES SQUARE, SOMETHING LIKE THAT. THAT IS DEPICTED IN THE
PICTURE, ONE OF THOSE PLATES.
           THE GEL IS ON THE GLASS PART THERE THAT YOU CAN --
ACTUALLY CAN'T SEE THE GEL BECAUSE IT IS CLEAR.
           THEN THERE IS A ROW OF SLITS THAT ARE PUT IN IT WHERE
THE SAMPLES ARE INTRODUCED.  IT IS CALLED LOADING THE GEL.
           EACH ONE OF THESE RED MARKS THAT YOU SEE IS
INDICATIVE OF EITHER AN UNKNOWN SAMPLE OR A CONTROL OR KNOWN
SAMPLE.
     Q     AND GOING THROUGH THE FOUR ITEMS HERE, CAN YOU TELL
US WHERE THE UNKNOWN SAMPLES WOULD BE, AS OPPOSED TO THE KNOWN
SAMPLE?
     A     WELL, MY PRACTICE IN RUNNING A GEL IS I PUT AN
UNKNOWN IN THE FIRST, A KNOWN SAMPLE IN THE SECOND, UNKNOWN IN
THE THIRD AND THE FOURTH AND THEN A KNOWN ONE WOULD GO IN THE
FIFTH SPOT.
     Q     WHEN YOU SAY "UNKNOWN," YOU ARE TALKING ABOUT WHAT?
     A     ANYTIME I REFER TO AN UNKNOWN SAMPLE, IT IS AN
EVIDENCE SAMPLE.  WE DON'T KNOW THE RESULTS OF IT AT THIS POINT.
     Q     AND THE KNOWN IS WHAT?
     A     THE KNOWN IS A PORTION OF BLOOD WHERE WE KNOW THE
SOURCE OF THAT BLOOD AND WE HAVE ALREADY CHARACTERIZED AND KNOWN
WHAT THE TYPES OF THEM ARE.
     Q     IS THAT WHAT YOU USED TO COMPARE THE UNKNOWN AGAINST?
     A     YES.
     Q     NOW, AFTER THE PLATE IS LOADED, WHAT IS DONE WITH THE
PLATE?
     A     OKAY.
           THE PLATE THEN IS LAID IN THIS -- OR THE FOURTH CELL
HERE THAT IS MARKED "ELECTROPHORESIS." THE WHITE PART IN BETWEEN
THE TWO RED ENDS IS A COOLING PLATE.
           THERE IS A BATH OR A MECHANISM NOT TOO FAR AWAY FROM
HERE WHICH HAS A REFRIGERANT IN IT  WHICH LOWERS THE TEMPERATURE
OF THE WATER.
           THE WATER IS THEN CIRCULATED BACK AND FORTH THROUGH
THESE PLATES SO THAT THE ELECTROPHORESIS GEL IS KEPT AT A LOW
TEMPERATURE SO IT IS LAID ON TOP OF THAT.
     Q     AND FINALLY, IF WE LOOK AT THE FIFTH GEL WHERE IT
SAYS "RUN GEL," WHAT IS THIS SHOWING?
     A     OKAY.
           THIS SHOWS A COUPLE OF DIFFERENT TANKS SIDE-BY-SIDE.
THE RIGHT ONE HERE HAS A GEL LAYING ON THE COOLING BATH TO
ACTUALLY RUN THE ELECTROPHORESIS SYSTEM.  THERE IS WHITE WHAT ARE
FILTER PAPERS CALLED WICKS ON EITHER SIDE OF IT.  THEY ARE IN A
TANK THAT HAS A BUFFER SOLUTION.
           THE WICKS ARE LAID ACROSS THE EDGES OF THE GEL ON
BOTH SIDES AND THEN THERE IS CORDS THAT GO UP TO THE POWER SUPPLY
LOCATED TOWARD THE TOP OF THE PICTURE AND ELECTRICITY IS RUN
THROUGH THE BUFFER, THROUGH THE WICKS, ACROSS THE GEL AND THEN
BACK INTO THE POWER SUPPLY.
           THEY HAVE TO BE KEPT COLD BECAUSE MOST OF OUR SYSTEMS
IN THIS TYPE RUN AT APPROXIMATELY 350, 400 VOLTS AND THAT WOULD
-- IF THERE WASN'T A COOLING SYSTEM, IT WOULD ACTUALLY HEAT THE
GELS UP AND DRY THEM OUT AND THE PROCESS WOULDN'T WORK.
     Q     NOW, IF THIS WERE A REAL CASE AND THIS EVIDENCE WERE
TO BE RUN, WHAT WOULD YOU HAVE TO DO AFTER THE ITEM HAD BEEN --
THE GEL HAD BEEN PLACED ON  THE PLATE AS DEPICTED IN CELL 5?
     A     WELL, LIKE I --
     Q     IS THAT DOOR, THE PLEXIGLASS DOOR CLOSED OR WHAT?
     A     RIGHT.  LIKE I MENTIONED, THE WICKS WOULD HAVE TO BE
LAID FROM THE TANKS ON THE EDGES OF THE GEL.  YOU CLOSE THIS LID
BECAUSE YOU DON'T WANT TO COME IN CONTACT WITH THE VOLTAGE
RUNNING THROUGH IT, AND THE WIRES TO THE BACK OF THE UNIT ARE
PLACED INTO THE POWER SUPPLY WHICH IS ABOVE IT.
     MR. GOLDBERG:  NOW, IF WE CAN GO BACK TO CELL NO. 4 FOR A
SECOND.
           CAN YOU POINT OUT WHERE IT THAT IS THE SAMPLES ARE
THAT HAVE BEEN LOADED ONTO THE GEL IN THIS PHOTOGRAPH?
     A     THEY ARE A LITTLE TOUGH TO SEE, BUT YOU SEE THAT THE
GEL IS BEING HELD UP, THE GEL IS ON A PIECE OF GLASS BEING HELD
UP ON ITS SIDE, AND THE REDDISH SPOTS THAT SHOW UP ABOUT TWO
INCHES OR SO FROM THE BOTTOM OF THE GEL.
     Q     SO ARE THOSE CLOSER TO THE ANALYST'S RIGHT HAND OR
LEFT HAND?
     A     THEY ARE CLOSER TO HIS RIGHT HAND.
     Q     AND CAN YOU TELL US USING THIS PHOTOGRAPH WHEN THE
MACHINE IS HOOKED UP AND THE ELECTRICITY IS ACTUALLY RUNNING
THROUGH IT, CAN YOU DESCRIBE FOR US WHAT HAPPENS?

      A     WELL, AS FAR AS LIKE I MENTIONED IN THE DESCRIPTION
BEFORE, THE CURRENT RUNS THROUGH IT, THERE IS A POSITIVE SIDE AND
A NEGATIVE SIDE, AND IT RUNS FROM THE POSITIVE TO -- CORRECTION
-- THE NEGATIVE SIDE AND A POSITIVE SIDE.
           IT RUNS FROM THE NEGATIVE TO THE POSITIVE SIDE AND
THE ENZYMES THAT ARE PRESENT IN THERE, THEY ARE SUCH THAT THEY --
THEY MOVE ALONG THROUGH THE GEL AT A SLIGHTLY DIFFERENT RATE,
DEPENDING ON THE STRUCTURE OF THEM, AND THE STRUCTURE IS WHAT
DETERMINES THE TYPE.
     Q     SO WHICH WAY DO THEY MOVE?  AS IT IS PLACED ON THE
MACHINE THIS WAY WOULD THEY GO FROM HIS RIGHT HAND TO HIS LEFT
HAND OR THE OTHER WAY?
     A     WELL, IT DEPENDS ON THE SYSTEM.  THIS SYSTEM HERE
THAT IS SETTING UP APPEARS TO BE A PGM SUBTYPE SYSTEM THAT WE USE
AND IT WOULD BE RUNNING FROM THE RIGHT TO THE LEFT.
     Q     AND WHEN THEY RUN FROM THE RIGHT TO THE LEFT, CAN YOU
ACTUALLY SEE SOME SORT OF A BANDING PATTERN WITH YOUR NAKED EYE
AFTER IT IS FINISHED?
     A     NO, YOU CANNOT.
     Q     WHAT DO YOU HAVE TO DO IN ORDER TO SEE THAT?
     A     AFTER THE RUN TIME YOU REMOVE THIS GEL FROM THE
COOLING PLATE AND YOU HAVE PREPARED WHAT ARE CALLED DEVELOPMENT
CHEMICALS, AND THEY ARE OPTIMIZED FOR A PARTICULAR ENZYME SYSTEM.

           THE CHEMICALS CONTAIN OR THE SOLUTION CONTAINS
CHEMICALS THAT REACT WITH THE ENZYME SO THAT WE CAN SEE THEM.
           NORMALLY, IF IT IS A VISIBLE THING THAT YOU CAN SEE
WITH YOUR EYE IN WHITE LIGHT, IT IS A DARK BLUISH ALMOST BLACK
TYPE OF BAND FORMED.
           THERE IS ANOTHER TYPE THAT REACT WITH WHAT ARE CALLED
FLORESCENT CHEMICALS AND YOU HAVE TO LOOK AT THEM UNDER
ULTRAVIOLET LIGHT.
     Q     AFTER THE PLATE IS RUN AND THE DEVELOPMENT CHEMICALS
ARE PUT ON, IS SOMETHING DONE TO PRESERVE THAT PLATE?
     A     YES.  THE PLATE ITSELF IS NOT PRESERVED; HOWEVER, THE
RESULTS ARE PHOTOGRAPHED.  THEY ARE ACTUALLY PHOTOGRAPHED SEVERAL
TIMES THROUGHOUT THE DEVELOPMENT PROCESS.
           IT DOESN'T JUST POP UP ALL AT ONCE.  IT SLOWLY
BECOMES VISIBLE IN MOST OF THE SYSTEMS AND YOU TAKE PICTURES
ALONG THE WAY.
     Q     ALL RIGHT.
           AND DO YOU READ YOUR RESULTS OFF THE PLATE OR OFF THE
PHOTOGRAPHS?
     A     ACTUALLY TO SOME EXTENT BOTH.  YOU READ THEM FROM
BOTH.
     Q     HOW COMPLEX IS THIS TECHNIQUE -- HOW COMPLEX WAS THIS
FOR YOU TO LEARN HOW TO DO THIS TECHNIQUE?

      A     WELL, IT IS NOT A TERRIBLY EASY TECHNIQUE, BUT IT
ALSO ISN'T DIFFICULT.
           I WAS ABLE TO -- I MENTIONED YESTERDAY A COURSE THAT
I TOOK BACK AT THE FBI ACADEMY WHICH LASTED ABOUT TWO WEEKS IN
DURATION.
           DURING THAT TWO WEEKS I WENT INTO IT WITH HAVING USED
THIS TECHNIQUE MAYBE LESS THAN HALF A DOZEN TIMES OR SO JUST
PRACTICING IN THE LABORATORY.
           AND WITHIN THE TWO WEEKS I BECAME FAIRLY PROFICIENT
AT RUNNING SAMPLES.
     Q     NOW -- THANK YOU.
           YOU SAID IT WAS POSSIBLE TO CALCULATE THE FREQUENCIES
OF PEOPLE THAT HAVE DIFFERENT GENETIC MARKERS THAT YOU HAVE
TESTED.
           IS THERE A RULE KNOWN AS THE PRODUCT RULE THAT YOU
APPLY IN DOING THIS?
     A     YES.
     Q     WHAT IS THAT?
     A     WHAT THAT IS, IS IT ALLOWS YOU TO DETERMINE THE TYPES
OF DIFFERENT MARKERS YOU IDENTIFY AND IT IS POSSIBLE, JUST
THROUGH STATISTICS, YOU KNOW THAT GOING BACK TO THE ABO BLOOD
TYPING SYSTEM THAT A CERTAIN PERCENTAGE OF THE POPULATION IS A
TYPE A, A CERTAIN PERCENTAGE B AND SO THIS IS ALSO TRUE OF THE
DIFFERENT ENZYMES THAT I AM TALKING ABOUT.
           SO ONCE YOU HAVE IDENTIFIED THE TYPES, SAY, IN TWO
DIFFERENT MARKERS, ABO BLOOD SYSTEM AND MAYBE THIS PGM SYSTEM
THAT WE HAVE TALKED ABOUT, YOU  CAN MULTIPLY TOGETHER THE
PERCENTAGES OF EACH OF THE TYPES THAT ARE PRESENT AND COME OUT
WITH A SMALLER PERCENTAGE OF THE POPULATION THAT HAS THOSE TWO
TYPES TOGETHER.
     Q     CAN YOU GIVE US AN EXAMPLE OF THAT?
     A     WELL, STARTING WITH THE ABO SYSTEM, ABOUT ROUGHLY
HALF OF THE POPULATION IS A TYPE O OR ABOUT FIFTY PERCENT OF THE
POPULATION.
           IF IT WAS THE ONLY TEST THAT WAS AVAILABLE TO US, WE
CAN ANALYZE A BLOOD STAIN AND DETERMINE THAT IT IS A TYPE O AND
THE BEST INFORMATION OUT OF THAT IS THAT HALF THE PEOPLE IN THIS
ROOM COULD HAVE CONTRIBUTED THAT BLOOD STAIN.
           WELL, THEN WE GO AHEAD AND RUN ONE OF THESE
ADDITIONAL GENETIC MARKERS.  LET'S SAY OUT OF THAT WE IDENTIFY A
TYPE THAT ALSO EXISTS IN FIFTY PERCENT OF THE POPULATION.  WELL,
NOW WE HAVE TWO PIECES OF INFORMATION.
           YOU CAN MULTIPLY THOSE TWO TOGETHER AND NOW YOU KNOW
THAT THAT STAIN DOWN THERE THAT IS AN ABO TYPE O PLUS THIS OTHER
MARKER EXISTS IN ABOUT 25 PERCENT OF THE POPULATION OR ABOUT ONE
OUT OF EVERY FOUR PEOPLE, RATHER THAN ONE OUT OF EVERY TWO.
           WITH EACH ADDITIONAL MARKER YOU ADD YOU KEEP
MULTIPLYING THAT PERCENTAGE AND THE NUMBER OF POSSIBLE PEOPLE
THAT COULD HAVE LEFT THE STAIN GETS SMALLER AND SMALLER.

      Q     SO IF YOU HAD A THIRD MARKER IN YOUR HYPOTHETICAL
THAT WAS ALSO FIFTY PERCENT, YOU WOULD MULTIPLY 25 TIMES 50 FOR
12 AND A HALF?
     MR. BLASIER:  YOUR HONOR, I'M GOING TO OBJECT AND MOVE TO
STRIKE THAT LAST ANSWER AS BEING LACK OF FOUNDATION AND I THINK
WE NEED TO APPROACH ON THIS.
     THE COURT:  OVERRULED.
     THE WITNESS:  YES, THAT'S CORRECT.  WITH EACH ADDITIONAL
MARKER, IF IT WAS HALF, YOU WOULD KEEP CUTTING THE NUMBER IN
HALF.  IT WOULD GO TO ONE IN FOUR TO ONE IN EIGHT TO ONE IN
SIXTEEN AND SO ON.
     Q     BY MR. GOLDBERG:  AND IS THIS USE OF THE PRODUCT RULE
IN CALCULATING THE PERCENTAGE OF THE POPULATION THAT HAS A GIVEN
SET OF GENETIC MARKERS ONE THAT IS ACCEPTED IN THE FORENSIC
SCIENCE COMMUNITY?
     A     YES, IT IS.
     Q     FOR HOW LONG HAS THIS BEEN USED?
     THE COURT:  WHICH?
     Q     BY MR. GOLDBERG:  IF YOU KNOW THE PRODUCT RULE IN
TERMS OF APPLYING IT IN THIS CONTEXT WITH ABO SYSTEMS AND THE
OTHER GENETIC MARKERS?
     MR. BLASIER:  OBJECTION, VAGUE TO "OTHER GENETIC MARKERS."
     THE COURT:  SUSTAINED.
     Q     BY MR. GOLDBERG:  WELL, THE ABO SYSTEM PLUS THE OTHER
ENZYME SYSTEM THAT YOU TYPED?
     MR. BLASIER:  VAGUE.
     THE COURT:  VAGUE.  WHAT SYSTEM?
     Q     BY MR. GOLDBERG:  WELL, YOU SAID THAT THERE ARE ABOUT
EIGHT OR SO ENZYME SYSTEMS THAT YOU TYPE?
     A     THAT WE HAVE THE CAPABILITY OF TYPING IN OUR
LABORATORY, YES.
     Q     AND IS THAT PRETTY STANDARD THROUGHOUT THE FORENSIC
COMMUNITY, THAT THOSE ARE THE SYSTEMS THAT ARE USED?
     A     WITH SOME SLIGHT VARIATION, BUT YES.
     Q     WITH RESPECT TO THE SYSTEMS THAT ARE USED IN YOUR
LABORATORY, HOW LONG, IF YOU KNOW, HAS THE PRODUCT RULE BEEN USED
TO CALCULATE THE FREQUENCIES OF THOSE SYSTEMS TOGETHER WITH ABO?
     A     WELL, IT HAS BEEN USED IN OUR LABORATORY SINCE I
STARTED, WHICH WAS IN 1978, AND I BELIEVE THE MARKERS HAVE BEEN
AVAILABLE, THEY HAVE BEEN USED WITH EACH NEW ONE AS IT IS
DEVELOPED.
     Q     OKAY.
           NOW, IN TERMS OF THE CONVENTIONAL SEROLOGY, AND THE
ELECTROPHORESIS TESTS THAT YOU HAVE BEEN DISCUSSING THIS MORNING,
IS THERE A PROBLEM WITH CROSS-CONTAMINATION BETWEEN THE SAMPLE AS
YOU ARE DOING THE TEST?
     A     I'M SORRY, WOULD YOU REPEAT THE QUESTION.
     Q     IS THERE A PROBLEM WITH CROSS-CONTAMINATION AS YOU
ARE TESTING THESE ITEMS?

      A     IF I UNDERSTAND WHAT YOU ARE SAYING, I MEAN YOU
ALWAYS WANT TO BE CAREFUL THAT YOU DON'T ALLOW ONE ITEM TO COME
IN CONTACT WITH ANOTHER ONE SO THAT YOU HAVE THE POTENTIAL OF
TRANSFERRING INFORMATION BETWEEN THE TWO.
     Q     HOW SENSITIVE IS THIS PARTICULAR TEST?
     A     THESE --
     MR. BLASIER:  OBJECTION WITHOUT SOME DEFINITION.
     THE COURT:  SUSTAINED.
     Q     BY MR. GOLDBERG:  HOW MUCH OF A SAMPLE DO YOU NEED IN
ORDER TO BE ABLE TO TEST AN ITEM OF EVIDENCE USING
ELECTROPHORESIS?
     A     FOR THE SYSTEMS THAT WE USE, WE NEED A SAMPLE THAT
HAS, YOU KNOW, SOME COLOR TO IT, YOU KNOW, TOWARDS A PALE TO DARK
RED.  APPROXIMATELY A QUARTER INCH LONG THREAD SIZE IS ABOUT THE
SAMPLE YOU NEED TO GET A GOOD RESULT.
     Q     IF WE WERE TO DEFINE CONTAMINATION AS BEING
INTRODUCING SOMETHING ONTO A PIECE OF BIOLOGICAL EVIDENCE THAT
WAS TO CAUSE THE EVIDENCE TO BE MISTYPED, WHAT WOULD YOU NEED TO
DO IN ORDER TO CONTAMINATE BIOLOGICAL EVIDENCE USING THAT
DEFINITION?
     A     WELL, IN THE AREA OF THE CONVENTIONAL TYPE OF TYPING
WE ARE TALKING ABOUT, YOU DON'T GET RESULTS WITH -- WITH SAMPLES
THAT YOU CAN'T SEE.

            IT WOULD HAVE TO BE SUFFICIENT QUANTITY THAT YOU ARE
VISIBLY SEEING THAT YOU ARE TRANSFERRING SAMPLE FROM ONE TO THE
OTHER.
     Q     SO IT WOULD BE SOMETHING THAT YOU WOULD VISUALLY SEE?
     A     YES.
     Q     AND TO YOUR KNOWLEDGE HAS THERE EVER BEEN A PROBLEM
OF CONTAMINATION AS I HAVE DEFINED IT, INSIDE OF YOUR LABORATORY
IN THE SEROLOGY SECTION?
     A     A PROBLEM AS FAR AS CONTAMINATION IN THE CONVENTIONAL
SYSTEMS?
     Q     YES.
     A     NOT TO MY KNOWLEDGE, NO.
     Q     OKAY.
           AND IN THE AREA OF PCR TESTING, DO YOU USE KITS THAT
ARE MANUFACTURED BY AN OUTSIDE FIRM?
     A     YES, WE DO.
     Q     WHO DOES THAT COME FROM?
     A     THE COMPANY HAS CHANGED NAMES A COUPLE TIMES.  IT WAS
ORIGINALLY CETUS.  I BELIEVE IT IS ROCHE BIOCHEMICALS NOW.
     Q     AND WITH RESPECT TO THOSE KITS, TO YOUR KNOWLEDGE,
HAS THERE EVER BEEN ANY DEFECT IN THE KITS THAT YOU WERE
SUPPLIED?
     A     WELL, I WAS MADE AWARE OF A TIME IN OUR LABORATORY
WHERE WE WERE GETTING RESULTS SHOWING UP IN OUR CONTROLS AND
OTHER AREAS IN THE PROCESS THAT WAS EVENTUALLY, WE BELIEVE,
TRACED BACK TO A  PARTICULAR LOT OF KITS.
     Q     WAS THAT PRIOR TO JUNE 14TH OF LAST YEAR?
     A     YES, IT WAS.
     Q     CAN YOU GIVE US AN ESTIMATION OF HOW MUCH PRIOR?
     A     AT LEAST A COUPLE MONTHS.  I'M NOT EXACTLY SURE OF
THE DATE.
     Q     AND WHAT WAS THIS PROBLEM?
     A     WELL, WE WERE SHOWING A TYPE WITHIN THAT SYSTEM WAS
TYPEABLE OR BECOMING APPARENT IN OUR CONTROLS IN AREAS WHERE WE
WERE NOT EXPECTING TO SEE ANY RESULT AT ALL.
     Q     WHAT DO YOU MEAN IT WAS BECOMING APPARENT IN THE
CONTROLS?
     A     WELL, THERE ARE CONTROLS BUILT INTO THE SYSTEM THAT
ALLOW YOU TO CHECK WHETHER OR NOT THE PRESENCE OF CONTAMINATION.
CONTAMINATION IS A FACT OF LIFE WHEN IT COMES TO FORENSIC
SAMPLES, SO YOU ALWAYS HAVE CONTROL BUILT IN, BOTH THE CONTROLS
THAT ARE PICKED UP AT THE SCENE, PLUS CONTROLS THAT ARE
INTRODUCED AT DIFFERENT STAGES OF THE TESTING THAT SHOULD COME
OUT BLANK WHEN YOU ARE ALL DONE, SHOULD NOT YIELD A RESULT.
           AND IF A RESULT IS OBTAINED DURING -- YOU KNOW IN
SOME OF THESE CONTROLS, IT SHOWS THAT THERE IS SOME SORT OF
CONTAMINATION OCCURRING.
     Q     AND DID THE CONTROLS IN FACT WORK FOR THAT PURPOSE IN
THIS INCIDENT?
     A     YES, THEY DID.
     Q     NOW, WAS THIS AN INCIDENT THAT YOU WERE PERSONALLY
INVOLVED IN OR HAD PERSONAL INVOLVEMENT WITH?
     A     NO.
     Q     DID YOU EVER READ ANY DOCUMENTATION, AROUND THE TIME
THAT IT OCCURRED, PERTAINING TO THE INCIDENT?
     A     NO, I DID NOT.
     Q     AND HOW WAS IT RESOLVED?
     A     I WAS ADVISED BY THE PEOPLE THAT WERE DOING THE TESTS
THAT UPON RECEIVING A NEW LOT KIT FROM THE COMPANY WE WERE NO
LONGER SEEING THAT TYPE SHOWING UP IN OUR CONTROLS.
     Q     WHEN YOU SAY "A LOT," WHAT ARE YOU TALKING ABOUT?
     A     WELL, WHEN THINGS ARE PRODUCED OR MANUFACTURED THEY
PUT A LOT NUMBER ON IT SO THAT YOU CAN TRACK.  I WOULD ASSUME
THEY CAME FROM THE SAME BATCH OF CHEMICALS OR WHATEVER IN THE
FACTORY, BUT IT IS AN ASSIGNED LOT NUMBER TO A SEQUENCE OF
REAGENTS OR KITS.
     Q     OKAY.
           NOW, GOING BACK TO A CONVENTIONAL TESTING FOR A
MOMENT, IN THE AREA OF CONVENTIONAL TESTING DOES THE LABORATORY
TAKE PROFICIENCY TESTS?
     A     YES.
     Q     AND WHAT ARE THOSE?
     A     WELL, WE SUBSCRIBE TO A COUPLE OF DIFFERENT OUTSIDE
COMPANIES THAT SUPPLY US WITH UNKNOWN SAMPLES.  ONE OF THEM IS
COLLABORATIVE TESTING SERVICE AND THE OTHER IS CAP OR THE COLLEGE
OF AMERICAN PATHOLOGISTS.
           THEY SEND US CASE-LIKE SAMPLES.  WE DON'T KNOW THE
RESULTS OF THEM.  AND AS SUPERVISOR I WOULD RECEIVE THESE ITEMS
AND EITHER, IF THERE WAS SUFFICIENT SAMPLE, DIVIDE THEM UP
BETWEEN A NUMBER OF THE ANALYSTS WITHIN THE LABORATORY, OR IF IT
WAS A SMALL SAMPLE, ASSIGN TO IT ONE PARTICULAR ANALYST, AND THEY
WOULD TEST THEM, WE WOULD THEN SUBMIT OUR RESULTS TO WHATEVER
COMPANY IT HAPPENED TO BE, AND THEN I GET THE RESULTS BACK FROM
THEM AT A LATER TIME.
     Q     AND DO YOU ALSO TAKE PROFICIENCY TESTS IN THE AREA OF
PCR TESTING IN YOUR LABORATORY?
     A     YES.
     Q     AND HOW IS THAT DONE?
     A     THE SIMILAR PROCESS.  AS A MATTER OF FACT, THE --
BOTH CAP AND CTS ARE GEARING THEM MORE NOW TOWARD THE DNA PROCESS
THAN CONVENTIONAL.
     Q     AND HAVE THOSE PROFICIENCY TESTS BEEN PASSED?
     A     YES.
     Q     NOW, WE WERE TALKING A LITTLE BIT ABOUT THE SUBSTRATE
CONTROLS AND THE USE OF THE CONTROLS YESTERDAY.
           WHEN YOU ARE DOING YOUR CONVENTIONAL TESTING, DO YOU
USE THOSE CONTROLS IN ANY WAY?
     A     YES, I DO, FOR PART OF THE TESTING.
     Q     FOR WHAT PART DO YOU USE THEM?
     A     I USE THEM DURING THE COURSE OF DETERMINING WHETHER
OR NOT A SAMPLE IS HUMAN AND IN THE ABO TESTING.
     Q     WHEN YOU USE A SUBSTRATE CONTROL, WHEN YOU USE
SUBSTRATE CONTROLS IN THIS CASE, DID YOU USE THE ENTIRE CLOTH
SQUARE OR A PORTION OF IT?
     A     JUST A PORTION.
     Q     WHAT DO YOU DO WITH IT IN ORDER TO TAKE A PORTION?
     A     I WOULD -- I OPEN UP THE BINDLE THAT CONTAINS IT AND
I WOULD MAKE A CUTTING FROM IT THAT IS APPROPRIATE SIZE FOR THE
TESTS THAT I WANT TO RUN.
           I MAY NOT DO A CUTTING.  SOMETIMES I WILL ACTUALLY
TAKE TWEEZERS OR FORCEPS AND TEASE OUT A COUPLE OF THE THREADS OR
FIBERS THAT ARE PRESENT.
     Q     AND WHY IS THAT USED IN THE ABO SYSTEM?
     A     BECAUSE IT IS KNOWN THAT THERE ARE THINGS OUT THERE
BESIDES ABO SUBSTANCES THAT WILL GIVE ACTIVITY OR RESULTS THAT
CAN MIMIC OR LOOK LIKE ABO.
           CERTAIN TYPES OF CLOTH CAN TEND TO GIVE YOU WHAT IS
CALLED A FALSE POSITIVE FOR AN ABO ANTIGEN WHICH IS ONE OF THE
THINGS WE LOOK AT WHEN WE ARE TYPING FOR THE ABO SYSTEM AND YOU
WANT TO KNOW IF  THE SURFACE WITH YOUR STAIN ON IT IS GOING TO
HAVE THIS TYPE OF ACTIVITY PRESENT.
     Q     WAS THE LABORATORY USING SUBSTRATE CONTROLS PRIOR TO
THE USE OF PCR TECHNOLOGY?
     A     YES.
     Q     AND WAS IT BECAUSE OF THE ABO SYSTEM FOR THE REASONS
THAT YOU JUST DESCRIBED THAT YOU DID?
     A     YES, THAT'S CORRECT.
     Q     WHAT ABOUT FOR THE OTHER GENETIC MARKERS THAT YOU ARE
TYPING?  DO YOU USE THE SUBSTRATE CONTROL FOR THAT?
     A     NO, I DO NOT.
     Q     WHY DO YOU NOT USE THEM FOR THOSE?
     A     WELL, AS OPPOSED TO THE ABO SYSTEM WHERE I MENTIONED
THERE ARE THINGS OUT THERE THAT CAN MIMIC THE SAME TYPE OF
ACTIVITY, THAT IS NOT TRUE FOR THE ENZYME SYSTEMS THAT WE USE.
     Q     WHAT ABOUT THE IDEA OF TESTING THEM FOR THE PURPOSES
OF DETERMINING OF WHETHER THERE WAS ANY TYPE OF CONTAMINANT ON
THE SUBSTRATE CONTROL?
           WHY WON'T YOU DO THAT WHEN YOU ARE TESTING?
     A     WELL, I DO USE IT FOR THE HUMAN TEST, AND IF THAT
COMES UP NEGATIVE, THERE IS NO BIOLOGICAL MATERIAL PRESENT THAT
WOULD GIVE ME A RESULT.
     Q     WOULD YOU EXPECT TO GET ANY RESULT ON
ELECTROPHORESIS, IF YOU SAW A SUBSTRATE CONTROL THAT HAD NO
VISIBLE BLOOD ON IT?
      A     OF WE ARE TALKING ABOUT A BLOOD STAIN, NO, I WOULD
NOT.
     Q     NOW, IN JUNE AND SEPTEMBER OF LAST YEAR DID YOU DO
CERTAIN TESTING ON SOME OF THE ITEMS BEARING THE DR NUMBER OF
THIS CASE?
     A     YES, I DID.
     Q     AND DID YOU GENERATE REPORTS RELATED TO THAT TESTING?
     A     YES.
     MR. GOLDBERG:  I THIS TIME I WOULD LIKE TO MARK WHAT'S
CALLED THE "SEROLOGY RESULTS" CHART AS PEOPLE'S NEXT IN ORDER.
     THE COURT:  THAT WILL BE --
     MR. GOLDBERG:  216.
     THE COURT:  216.
     Q     BY MR. GOLDBERG:  SIR, DIRECTING YOUR ATTENTION TO
PEOPLE'S FOR IDENTIFICATION, HAVE YOU SEEN THIS CHART BEFORE?
     A     YES, I HAVE.
     THE COURT:  ALL RIGHT.  MR. GOLDBERG, DIDN'T WE MARK THIS
EARLIER AS 202?
     MR. GOLDBERG:  THE CHART?
     THE COURT:  MISS MARTINEZ CONFIRMS THAT.
     MR. GOLDBERG:  YES, YOU DO.
     THE COURT:  ALL RIGHT.  PEOPLE'S 2 02.
           MR. GOLDBERG.


      MR. GOLDBERG:  THANK YOU.
     Q     SIR, SHOWING YOU PEOPLE'S 202 FOR IDENTIFICATION,
DOES THAT SUMMARIZE INFORMATION THAT WAS CONTAINED ON REPORTS
THAT YOU GENERATED IN CONNECTION WITH YOUR TESTING IN THIS CASE?
     A     IT SUMMARIZES INFORMATION FROM THE REPORTS, PLUS SOME
ADDITIONAL INFORMATION FROM SOME OF THE NOTES.
     Q     ALL RIGHT.
           NOW, STARTING FIRST WITH THE NOTES, WHAT KIND OF
NOTES DO YOU GENERATE WHEN YOU ARE TESTING ITEMS
CONTEMPORANEOUSLY WITH THE TESTING?
     A     WELL, THERE IS -- WHILE THE TESTING IS GOING ON WHAT
IS PREPARED IS A SEROLOGY CASE SUMMARY SHEET WHICH WILL
EVENTUALLY HAVE A SUMMARY OF ALL THE RESULTS ON EACH OF THE
ITEMS.
           WHILE I'M DOING THIS I'M REFERRING TO SOME NOTES I
HAVE OF MY ANALYSIS FROM JUNE OF 1994, JUST SO I CAN MAKE SURE I
CAN REMEMBER ALL THE DIFFERENT FORMS.
           SO I DESCRIBED THIS AS A SEROLOGY CASE SUMMARY SHEET.
           THERE IS ALSO WHAT HAS BEEN PREVIOUSLY DESCRIBED
"SEROLOGY ITEM DESCRIPTION NOTES."
           THOSE ARE THE NOTES WHERE WE GIVE A LITTLE BIT MORE
DETAILED DESCRIPTION OF THE ACTUAL ITEM.

            AND THEN THERE ARE WHAT ARE CALLED ELECTROPHORESIS
WORK SHEETS THAT ARE CREATED DURING THE ELECTROPHORESIS PROCESS.
           EACH PLATE THAT YOU SAW EARLIER WILL HAVE A SHEET
THAT GOES ALONG WITH IT TO IDENTIFY THE DIFFERENT SAMPLES AND
WHERE THEY ARE LOCATED ON THE GEL.
           THERE MAY ALSO BE JUST NOTE PAGES, BLANK PAGES.
SOMETIMES WE WILL WRITE ON THE BACK OF SOME THESE FOR SOME
ADDITIONAL INFORMATION.
     Q     ARE THE NOTATIONS, THE NOTES THAT YOU JUST REFERRED
TO, ONES THAT HAVE BEEN LABELED WITH "L" NUMBERS AND PROVIDED TO
BOTH SIDES IN DISCOVERY?
     A     YES, THAT'S CORRECT.
     Q     UMM, NOW, WHICH ARE THE REPORTS THAT ARE DONE AT THE
TIME OF THE TEST?  WHICH OF THE TWO TYPES OF REPORTS THAT ARE
DONE CONTEMPORANEOUSLY WITH THE TEST?
     A     WELL, THE TYPE THAT IS DONE CONTEMPORANEOUSLY WITH
THE TEST, THE ELECTROPHORESIS WORK SHEET WHICH WOULD GO ALONG
WITH EACH OF THE ELECTROPHORESIS RUNS I DESCRIBED.  THERE IS ALSO
I MENTIONED THAT SOMETIMES WE WILL TAKE NOTES ON THE BACK OF A
PAGE.
           IN THE ABO BLOOD TYPING TEST WE DON'T HAVE
NECESSARILY A FORM WHERE THAT IS RECORDED.  A LOT OF TIMES WE
JUST WRITE THE RAW DATA ON THE BACK OF ONE OF THE OTHER PAGES AND
THAT IS DONE WHILE YOU  ARE ACTUALLY DOING THE ANALYSIS.
     Q     AND WHAT TYPE OF INFORMATION OR WHERE DID THE
INFORMATION COME FROM THAT WAS USED TO COMPILE THIS CHART?  WAS
IT JUST THE REPORTS, THE ANALYZED EVIDENCE REPORTS OR ALSO THE
ELECTROPHORESIS WORK SHEETS?
     A     I BELIEVE INFORMATION THAT WENT ONTO THIS REPORT CAME
>FROM MY REPORTS -- OR WERE PUT ON THIS -- CAME FROM MY REPORTS --
A COMBINATION OF THAT, THE CASE SUMMARY SHEET AND THE
ELECTROPHORESIS WORK SHEETS.
     Q     NOW, DOES THIS PARTICULAR CHART CONTAIN TEST RESULTS
OF TESTING THAT YOU DID BETWEEN JUNE THE 27TH AND 29TH ON THE
REFERENCE SAMPLES, 17, 59 AND 60 AND ALSO ITEM 49?
     A     YES, IT DOES.
     Q     AND WHO ACTUALLY DID THAT TESTING PHYSICALLY?
     A     WELL, IT DEPENDS ON WHICH PART YOU ARE TALKING ABOUT.

I DID SOME AND THEN I OBSERVED SOME PLACEMENT AND SOME OF THE
ACTUAL HANDS-ON WORK ON THE ELECTROPHORESIS WAS DONE ON MR.
YAMAUCHI.
     Q     WHEN YOU SAY THAT THE ELECTROPHORESIS WAS DONE BY MR.
YAMAUCHI, WHAT DID HE DO?  WAS IT IN YOUR PRESENCE?
     A     MOST OF IT WAS; NOT ALL OF IT.
     Q     WHAT DID YOU SEE HIM DOING?

      A     WELL, ONE OF THE MOST IMPORTANT PARTS OF THAT TEST,
AS FAR AS SAMPLE CONTINUITY, IS RECORDED ON THE ELECTROPHORESIS
SHEET WHICH SAMPLE GOES IN WHICH LANE AND THEN MAKING SURE THAT
THE SAMPLE YOU ARE SAYING IS ON THIS SHEET IS ACTUALLY IN THAT
LANE.
           I SAT ALONGSIDE OF HIM WHILE WE SAMPLED, YOU KNOW,
OPENED UP, IN THE CASE OF, SAY, ITEM NO. 49, OPENED UP THE
BINDLE, CUT A SMALL PORTION FROM THE SWATCH, IT WAS THEN PLACED
INTO A NUMBERED WELL WHICH CORRESPONDED WITH A NUMBER ON THE
ELECTROPHORESIS SHEET.
           AND I WATCHED HIM THEN TRANSFER THAT INTO THE GEL
ALONG WITH THE EXEMPLAR SAMPLES AND THE KNOWN STANDARD SAMPLES
THAT WERE INCLUDED.
     Q     SO HE DID THE PHYSICAL MANIPULATIONS IN TERMS OF
LOADING THE GEL?
     A     WHEN IT CAME TO THE ELECTROPHORESIS WORK, YES.
     Q     AND THAT WAS IN YOUR PRESENCE?
     A     YES, IT WAS.
     Q     AND THEN WHAT HAPPENED AFTER THE GEL HAD BEEN RUN AND
THE RESULTS WERE READY TO BE READ?
     A     AT THAT POINT HE TOOK PHOTOGRAPHS OF THEM.  WHEN I
WAS AVAILABLE I CO-READ THEM WITH HIM AND WE DETERMINED WHAT
TYPES WERE PRESENT ON THE PLATE.


      Q     NOW, SIR, DO YOU RECALL TESTIFYING ABOUT THE TESTS
WHEN YOU TESTIFIED AT THE PRELIMINARY HEARING IN THIS CASE?
     A     YES, I DO.
     MR. GOLDBERG:  COUNSEL, DIRECTING YOUR ATTENTION TO PAGE 4
OF THE PRELIMINARY HEARING ON JULY THE 8TH, 1994.
           I WOULD LIKE TO READ BETWEEN LINES 2 AND LINES 23.
     MR. BLASIER:  PAGE 4, WHAT LINE?
     MR. GOLDBERG:  BETWEEN 2 AND 23.

           (BRIEF PAUSE.)

     MR. BLASIER:  OBJECTION, HEARSAY.
     THE COURT:  SUSTAINED.
     MR. GOLDBERG:  DOES THE COURT HAVE A COPY?
     THE COURT:  YES, I DO, PAGE 4.
           SUSTAINED.
     MR. GOLDBERG:  PRIOR INCONSISTENT STATEMENT.
           WELL, HOLD ON FOR A SECOND.

           (DISCUSSION HELD OFF THE RECORD
            BETWEEN THE DEPUTY DISTRICT
            ATTORNEYS.)

     THE COURT:  YOU ARE SAYING 1235 IS AN EXCEPTION?
     MR. GOLDBERG:  (NODS HEAD UP AND DOWN.)
     THE COURT:  IS THAT YES?
     MR. GOLDBERG:  YES.
     THE COURT:  PROCEED.

           (BRIEF PAUSE.)

     Q     BY MR. GOLDBERG:  SIR, AT THE PRELIMINARY HEARING DID
YOU TESTIFY AS FOLLOWS TO THE FOLLOWING QUESTIONS?
               "QUESTION:  I THINK WHERE WE LEFT OFF YESTERDAY I
THINK YOU INDICATED THAT YOU TESTED ITEM 49 WHICH WAS THE BLOOD
DROP FROM THE TRAIL LEFT AT 875 SOUTH BUNDY SHOWN IN THE CLOSE-UP
OF PHOTOGRAPH E AND SHOWN IN THE PERSPECTIVE IN PHOTOGRAPH D.
               "DO YOU RECALL SAYING THAT?
               "ANSWER:  THAT'S CORRECT.
               "QUESTION:  AND YOU TESTED -- AND YOU TESTED THAT
INITIALLY TO DETERMINE IF IT WAS HUMAN ORIGIN?
               "ANSWER:  YES.
               "QUESTION:  AND WITH RESPECT TO THE BLOOD SAMPLES
THAT WERE RETRIEVED FROM THE DEFENDANT AND FROM RONALD GOLDMAN
AND NICOLE BROWN SIMPSON, WITH RESPECT TO THOSE SAMPLES, DID YOU
TEST THEM ALSO?
               "ANSWER:  YES, I DID.
               "QUESTION:  WHAT TEST DID YOU PERFORM  ON THOSE?
               "ANSWER:  ON THOSE I PERFORMED THE ABO BLOOD
TYPING TEST, THE GROUP 1 ENZYME ELECTROPHORESIS TEST AND THE PGM
SUBTYPE ELECTROPHORESIS TEST.
               "QUESTION:  AND DID YOU ALSO SUBJECT THE BLOOD
DROP FROM THE TRAIL, ITEM 49, TO THOSE SAME TESTS?
               "ANSWER:  YES, I DID."
     Q     DO YOU RECALL THAT TESTIMONY?
     A     YES, I DO.
     Q     NOW, SIR, WHEN YOU ANSWERED THOSE QUESTIONS DID YOU
SPECIFY THAT THE PHYSICAL LOADING ONTO THE GEL WAS ACTUALLY DONE
BY MR. YAMAUCHI IN YOUR PRESENCE?
     A     NO, I DID NOT.
     Q     AND WHY NOT?
     A     I DIDN'T THINK IT WAS NECESSARY.
     Q     WERE THE TWO OF YOU WORKING TOGETHER AS A TEAM IN
DOING THIS?
     A     YES, WE WERE.
     Q     AND DID YOU OBSERVE ALL OF THE CRITICAL PARTS IN THE
ANALYSIS?
     A     YES, I DID.
     Q     AND DID YOU FEEL -- WERE YOU TRYING TO MISLEAD ANYONE
OR LEAVE MR. YAMAUCHI OUT IN ANSWERING THOSE QUESTIONS IN THAT
WAY?
     A     NO, NOT AT ALL.
     Q     IS IT COMMON IN YOUR LABORATORY FOR ANALYSTS TO WORK
TOGETHER IN THE LABORATORY USING A TEAM APPROACH SUCH AS THAT?
DOES THAT HAPPEN?
     A     IT HAPPENS, YES.
     Q     AND WHERE YOU OBSERVE THE CRITICAL ASPECTS OF WHAT
THE OTHER ANALYST DID?
     A     YES.
     Q     AND IS THAT WHAT HAPPENED WITH RESPECT TO THE TYPING
ON 17, 59, 60 AND 49?
     A     YES, IT IS.
     Q     NOW, MR. MATHESON, DID YOU ALSO GENERATE AN ANALYZED
EVIDENCE REPORT DESCRIBING THE TESTING THAT YOU DID AND MR.
YAMAUCHI DID ON THESE ITEMS?
     A     YES, I DID.


       MR. GOLDBERG:  AND I WOULD LIKE TO MARK THAT AS PEOPLE'S
NEXT IN ORDER.  IT IS L-7778 FOR COUNSEL'S BENEFIT.
     THE COURT:  MRS. ROBERTSON, NEXT IN ORDER, PEOPLE'S --
     THE CLERK:  216.
     THE COURT:  216.

         (PEO'S 216 FOR ID = ANALYZED EVID RPT)

     MR. GOLDBERG:  IT IS ENTITLED "ANALYZED EVIDENCE REPORT."
THE DATE THE ANALYSIS COMPLETED IS 6/28.

           (BRIEF PAUSE.)

     THE COURT:  ALL RIGHT.  PROCEED.
     MR. GOLDBERG:  WE ARE GOING TO HAVE TO LOWER THE SEROLOGY
RESULTS CHART A LITTLE BIT IN ORDER TO PUT THIS ON THE ELMO.

           (BRIEF PAUSE.)

     THE COURT:  IT MAY BE NECESSARY TO REMOVE IT ENTIRELY.
     MR. GOLDBERG:  TO WHAT?
     THE COURT:  REMOVE IT ENTIRELY, BUT LET'S TRY THAT.  LET'S
TRY THAT.
            (BRIEF PAUSE.)

     Q     BY MR. GOLDBERG:  SIR, DO YOU RECOGNIZE THE DOCUMENT
THAT WE JUST PUT ON THE ELMO, PEOPLE'S 216 FOR IDENTIFICATION?
     A     YES, I DO.
     Q     WHAT IS THAT?
     A     THAT IS A COPY OF MY ANALYZED EVIDENCE REPORT.
     Q     AND WAS THIS ANALYZED EVIDENCE REPORT GENERATED --
WHEN WAS THIS GENERATED IN RELATIONSHIP TO THE TESTIMONY AT THE
PRELIMINARY HEARING THAT WE JUST READ?
     A     WELL, IT WAS GENERATED IMMEDIATELY FOLLOWING TESTING
PRIOR TO THE PRELIMINARY HEARING.
     Q     OKAY.
           CAN WE SEE THE FULL -- FIRST FULL PARAGRAPH WHERE IT
STARTS WITH "ABO TESTING WAS PERFORMED."
     Q     MR. MATHESON, DID YOU WRITE THIS FORM?
     A     YES, I DID.
     Q     AND COULD YOU JUST READ FOR US WHAT YOU WROTE IN THE
FIRST FULL PARAGRAPH SAYING -- THAT STARTS "ALL ABO TYPING."
     A     WELL, THE FIRST PARAGRAPH IS JUST THAT ONE LINE THAT
SAYS, AND I AM READING FROM A COPY OF THE REPORT MYSELF RATHER
THAN OFF ONE OF THE MONITORS:
               "ALL ABO TYPING WAS PERFORMED EXCLUSIVELY BY
MATHESON, B-8927."
     Q     AND WHAT WAS THE NEXT PARAGRAPH STARTING WITH
"CRIMINALIST YAMAUCHI"?
     A     THE NEXT PARAGRAPH STARTS WITH:
               "ENZYME TYPING FOR ESD, PGM, PGM SUBTYPE AND GLO
WERE PERFORMED BY CRIMINALIST YAMAUCHI, G-880.  ALL EVIDENCE
HANDLING, INCLUDING ORIGINAL SAMPLING AND TRANSFERS TO THE GEL,
WERE WITNESSED BY MATHESON.  ALL RESULTS WERE CONFIRMED IN PERSON
OR BY PHOTOGRAPHS BY MATHESON."
     Q     SO DID YOU -- WHY DID YOU WRITE THESE TWO PARAGRAPHS
TO DESCRIBE WHAT YOU DID AND WHAT MR. YAMAUCHI DID?
     A     TO BE ACCURATE AS FAR AS EXACTLY WHO PERFORMED WHAT
TESTS FOR THE REPORT.
     Q     OKAY.
           AND YOU WROTE THIS PARAGRAPH OUT PRIOR TO TESTIFYING
AT THE PRELIMINARY HEARING WHERE YOU SAID THAT YOU DID THE
ELECTROPHORESIS TESTS?
     A     YES, I DID.
     MR. GOLDBERG:  ALL RIGHT.  THANK YOU.
           NOW, WE HAVE BEEN USING THE TERM "REFERENCE SAMPLES."
           WHAT DOES THAT MEAN?
     A     THE WAY I USE IT IS IT REFERS TO THE KNOWN BLOOD
SAMPLE OR BLOOD SAMPLES OF A KNOWN SOURCE RELATED TO A CASE.
     Q     AND OUR SEROLOGY RESULTS CHART, HOW ARE THOSE
DESIGNATED?
     A     THE REFERENCE SAMPLES THAT ARE DESIGNATED ON THE
CHART ARE FIRST INDICATED BY THE ITEM NUMBER AND THEN IN
PARENTHESES BY THE PERSON THAT THEY WERE TAKEN FROM.
     Q     AND THE LITTLE BLOOD DROPS WOULD DESIGNATE WHAT?
     A     AS FAR AS THE ICONS GO, THE BLOOD DROPS REFERENCE A
STAIN OR EVIDENCE MATERIAL.
     Q     AND WHEN YOU DO THESE TESTS ARE YOU COMPARING THE
RESULTS FROM THE REFERENCE SAMPLES TO THE RESULTS THAT YOU GET ON
THE UNKNOWNS THAT ARE DESIGNATED WITH THESE LITTLE BLOOD DROPS?
     A     YES.
     Q     NOW, IN SEPTEMBER OF 1994 DID YOU ALSO DO ANOTHER
SERIES OF TESTING ON ITEMS THAT ARE REPRESENTED IN THE PEOPLE'S
SEROLOGY RESULTS CHART?
     A     YES.  I STARTED SOME TESTING IN SEPTEMBER.
     Q     AND ON SEPTEMBER 11TH WHAT ITEM NUMBERS THAT ARE ON
THE RESULTS CHART DID YOU TEST, IF ANY?
     A     OKAY.  ON SEPTEMBER 11TH?
     Q     YEAH.

     A     WAS WHEN I STARTED WORKING ON ITEM
NO. 42, ITEM NO. 44, 50 -- ITEM NO. 54, ITEM NO. 84-A AND B AND
ITEM NO. 85-A AND B.
     Q     AND ON SEPTEMBER THE 20TH DID YOU DO SOME TESTING ON
ITEMS THAT ARE CONTAINED ON THE SEROLOGY RESULTS CHART?
     A     OKAY.
           I'M GOING TO BE REFERRING TO MY NOTES.  I RECEIVED
SOME ADDITIONAL ITEMS ON SEPTEMBER 18TH.
           AS FAR AS DOING THE ANALYSIS, YES, THERE WAS SOME
ANALYSIS DONE ON SEPTEMBER 20.
     Q     WHICH ITEMS?
     A     THAT WOULD BE ON ITEM NO. 13 AND ITEM
NO. 37.
     Q     WHEN YOU SAY 13, ON THE CHART WE HAVE 13-A.  IS THAT
THE LITTLE CUTTING THAT YOU TESTIFIED TO EARLIER THIS MORNING?
     A     YES.
     Q     THAT YOU TOOK OFF THE -- ONE OF THE SOCKS, ITEM 13?
     A     THAT'S CORRECT.
     Q     AND DID YOU ALSO DO SOME TESTING ON SEPTEMBER THE
27TH ON ITEMS THAT ARE CONTAINED ON THE SEROLOGY RESULTS CHART?
     A     AGAIN REFERRING TO ELECTROPHORESIS WORK SHEET, I DID
RUN SOME SAMPLES ON THAT DATE, YES.
     Q     WHICH ONES?

     A     THAT WOULD BE ITEM NO. 57 AND ITEM
NO. 78.
     Q     AND WHERE WERE THOSE ITEMS STORED DURING  THE TESTING
THAT YOU DID IN SEPTEMBER?
     A     THEY WERE IN THE FREEZER IN THE SEROLOGY UNIT.
     Q     NOW, WITH REGARD TO THESE VARIOUS ITEMS THAT ARE ON
THE SEROLOGY RESULTS CHART, WHEN YOU WERE LOOKING AT THE LOS
ANGELES POLICE DEPARTMENT EVIDENCE -- EVIDENCE DISPOSITION
SUMMARY BOARDS, PEOPLE'S 177, DID IT CONTAIN THE PACKAGING OF
THESE VARIOUS ITEMS REPRESENTED ON THE PHOTOGRAPHS ON THOSE
EXHIBITS?
     A     YES, IT DID.
     Q     AND WHEN YOU WERE DOING THE TESTING WAS THE -- WERE
THE ITEMS COMING OUT OF THE ORIGINAL PACKAGING OR THE TRANSMITTAL
PACKAGING THAT WAS USED LATER ON WHEN IT WAS SENT OUT?
     A     I BELIEVE OUT OF THE ORIGINAL.
     Q     OKAY.
           BUT IN EACH CASE DID YOU LOOK AT THE ITEM NUMBER AND
DR NUMBER PRIOR TO THE TEST TO CONFIRM WHAT YOU WERE TESTING?
     A     YES.
     Q     NOW, GOING BACK TO THE SEROLOGY RESULTS CHART, THERE
IS A COLUMN THAT SAYS "ABO."
           WHAT DOES THAT REFER TO?

     A     THAT REFERS TO THE ABO BLOOD TYPING SYSTEM THAT I
HAVE DESCRIBED PREVIOUSLY.
     Q     AND WHAT DOES "ESD" MEAN RIGHT NEXT TO  ABO?
     A     ESD ARE THE INITIALS FOR ONE OF THE ENZYMES THAT WE
ANALYZED THAT I PREVIOUSLY DESCRIBED.
     Q     AND WHAT ABOUT PGM SUBTYPE?
     A     THE SAME THING.  IT IS AN ENZYME THAT CAN BE BROKEN
DOWN INTO TYPES.
     Q     AND EAP, WHAT DOES THAT MEAN?
     A     EAP ARE ALSO INITIALS STANDING FOR ANOTHER ENZYME
THAT WE USE.
     Q     WHAT IS IN THE "CONSISTENT WITH" COLUMN?
     A     CONSISTENT WITH ARE A LIST OF NAMES THAT ARE PLACED
THERE WHEN A COMPARISON COULD BE MADE BETWEEN THE EVIDENCE
SAMPLES AND THE EXEMPLAR OR REFERENCE SAMPLES.
     Q     AND WHAT ABOUT THE "FREQUENCY"?  WHAT DOES THAT
REPRESENT?
     A     FREQUENCY GIVES AN INDICATION OF HOW COMMON THAT
COMBINATION OF TYPES OCCURS IN GENERAL POPULATION.
     Q     NOW, ON THIS PARTICULAR CHART THERE IS A NUMBER OF
ITEMS THAT ARE IN BLUE THAT SAY "INC."
           WHAT DOES THAT MEAN?
     A     "INC" STANDS FOR INCONCLUSIVE.
     Q     HOW IS THAT REPORTED WHEN YOU ACTUALLY WRITE OUT AN
ANALYZED EVIDENCE REPORT?
     A     ANY RESULT THAT IS DETERMINED TO BE INCONCLUSIVE AT
THE TIME THAT IT IS RUN IS WRITTEN STRICTLY AS EITHER INC OR
INCONCLUSIVE ON THE REPORT  WITH NO INDICATION OF THE TYPE GIVEN.
     Q     SO IT WOULDN'T SAY ON YOUR ANALYZED EVIDENCE REPORT,
FOR INSTANCE, FOR ITEM NO. 42, "INCONCLUSIVE B"?
     A     NO, DEFINITELY NOT.
     Q     AND WHERE DOES THAT INFORMATION COME FROM?
     A     IT COMES FROM A COMBINATION OF THE CASE SUMMARY NOTES
AND THE ORIGINAL ELECTROPHORESIS WORK SHEET.
     Q     WELL, WHY DON'T YOU WRITE EXACTLY WORD FOR WORD WHAT
IS ON THE ELECTROPHORESIS WORK SHEET AND THE CASE SUMMARY NOTES
ONTO THE ANALYZED EVIDENCE REPORT?  WHY DON'T THEY MATCH A
HUNDRED PERCENT?
     A     WELL, THE ELECTROPHORESIS WORK SHEET IS JUST THAT, IT
IS A WORK SHEET THAT IS BEING USED WHILE THE TEST IS BEING RUN.
           YOU ARE RECORDING THE CONDITIONS OF THE TEST AND YOU
ARE RECORDING ALL OBSERVATIONS AND IN -- NOT INTERPRETATIONS, BUT
OBSERVATIONS THAT ARE MADE ON THE PLATE.
           WE EVEN INCLUDE GUESSES AT THAT POINT.
           OUR -- AND IF IT IS A GUESS, IT IS MARKED AS
INCONCLUSIVE.

           THAT INFORMATION THEN IS TRANSFERRED OVER TO THE
SUMMARY SHEET INTACT, KIND OF SUMMARIZING THE INFORMATION ON THE
WORK SHEET.  IF IT IS  INCONCLUSIVE, IT IS MARKED AS "INC" AND
THE POTENTIAL OR POSSIBLE GUESS OF THE TYPE IS PLACED IN THAT
COLUMN.
           HOWEVER, WHEN A REPORT IS WRITTEN, IT JUST REFLECTS
"INCONCLUSIVE."
     Q     SO IS AN INCONCLUSIVE STATEMENT, IF IT SAYS
"INCONCLUSIVE B," DOES THAT MEAN THAT IT COULD BE WRONG?
     A     IT IS POSSIBLE.
     Q     AND IS THAT WHY YOU SAY INCONCLUSIVE?
     A     WELL, INCONCLUSIVE MEANS JUST THAT, IT IS NOT A
CONCLUSIVE DECISION OR CONCLUSIVE RESULT AS TO WHAT THE ANALYSIS
SHOWED.
     Q     AND DOES THAT MEAN THAT AS A FORENSIC SCIENTIST WHEN
YOU SAY SOMETHING IS INCONCLUSIVE, LET'S SAY ON YOUR WORK SHEET,
YOU SAID IT WAS INCONCLUSIVE B, WOULD YOU BE WILLING TO REPORT IN
COURT THAT IT WAS IN FACT A B?
     A     NO, I WOULD NOT.
     Q     AND WHY IS THAT?
     A     AGAIN, IT IS NOT A CONCLUSIVE RESULT.  I DON'T WANT
TO PUT SOMETHING DOWN ON MY REPORT OR PRESENT TO COURT UNLESS I'M
SURE AS TO WHAT THE RESULT IS.

     Q     SO WHAT IS THE POINT THEN OF WRITING "INCONCLUSIVE
B," FOR EXAMPLE, ON THE ELECTROPHORESIS WORK SHEET IF YOU DON'T
PUT IT ON THE  ANALYZED EVIDENCE REPORT AND YOU ARE NOT WILLING
TO TESTIFY IN COURT THAT IT WAS IN FACT A B?
     A     WELL, BECAUSE IT IS INFORMATION.  FIRST OFF, THE WORK
SHEET, LIKE I DESCRIBED, IT IS THINGS YOU ARE RECORDING AS YOU
ARE READING IT.
           I MENTIONED EARLIER THAT SOMETIMES THE BAND, THEY GET
DARKER WITH TIME AND WHAT MAY START OUT AS A TYPE WITH A QUESTION
MARK, OR AN INCONCLUSIVE, OVER TIME MAY BECOME A CONCLUSIVE
READING AS IT GETS DARKER AND MORE EASY TO READ.
           THERE ARE TIMES WHERE YOU WILL RECORD SOMETHING AS A
POTENTIAL INCONCLUSIVE OR WITH A QUESTION MARK AND THAT IS THE
WAY IT STAYS; IT JUST NEVER GETS ANY BETTER.
     Q     WHAT KIND OF INFORMATION CAN THOSE PROVIDE, THOUGH?
     A     WELL, POTENTIALLY IT CAN SHOW -- GIVE YOU AN IDEA
WHAT MIGHT NOT BE THERE BUT IT IS STILL NOT A CONCLUSIVE RESULT.
     Q     OKAY.
           NOW, WE WERE TALKING ABOUT DEGRADATION YESTERDAY AND
WHETHER OR NOT A DEGRADED SAMPLE COULD TURN FROM ONE BLOOD TYPE
INTO ANOTHER.
           DO YOU RECALL THAT CONVERSATION?
     A     YES, I DO.
     Q     AND YOU SAID THAT THAT IS NOT A PROBLEM EXCEPT WITH
RESPECT TO ONE OF THE GENETIC MARKER SYSTEMS.
           WHAT DID YOU MEAN BY THAT?
     A     WELL, THE MAJORITY OF THE MARKERS THAT WE LOOK AT,
LIKE I MENTIONED, AS THEY DEGRADE THEY JUST GET WEAKER AND WEAKER
AND YOU CAN'T DETERMINE A TYPE.  IT DOESN'T CHANGE INTO ANOTHER
TYPE.
           THE MOST NOTABLE EXCEPTION TO THAT IS IN THE SYSTEM
THAT GOES BY THE INITIALS OF EAP.  EAP IS THE TYPE OF SYSTEM THAT
I MENTIONED BEFORE THAT THERE WERE SITUATIONS WHERE IT WAS THE
LOCATION OF THE BAND OR THE NUMBER OF BANDS THAT TELLS YOU WHAT
TYPE IT IS AND THERE ARE OTHER ONES THAT DEAL WITH INTENSITY OF
THE BANDS.
           EAP IS ONE OF THOSE TYPES OF SYSTEMS. YOU LOOK AT THE
INTENSITIES AND TAKE THAT INTO CONSIDERATION WHEN YOU ARE
DETERMINING WHAT THE TYPE IS.
           SO IN THE CASE OF EAP, IT IS KNOWN THAT A DEGRADATION
ROUTE OCCURS WHERE THE BANDS BECOME LESS AND LESS INTENSE AND CAN
EVENTUALLY BE MISTYPED.
     Q     NOW, WITH RESPECT TO THE PGM SUBTYPE, DO YOU HAVE
THOSE SAME ISSUES IN PGM SUBTYPE THAT YOU HAVE IN EAP?
     A     NOT WHEN IT COMES TO EVIDENTIARY SAMPLES.  IT HAS
BEEN SHOWN THAT LIQUID BLOOD STORED FOR A LONG PERIOD OF TIME,
YOU CAN START SLOWLY LOSING THE MINUS BANDS.  YOU WILL NOTICE
UNDER THE PGM SUBTYPE THERE IS A PLUS AND A MINUS INDICATION.
           IT IS POSSIBLE TO EVENTUALLY SEE THE  MINUS BLOODS
DEGRADE BUT THAT DOES NOT OCCUR IN DRIED SAMPLES.
     Q     SO IN DRIED SAMPLES SUCH AS A STAIN, WHAT HAPPENS IN
THE PGM SUBTYPE SYSTEM WHEN YOU GET DEGRADATION?
     A     THE BANDS JUST BECOME WEAKER AND WEAKER TO THE POINT
WHERE WHEN YOU DEVELOP IT ON THE GEL YOU JUST DON'T SEE ANYTHING.
     Q     CAN YOU HAVE A SITUATION IN THE PGM SUBTYPE WHERE THE
BANDS HAVE DEGRADED SO THAT YOU CAN SEE SOMETHING THERE BUT IT IS
AN INCONCLUSIVE?
     A     OH, SURE.  THAT IS ANOTHER USE OF INCONCLUSIVE, IS
THAT WE KNOW SOMETHING IS OCCURRING WHERE YOU CAN SEE THAT THERE
IS SOMETHING THERE.
           ANOTHER INDICATION WE HAVE GOES BY THE INITIALS OF NA
OR NO ACTIVITY.  IF YOU SEE KIND OF A HAZY APPEARANCE IN THE BAND
AREA, YOU CAN'T SAY NO ACTIVITY BECAUSE SOMETHING IS GOING ON, SO
IT WOULD BE RECORDED AS INCONCLUSIVE.
     Q     SO LET'S JUST TAKE ONE EXAMPLE, ITEM 13A THAT HAS THE
PGM SUBTYPE OF 1 PLUS.
           NOW, THIS WAS -- IS THIS A RESULT THAT YOU CLASSIFY
AS BEING INCONCLUSIVE OR IS THIS A FINAL RESULT?
     A     THAT IS A FINAL RESULT.
     Q     SO WHAT DOES THAT MEAN, AS OPPOSED TO AN INCONCLUSIVE
RESULT IN THIS PARTICULAR CASE?
     A     IT MEANS THAT THE BLOOD STAIN THAT WAS  PRESENT ON
THAT ITEM IS A PGM SUBTYPE 1 PLUS.
     Q     NOW, COULD IT HAVE BEEN SOMETHING ELSE AND DEGRADED
INTO A 1 PLUS?
     A     NOT IN MY EXPERIENCE AND KNOWLEDGE, NO.
     MR. GOLDBERG:  OKAY.

           (DISCUSSION HELD OFF THE RECORD
            BETWEEN THE DEPUTY DISTRICT
            ATTORNEYS.)

     Q     BY MR. GOLDBERG:  AND IN THIS PARTICULAR CASE THE 1
PLUS WOULD BE CONSISTENT WITH WHOM?
     A     WELL, OF THE THREE PARTIES THAT ARE ON THIS CHART, IT
IS -- CAN BE -- IS CONSISTENT WITH THE TYPE THAT WE FOUND FOR
ITEM NO. 59, NICOLE BROWN, AND IS INCONSISTENT OR DEFINITELY
COULD NOT HAVE COME FROM THE ITEM NO. 17 OR IN 60, MR. GOLDMAN.
     Q     NOW, GETTING BACK TO THIS ISSUE THAT WE WERE TALKING
ABOUT ON DEGRADATION, WHAT ABOUT THE
ABO -- WHAT ABOUT THE ESD RESULTS?  CAN DEGRADATION CAUSE THOSE
RESULTS TO CHANGE FROM ONE PATTERN TO ANOTHER?
     A     NO.
     Q     AND WHAT ABOUT ABO?

     A     NOT IN ABO EITHER, YOU WON'T GET A CHANGE OF THE
TYPE.
     Q     SO YOU HAVE THE FOUR SYSTEMS THAT WE HAVE  HERE.  IS
EAP THE ONLY SYSTEM THAT HAS THIS PROBLEM THAT YOU HAVE BEEN
USING WHERE THE DEGRADATION CAN MAKE IT APPEAR TO BE SOMETHING
OTHER THAN WHAT IT REALLY WAS?
     A     THAT'S CORRECT.
     Q     NOW, MR. MATHESON, IS THIS PHENOMENA THAT EXISTS
WITHIN THE EAP SYSTEM, BUT NOT THE OTHERS, ONE THAT IS RECOGNIZED
IN THE FORENSIC SCIENCE LITERATURE?
     A     YES, IT IS.
     Q     AND HAVE YOU READ ARTICLES THAT DISCUSS THE SPECIAL
ISSUES THAT ARE INHERENT IN THE EAP SYSTEM?
     A     YES, I HAVE.

           (DISCUSSION HELD OFF THE RECORD
            BETWEEN THE DEPUTY DISTRICT
            ATTORNEYS.)

     Q     BY MR. GOLDBERG:  DID YOU READ A CHART, MR. MATHESON,
THAT WAS BY DR. GRUNBAUM AND ZAJAC ENTITLED "PROBLEMS OF
RELIABILITY IN THE PHENOTYPING OF A ERYTHROCYTE ACID PHOSPHATASE
AND BLOODSTAINS."
     A     YES, I HAVE.

     Q     AND DID YOU CONSIDER THAT AS PART OF THIS FORENSIC
SCIENCE LITERATURE THAT WE HAVE BEEN DISCUSSING THAT DEALS WITH
THE ISSUE WITH EAP?
     THE COURT:  ALL RIGHT.
           MR. GOLDBERG, WOULD YOU SPELL THOSE ITEMS FOR THE
COURT REPORTER.
     MR. GOLDBERG:  SURE.
     THE COURT:  ALL RIGHT.
     MR. GOLDBERG:  GRUNBAUM IS G-R-U-N-B-A-U-M AND ZAJAC IS
Z-A-J-A-C.  THE ARTICLE IS "PROBLEMS OF RELIABILITY OF
PHENOTYPING," P-H-E-N-O-T-Y-P-I-N-G, "OF ERYTHROCYTE,"
E-R-Y-T-H-R-O-C-Y-T-E, "ACID PHOSPHATASE," P-H-O-S-P-H-A-T-A-S-E.
     THE COURT:  THANK YOU.
     MR. GOLDBERG:  THANK YOU.
     Q     BY THE WAY, IT IS ERYTHROCYTE ACID PHOSPHATASE WHAT
WE ARE DESIGNATING WITH THE INITIALS EAP?
     A     YES, IT IS.
     Q     AND IN OUR PREPARATIONS IN OUR SESSIONS WHERE WE
DISCUSSED THE CASE PRIOR TO YOUR TESTIMONY, DID YOU TEACH ME AT
SOME LENGTH HOW TO PRONOUNCE THAT TERM?
     A     YES.
     Q     HOW DID I DO?
     MR. BLASIER:  OBJECTION, IRRELEVANT.
     THE COURT:  SUSTAINED.
     MR. GOLDBERG:  OKAY.
     Q     NOW, WITH RESPECT TO THE ARTICLE THAT WE JUST TALKED
ABOUT --

            (DISCUSSION HELD OFF THE RECORD
            BETWEEN DEPUTY DISTRICT ATTORNEY
            AND DEFENSE COUNSEL.)

     MR. GOLDBERG:  MAY I APPROACH THE WITNESS?
     THE COURT:  PLEASE.
     Q     BY MR. GOLDBERG:  SIR, I'M SHOWING YOU AN ARTICLE
THAT WE JUST READ THE TITLE OF.
           IS THIS ONE OF THE ARTICLES THAT YOU LOOKED AT?
     A     YES, IT IS.
     Q     AND ON PAGE 617 OF THAT ARTICLE DOES DR. GRUNBAUM
DISCUSS SOME OF THE ISSUES THAT YOU HAVE BEEN EXPLAINING TO US
THIS MORNING ABOUT THE EAP SYSTEM?
     A     YES.
     Q     AND CAN YOU READ FOR US THE FIRST FULL PARAGRAPH OF
WHAT DR. GRUNBAUM SAYS.
     A         "ALTHOUGH ONLY A LIMITED NUMBER OF SAMPLES WERE
USED IN THIS INITIAL EXPERIMENT, THE RESULTS SHOWN IN TABLE 1
CLEARLY INDICATE THAT THERE CAN BE A DEFINITE PROBLEM WITH THE
EAP PHENOTYPING NO MATTER WHICH ELECTROPHORETIC SUPPORTING MEDIUM
IS USED."
     Q     WHAT DOES THAT MEAN?
     A     WELL, THE ELECTROPHORETIC SUPPORTING MEDIUM IS IN THE
CASE THAT WE SHOWED, THE EXAMPLE AGAROSE, THERE ARE JUST
DIFFERENT TYPES OF TERMS THAT  IT CAN BE RUN.
           THE PARAGRAPH JUST INDICATES THAT THERE CAN BE
PROBLEMS WITH THIS -- USING THIS SYSTEM.
     Q     AND CAN YOU READ THE SECOND FULL PARAGRAPH.
     A         "UNLIKE OTHER ENZYME SYSTEMS, EAP PHENOTYPING
DEPENDS NOT ONLY ON A PATTERN OF RELATIVE DISTRIBUTION OF BANDS
BUT ALSO ON THE RELATIVE INTENSITIES OF THE BANDS.  WHEN BLOOD IS
AGED, THE INDIVIDUAL ISOENZYMES" THOSE ARE THE BANDS IN IT, "TEND
TO DEGRADE AT DIFFERENT RATES, FURTHER, EXACERBATING THE
DIFFICULTIES OF TRUE PHENOTYPE IDENTIFICATION."
     Q     I THINK YOU HAVE EXPLAINED THIS ALREADY IN YOUR
TESTIMONY IN DIFFERENT TERMS; IS THAT CORRECT?
     A     YES, BASICALLY.
     Q     OKAY.
           AND WITH RESPECT TO THE LAST FULL PARAGRAPH UNDER
"SUMMARY," CAN YOU READ THAT FOR US?
     A     I'M SORRY, ARE WE TALKING ABOUT THE UNDERLYING PART
OR THE PARAGRAPH ITSELF?
     Q     THE PARAGRAPH.
     A         "ERYTHROCYTE ACID PHOSPHATASE IS A USEFUL SYSTEM
FOR THE CRIME LABORATORY FOR BOTH FRESH AND DEGRADED BLOOD AND
BLOODSTAINS, PROVIDED THE INHERENT PROBLEMS OF PHENOTYPING THIS
PARTICULAR ENZYME SYSTEM ARE RECOGNIZED.  BECAUSE OF THE GREAT
NUMBER OF VARIABLES AFFECTING THIS ENZYME SYSTEM IN VITRO,
PHENOTYPING SHOULD NOT BE ATTEMPTED UNTIL THE COMPLETE HISTORY OF
ORIGIN AND HANDLING OF THE SAMPLE IS KNOWN."
     Q     NOW, WITH RESPECT TO THE LAST POINT ABOUT NOT TYPING
ERYTHROCYTE ACID PHOSPHATASE UNLESS THE COMPLETE HISTORY AND
ORIGIN OF THE SAMPLE IS KNOWN, WHAT DOES THAT REFER TO?
     A     WELL, HIS REFERENCE THERE I BELIEVE IS SUGGESTING
THAT YOU SHOULD NOT BE DOING THIS UNTIL YOU KNOW EXACTLY WHAT THE
HISTORY OF IT IS, WHICH MEANS WHERE IT WAS DEPOSITED, POTENTIALLY
THE LENGTH OF TIME, THE CONDITIONS IT WAS UNDER, AS OPPOSED
SOMEBODY JUST WALKING INTO A LABORATORY WITH A BLOOD STAIN.

     MR. BLASIER:  YOUR HONOR, I OBJECT AND MOVE TO STRIKE.  NO
FOUNDATION THAT HE KNOWS WHAT THAT AUTHOR MEANT.
     THE COURT:  SUSTAINED.
     Q     BY MR. GOLDBERG:  SIR, WITHIN THE FORENSIC SCIENCE
COMMUNITY IS THERE A -- ARE THERE ANALYSTS THAT BELIEVE THAT YOU
SHOULD KNOW THE COMPLETE HISTORY AND ORIGIN OF A SAMPLE BEFORE
STARTING EAP TESTING -- BEFORE MAKING AN EAP CONCLUSION?
     MR. BLASIER:  OBJECTION, NO FOUNDATION.
     THE COURT:  SUSTAINED.

           (DISCUSSION HELD OFF THE RECORD
            BETWEEN THE DEPUTY DISTRICT
            ATTORNEYS.)

     Q     BY MR. GOLDBERG:  WHAT DID YOU UNDERSTAND THAT TO
MEAN IN TERMS OF YOUR READING OF THE ARTICLE AND YOUR
INTERPRETATION OF THE ARTICLE?
     A     WELL, MY READING OF THAT, I UNDERSTAND AS BEING
SUGGESTED THAT IT IS IMPORTANT TO UNDERSTAND THE HISTORY BEHIND A
SAMPLE, WHAT CONDITIONS IT WAS COLLECTED AND PRESERVED UNDER.
     Q     AND WHERE DO YOU STAND ON THAT PARTICULAR ISSUE AS TO
WHETHER OR NOT THAT IS NECESSARY?
     A     WELL, I KIND OF SIT IN THE MIDDLE OF IT. THERE ARE
DIFFERENCES OF OPINION OF THIS AND THIS HAS BEEN AN AREA OF
DISCUSSION WHEN IT COMES TO DEALING WITH SAMPLES AND SEROLOGY IN
GENERAL, IN THAT SOME PEOPLE FEEL IT IS VERY IMPORTANT THAT THE
CRIMINALIST NOT BE BIASED BY ANY SORT OF OUTSIDE INFORMATION OR
RECEIVE A BLOOD STAIN, YOU KNOW, COLD WITHOUT ANYTHING AND YOU
JUST REPORT THE RESULTS THAT YOU FIND.
           THERE ARE ALSO THOSE THAT BELIEVE, AS INDICATED IN
THAT ARTICLE, THAT IT IS IMPORTANT TO KNOW THE BACKGROUND, THE
STORY BEHIND HOW THE SAMPLE WAS DEPOSITED AND TAKING ALL OF THAT
INTO ACCOUNT.
           I DON'T REALLY BELIEVE IN EITHER  EXTREME.  I DON'T
PARTICULARLY LIKE TO WORK IN THE DARK.  THAT IS VERY DIFFICULT TO
DO.
           HOWEVER, I ALSO APPRECIATE THE FACT THAT YOU DO NOT
WANT YOUR OPINION BIASED IN ANYWAY BY ANY INFORMATION THAT ISN'T
DIRECTLY RELATED TO THE EVIDENCE.
     Q     OKAY.
           NOW, WITH RESPECT TO THE EAP SYSTEM YOU WERE TALKING
ABOUT THAT IN THIS SYSTEM, THAT NOT ONLY DO YOU LOOK AT THE BANDS
BUT YOU ALSO LOOK AT THE INTENSITY OF THE BAND; IS THAT CORRECT?
     A     YES, IT IS.
     Q     DOES THAT DISTINGUISH IT FROM PGM SUBTYPE?
     A     YES.
     Q     WHY?
     A     WELL, IN PGM SUBTYPING IT IS THE LOCATION OF THE
BAND, WHERE IT APPEARS ON THE GEL IN RELATION TO YOUR KNOWN
STANDARD, AS OPPOSED TO HOW STRONG OR HOW LIGHT THE BANDS ARE.
     Q     SO YOU ARE NOT LOOKING AT THE INTENSITY OR BRIGHTNESS
THE BAND WHEN YOU ARE TALKING ABOUT PGM SUBTYPE?
     A     THAT'S CORRECT.
     Q     GIVEN THAT YOU ARE LOOKING AT THE INTENSITY OF THE
BAND ON EAP AS OPPOSED TO PGM SUBTYPE, IS THERE SOME ELEMENT OF
SUBJECTIVITY IN TERMS OF MAKING A CALL AS TO AN EAP RESULT?
     A     YES, THERE IS.
     Q     WHAT IS THAT?
     A     WELL, NOT ONLY DO THESE SYSTEMS DIFFER IN INTENSITY
VERSUS BAND LOCATION, THEY ARE ALSO DEVELOPED DIFFERENTLY.
           THE PGM SYSTEM IS DEVELOPED, YOU GET A DARK BLUE,
ALMOST BLACK BAND THAT YOU LOOK AT UNDER VISIBLE LIGHT.
           IN THE EAP SYSTEM THE BAND YOU ARE LOOKING AT, YOU
HAVE TO LOOK UNDER ULTRAVIOLET LIGHT, AND RATHER THAN BEING DARK
THEY ARE ACTUALLY A LIGHT SOURCE, THEY ARE BRIGHT.
           AND PEOPLE'S EYES SEE DIFFERENT THINGS, AS FAR AS THE
INTENSITY OF WHAT THEY ARE LOOKING AT.
           IT IS A VERY SUBJECTIVE CALL.

     Q     SO YOU DON'T HAVE THAT PROBLEM, THOUGH, WITH PGM --
     A     NO.
     Q     -- SUBTYPE?
           WHAT ABOUT WITH ABO OR IS THIS APPLICABLE TO ABO?
     A     THERE IS NO COMPARISON TO ABO ON THIS.
     MR. GOLDBERG:  YOUR HONOR, I WOULD LIKE TO MARK AS PEOPLE'S
--
     THE COURT:  217.
     MR. GOLDBERG:  -- 217, ANOTHER BOARD THAT SAYS "EAP
PHENOTYPE BOARD."
     THE COURT:  ALL RIGHT.  217.

         (PEO'S 217 FOR ID = POSTERBOARD)

     MR. GOLDBERG:  MR. FAIRTLOUGH, CAN YOU LOWER IT DOWN A
LITTLE BIT SO PERHAPS WE CAN ALSO PUT SOME PICTURES ON THE ELMO
LATER ON.

           (BRIEF PAUSE.)

     Q     BY MR. GOLDBERG:  MR. MATHESON, SHOWING YOU PEOPLE'S
217 FOR IDENTIFICATION, WHAT IS THIS EXHIBIT?
     A     WHAT THIS EXHIBIT SHOWS IS A BLOCK DIAGRAM OR KIND OF
A GRAPHICAL REPRESENTATION OF THE SIX MOST COMMON EAP PHENOTYPES.
     Q     NOW, MAYBE WE COULD JUST TAKE A LOOK AT THE
PHOTOGRAPH ON THE EVIDENCE TESTING BOARD AGAIN THAT SHOWS THE
PLATES ON THE ELECTROPHORESIS MACHINE.
           WHILE WE ARE WAITING TO PUT THAT UP, CAN YOU GO
THROUGH THE SIX COMMON PHENOTYPES AND JUST EXPLAIN TO US -- WELL,
FIRST OF ALL, I KNOW YOU HAVE ALREADY DESCRIBED THIS, BUT A
PHENOTYPE IS WHAT AGAIN?
     A     WELL, IT IS THE TYPE THAT IS OBSERVED ON THE GEL.  IT
IS IDENTIFIED FOR THE EVENTUAL REPORTING.
     Q     OKAY.
           CAN YOU TELL US WHAT THE SIX COMMON EAP PHENOTYPES
ARE?
     A     THEY APPEAR ON THE RIGHT-HAND COLUMN THERE; TYPE A,
TYPE B, TYPE C, TYPE BA, TYPE CB AND TYPE CA.
     Q     AND WHEN YOU ARE TESTING A SYSTEM USING THE EAP
SYSTEM, IS IT -- DOES IT FALL UNDER ONE OF THESE SIX TYPES
GENERALLY?
     A     GENERALLY IT DOES, YES.
     Q     ALL RIGHT.
     A     IF --
     Q     NOW, IF YOU CAN TAKE A LOOK AT OUR EVIDENCE TESTING
BOARD, WE HAVE A PHOTOGRAPH OF ITEMS BEING LOADED ONTO THE GEL.
           CAN YOU JUST ORIENT THESE TWO EXHIBITS FOR US AND
TELL US I MEAN HOW THIS WOULD CORRELATE?
     A     WELL, TO PUT THE TWO IN RELATION TO EACH OTHER, IF
YOU WERE TO TAKE THE ELECTROPHORESIS PLATE THAT YOU SEE UP THERE
AND ROTATE IT NINETY DEGREES TO THE LEFT, WE ARE JUST PUTTING THE
SAMPLE IN WHAT WE REFER TO AS THE ORIGIN -- THE ORIGIN, THE PLACE
WHERE THE SAMPLE STARTS, AND THAT WOULD CORRESPOND IN THE EAP
DIAGRAM TO THE LINE OR THE AREA THAT IS MARKED WITH THE WORD
"ORIGIN" RIGHT ABOVE IT.
     Q     AND THEN YOU WERE TALKING ABOUT HOW AFTER THE
ELECTROPHORESIS MACHINE IS HOOKED UP, THE SAMPLE BEGINS TO
MIGRATE ACROSS THE GEL AND THAT IT CREATES A BANDING PATTERN.
           CAN YOU DESCRIBE FOR US WHAT THAT WOULD LOOK LIKE
USING THE EAP PHENOTYPE BOARD?
     A     WELL, USING THIS AS AN EXAMPLE, YOU WOULD START AT
THE ORIGIN -- WE HAVE ALREADY MENTIONED LANES, AND A LANE WOULD
REFER TO AN AREA WHERE A SAMPLE IS PLACED AND THEN IT MOVES.  IT
MOVES ALONG IN ROUGHLY THE SAME SIZE AND SHAPE OR CONFIGURATION
AS WHERE YOU ORIGINALLY PUT YOUR SAMPLE.
           SO IN THIS PARTICULAR EXAMPLE WE HAVE SIX LANES THAT
ARE MARKED BY THE SIX DIFFERENT TYPES.
           YOUR SAMPLE WOULD BE PLACED IN THE ORIGIN WELL, AT
THE ORIGIN, A CURRENT WOULD PASS THROUGH IT AND THE DIFFERENT
PORTIONS OF THE ENZYME WOULD BE MOVING ALONG.
           AND AT SOME POINT YOU STOP THAT AND DEVELOP IT AND
YOU SEE THE BANDS AND THEIR LOCATION.
     Q     NOW, YOU SAID THAT WHEN YOU ARE LOOKING AT THIS PLATE
YOU LOOK NOT ONLY AT THE PLACEMENT OF THE BAND, BUT ALSO
INTENSITY.
           CAN YOU DESCRIBE THAT FOR US USING THIS DIAGRAM?
     A     WELL, THE -- IT IS A BLOCK DIAGRAM AND IT IS NOT AN
ACTUAL PHOTOGRAPH OR SOMETHING OF A PLATE. IT IS JUST A GRAPHICAL
REPRESENTATION OF IT.
           WE LOOK AT INTENSITIES IN THE SYSTEM.  WE ALSO LOOK
AT LOCATIONS, WHERE THE BANDS APPEAR.  IT IS A COMBINATION OF THE
TWO.
           AS YOU CAN SEE UNDER THE LANE THAT IS  MARKED "A,"
THE BLOCK DIAGRAM SHOWS BANDS IN DIFFERENT PLACES THAN IN THE B.
           I ALSO WANT TO POINT OUT AT THIS POINT THAT WE SHOW A
BLOCK APPEARING ON THE FAR LEFT OF IT IN EACH OF THE LANES.  THIS
IS JUST CONSISTENT WITH EVERY TYPE AND IS INSIGNIFICANT WHEN IT
COMES TO DETERMINING WHAT THE TYPE IS OF THE SAMPLE.
           SO YOU SEE THAT THE LOCATION DIFFERENCE BETWEEN THE A
AND THE B, HOWEVER, ALSO GRAPHICALLY DEMONSTRATED BY THIS, IS THE
FACT THAT THEY ARE OF DIFFERENT SIZES AND THE SIZES ARE AN
INDICATION OF THE INTENSITY.
           YOU WILL NOTICE IN THE A THAT THEY ARE ABOUT EQUAL
SIZE, THEY SHOW ABOUT EQUAL INTENSITY OR BRIGHTNESS.

           THE B, THE LARGER BLOCK BAND, WOULD SHOW UP AS
SIGNIFICANTLY BRIGHTER THAN THE SMALLER BLOCK BAND IN THE B
COLUMN, AND THAT IS CONSISTENT THROUGHOUT THE REST OF THE ITEMS.
     MR. GOLDBERG:  YOUR HONOR, I'M SORRY, I WAS SO EXCITED
ABOUT THIS EAP BLOCK DIAGRAM I DIDN'T SEE THAT WE HAD RUN OVER.
     THE COURT:  LADIES AND GENTLEMEN, WE ARE GOING TO TAKE OUR
RECESS FOR THE AFTERNOON.
           PLEASE REMEMBER ALL MY ADMONITIONS TO YOU.
           DON'T DISCUSS THE CASE AMONGST  YOURSELVES, DON'T
FORM ANY OPINIONS ABOUT THE CASE, DON'T CONDUCT ANY DELIBERATIONS
UNTIL THE MATTER HAS BEEN SUBMITTED TO YOU, DO NOT ALLOW ANYBODY
TO COMMUNICATE WITH YOU WITH REGARD TO THE CASE.
           WE WILL STAND IN RECESS UNTIL 1:00.
           MR. MATHESON, YOU ARE ORDERED TO RETURN.

           (AT 12:04 P.M. THE NOON RECESS
            WAS TAKEN UNTIL 1:00 P.M. OF
            THE SAME DAY.)

   LOS ANGELES, CALIFORNIA; TUESDAY, MAY 2, 1995
                    1:00 P.M.
DEPARTMENT NO. 103            HON. LANCE A. ITO, JUDGE
APPEARANCES:
           (APPEARANCES AS HERETOFORE NOTED.)

 (JANET M. MOXHAM, CSR NO. 4855, OFFICIAL REPORTER.) (CHRISTINE
M. OLSON, CSR NO. 2378, OFFICIAL REPORTER.)

           (THE FOLLOWING PROCEEDINGS WERE
            HELD IN OPEN COURT, OUT OF THE
            PRESENCE OF THE JURY:)

     THE COURT:  ALL RIGHT.
           BACK ON THE RECORD IN THE SIMPSON MATTER.
           ALL PARTIES INCLUDING THE CLERK ARE AGAIN PRESENT
BEFORE THE COURT.
           LET'S HAVE THE JURORS, PLEASE.
     MR. GOLDBERG:  YOUR HONOR, I HAD ONE ISSUE I WANTED TO
BRING UP IF I MAY.
     THE COURT:  WHAT IS THAT?
     MR. GOLDBERG:  AS TO -- THERE'S AN ITEM 118 IN THIS CASE
THAT WAS TESTED BY MR. MATHESON AND THERE HAS NOT BEEN ANY
TESTIMONY ABOUT IT IN THIS CASE HERETOFORE.


            IT WAS A KNIFE THAT WAS FOUND IN THE AREA OF THE
DEFENDANT'S HOUSE, BUT NOT ON HIS PROPERTY, WHICH WAS TESTED AND
HAS AN EAP TYPE B SIMILAR TO THE NAILS.  I THINK IT MAY HAVE BEEN
MENTIONED BY MR. COCHRAN IN HIS OPENING STATEMENT.
           WE WOULD ASK TO EXCLUDE EVIDENCE OF THAT KNIFE UNDER
402 AND THE TESTING RESULTS.
     THE COURT:  YOU DON'T NEED TO DO THAT NOW.
     MR. GOLDBERG:  WELL, IT'S PART OF AN ANALYZED EVIDENCE
REPORT THAT I WOULD LIKE TO SHOW THE WITNESS AND THERE IS
REFERENCE TO IT THERE AND I WOULD LIKE TO BE ABLE TO SANITIZE
THAT OUT.
     THE COURT:  MR. BLASIER.
     MR. BLASIER:  YEAH.
           WE -- THIS IS THE SAME REPORT THAT HAS ALL THE
RESULTS THAT THEY'RE TESTIFYING TO.  WE INTEND TO ASK THIS
WITNESS ABOUT THE OTHER EAP B THAT CAME UP ON THIS KNIFE WITH
BLOOD ON IT, AND I DON'T SEE HOW HE CAN LIMIT THE TESTIMONY TO
JUST A COUPLE OF THINGS THAT HE TESTED AND NOT INCLUDE OTHER
THINGS HE TESTED AT THE SAME TIME.
           THE CREDIBILITY OF THIS WHOLE ARGUMENT DEPENDS ON HOW
YOU READ EAP TESTING AND HOW YOU READ THE BANDS, AND THAT'S
RELEVANT TO 118 AS WELL AND I THINK IT'S CLEARLY FAIR GAME.
     THE COURT:  WHICH EVIDENCE REPORT ARE WE TALKING ABOUT?

      MR. GOLDBERG:  WHICH ANALYZED EVIDENCE REPORT, YOUR HONOR?
     THE COURT:  YES.
     MR. GOLDBERG:  IT'S THE ANALYZED EVIDENCE REPORT THAT'S
DATED 10-18-94.
     MR. BLASIER:  IT'S THE ONE I SUBMITTED YESTERDAY I BELIEVE
AS WELL.
     THE COURT:  ALL RIGHT.
           I DON'T KNOW ANYTHING ABOUT THE FACTS AND
CIRCUMSTANCES REGARDING THE RECOVERY OF THIS ALLEGED KNIFE.
     MR. BLASIER:  IT WAS FOUND IN -- OUTSIDE OF MR. SIMPSON'S
ESTATE ON JULY 2ND, APPARENTLY HAD BEEN PUT THERE AT SOME POINT
AFTER THE 13TH.  IT HAD A LOT OF BLOOD ON IT, IS CONSISTENT WITH
THE WOUNDS ON THE VICTIMS, TURNED OVER TO THE POLICE AND THEY RAN
THE TEST AND CAME UP WITH AN EAP B.
           I ALSO WOULD LIKE TO REQUEST THAT THE COURT ORDER
THAT THAT BE PRODUCED TOMORROW FOR CROSS-EXAMINATION.
     MS. CLARK:  YOUR HONOR, MAY I CORRECT COUNSEL'S
REPRESENTATION TO THE COURT?
           THERE WAS A SINGLE THREAD OF TINY SPECK OF BLOOD ON
THE KNIFE, ON THE VERY TIP OF THE KNIFE.
     MR. BLASIER:  IT DOESN'T MATTER, BUT I'LL MAKE AN OFFER OF
PROOF THAT THE PERSON WHO FOUND IT WILL TESTIFY THAT THERE WAS A
LOT OF BLOOD ON IT.
     THE COURT:  WHERE WAS THIS FOUND?
     MR. BLASIER:  IT WAS FOUND NEAR A BRICK WALL I THINK TOWARD
THE BACK OF THE ROCKINGHAM ESTATE KIND OF DOWN THE WAY FROM THE
-- I BELIEVE THE ROCKINGHAM SIDE.
           IT CLEARLY HADN'T BEEN THERE THE 13TH.  I MEAN, IT
WAS IN RELATIVELY PLAIN VIEW AND SOMEONE HAD PUT IT THERE.  IT
WAS WRAPPED IN A POLKA DOTTED OUTFIT OR BLOUSE I BELIEVE THAT I
BELIEVE ALSO HAD BLOOD ON IT, ALTHOUGH I DON'T THINK THAT WAS
TESTED.
     MS. CLARK:  YOUR HONOR, THE POINT OF THIS IS THAT IT'S
ENTIRELY IRRELEVANT.  THAT'S THE PROBLEM.
           IF WHAT WE HAVE ON THE KNIFE -- EXCUSE ME, MR.
BLASIER.
           IF WHAT WE HAVE ON THE KNIFE IS TYPE EAP B, THEN
OBVIOUSLY IT'S NOT OF EITHER OF OUR VICTIMS. THE VICTIMS IN THIS
CASE ARE BA AND I THINK BA.
     THE COURT:  IS THERE A REASON YOU ARE ARGUING THIS RATHER
THAN MR. GOLDBERG?
     MS. CLARK:  BECAUSE I LOOKED INTO THIS ISSUE WHEN MR.
BLASIER INFORMED ME THAT HE WAS GOING TO BE RAISING THIS ISSUE
WITH THE COURT AND MR. GOLDBERG WAS IN THE PROCESS OF EXAMINING
THE WITNESS AND SO WASN'T -- DIDN'T HAVE THE OPPORTUNITY TO
INFORM HIMSELF OF THE ISSUES AS I DID.  IT'S JUST MORE
EXPEDITIOUS IF I ADDRESS IT THAN IF I SIT AND WHISPER IN MR.
GOLDBERG'S EAR AND HAVE HIM ADDRESS THE COURT.

            SO WHAT WE HAVE IS AN ITEM OF EVIDENCE THAT IS
ENTIRELY IRRELEVANT BASED ON THE TESTING THAT WAS DONE.
     THE COURT:  ALL RIGHT.
           PROSECUTION -- NEITHER SIDE MAY MENTION 118 UNTIL I
HAVE SOME MORE INFORMATION ABOUT WHERE IT CAME FROM, WHEN AND
WHAT IT IS.  PROSECUTION IS ORDERED TO PRODUCE THAT ITEM IN COURT
TOMORROW MORNING.
     MS. CLARK:  OKAY.
           AND WOULD THE COURT ALSO LIKE SOME DOCUMENTATION AS
TO THE TIME AND METHOD OF RECOVERY, ET CETERA.
     THE COURT:  WE'RE NOT GOING TO USE IT UNTIL I KNOW WHERE IT
CAME FROM.
           ALL RIGHT.  AND AS I INDICATED, THIS IS THE FIRST
MENTION OF THIS ITEM TO THE COURT.
     MS. CLARK:  RIGHT.
     THE COURT:  ALL RIGHT.
     MR. GOLDBERG:  MAY WE HAVE PERMISSION THEN TO USE A
REDACTED COPY OF THE ANALYZED EVIDENCE REPORT AT THIS TIME
PENDING THE COURT'S FURTHER RULING?
     THE COURT:  FOR TODAY, YES.  BUT I WANT ALL THE REPORTS
PRODUCED TOMORROW AND THE ITEM.
           ALL RIGHT.
           LET'S PROCEED.  LET'S HAVE THE JURY, PLEASE.

      MR. GOLDBERG:  YOUR HONOR, DEPENDING ON THE COURT'S
RULING, WE MAY WANT -- WE WOULD ASK FOR PERMISSION TO REOPEN IF
THE COURT WERE GOING TO ALLOW THIS IN, BECAUSE I DO EXPECT TO
FINISH MY DIRECT SOMETIME --
     THE COURT:  TODAY.
     MR. GOLDBERG:  -- IN THE MID AFTERNOON.
     THE COURT:  OKAY.
           I'LL TAKE THAT -- YOU KNOW, ONCE WE SEE WHAT IT IS,
WE'LL SEE.  BUT SINCE I KNOW NOTHING ABOUT IT AND THIS IS THE
FIRST I'VE BEEN ADVISED OF THE EXISTENCE OF THIS ITEM -- BUT I
WOULD RATHER USE THE TIME WITH THE JURY TO FINISH AT LEAST THE
BASIC BLOOD TESTING.
     MS. CLARK:  AND WE'LL COMPLETE DIRECT SUBJECT TO THE
COURT'S DETERMINATION ON THAT ITEM?
     THE COURT:  YES.


             (THE FOLLOWING PROCEEDINGS WERE
            HELD IN OPEN COURT, IN THE
            PRESENCE OF THE JURY:)

     THE COURT:  ALL RIGHT.
           THANK YOU, LADIES AND GENTLEMEN.
           THE RECORD SHOULD REFLECT THAT WE'VE NOW BEEN
REJOINED BY ALL THE MEMBERS OF OUR JURY PANEL.
           GOOD AFTERNOON, LADIES AND GENTLEMEN.
     THE JURY:  GOOD AFTERNOON.
     THE COURT:  MR. MATHESON, WOULD YOU RESUME THE WITNESS
STAND, PLEASE.

                 GREGORY MATHESON,

THE WITNESS ON THE STAND AT THE TIME OF THE LUNCH RECESS, RESUMED
THE STAND AND TESTIFIED FURTHER AS FOLLOWS:
     THE COURT:  ALL RIGHT.
           LET THE RECORD REFLECT THAT MR. GREGORY MATHESON IS
AGAIN ON THE WITNESS STAND UNDERGOING DIRECT EXAMINATION BY MR.
GOLDBERG.
           GOOD AFTERNOON, MR. MATHESON.
     THE WITNESS:  GOOD AFTERNOON.
     THE COURT:  YOU ARE REMINDED, SIR, YOU ARE STILL UNDER
OATH.
           AND, MR. GOLDBERG, YOU MAY CONTINUE WITH YOUR DIRECT
EXAMINATION.
              DIRECT EXAMINATION (RESUMED)

BY MR. GOLDBERG:
     Q     OKAY.
           WE WERE TALKING ABOUT ERYTHRO ACID PHOSPHATASE AND
THE DIFFERENT PHENOTYPES.
           NOW, IS THERE A PARTICULAR PATTERN IN WHICH EAP TYPE
B -- EXCUSE ME -- TYPE BA IS KNOWN TO DEGRADE?
     A     YES.
     Q     WHAT IS THAT?
     A     WELL, IN GENERAL, THE A BANDS ARE MORE LABILE OR LESS
STABLE AND NEXT COMES THE B AND THE C.  SO IN THE CASE OF THE
TYPE BA -- EXCUSE ME -- THE -- THEY'RE ALL LOSING ACTIVITY TO
SOME EXTENT, BUT THE A BANDS BEING THE MOST LABILE, THE MOST
SENSITIVE TO DEGRADATION ARE GOING TO DISAPPEAR FIRST BEFORE THE
B BANDS.
     Q     BY THE WAY, WHEN A SAMPLE IS DEPOSITED AT A CRIME
SCENE, WHEN DOES THE DEGRADATION PROCESS START?
     A     IT STARTS IMMEDIATELY AS SOON AS THE BLOOD LEAVES THE
BODY.
     Q     SO IS IT COMMON IN THE LOS ANGELES POLICE DEPARTMENT
TO TEST SAMPLES IN THE SEROLOGY SECTION THAT HAVE SOME DEGREE OF
DEGRADATION IN THEM?
     A     I WOULD SAY EVERY SAMPLE TO SOME EXTENT HAS SOME
DEGREE OF DEGRADATION OCCURRING.
     Q     IF THE DEGRADATION IS TO THE EXTENT WHERE ONE MARKER
IS NO LONGER TYPEABLE, BUT YOU'RE STILL ABLE TO TYPE ANOTHER
MARKER, SAY YOU CAN'T TYPE EAP, BUT YOU CAN STILL TYPE PGM
SUBTYPE, DOES THE FACT THAT ONE OF THE MARKERS HAS BEEN LOST IN
ANY WAY UNDERMIND THE CONFIDENCE OF THE RESULTS AND THE PGM
SUBTYPE?
     A     NO, IT DOESN'T.
     MR. GOLDBERG:  YOUR HONOR, I -- WITH THE COURT'S
PERMISSION, I WANTED THE WITNESS JUST TO SHOW US HOW THESE ITEMS
DEGRADE BY --
     THE COURT:  YES.
     MR. GOLDBERG:  -- DRAWING ON THIS DIAGRAM. DOES THE COURT
WANT A PERMANENT RECORD OF THAT BY USING THE ACETATE?
     THE COURT:  YES.
     Q     BY MR. GOLDBERG:  OKAY.
           MR. MATHESON, MAYBE YOU CAN STEP DOWN AND PULL THE
ACETATE OVER AND JUST --
     MR. BLASIER:  I'M GOING TO OBJECT WITHOUT SOME FURTHER
FOUNDATION AS TO HOW HE KNOWS THIS.
     MR. GOLDBERG:  JUST HAVE HIM WHAT?
     THE COURT:  FOUNDATION AS TO HIS KNOWLEDGE REGARDING THE
MANNER IN WHICH THESE THINGS DEGRADE.
     Q     BY MR. GOLDBERG:  SIR, HAVE YOU READ ARTICLES
REGARDING THIS DEGRADATION ISSUE WITH RESPECT TO THE EAP?
     A     YES, I HAVE.
     Q     WHEN DID YOU FIRST BECOME FAMILIAR WITH IT, THE
ISSUE?
     A     I FIRST BECAME AWARE OF IT IN A CLASS THAT I
MENTIONED I TOOK AT THE FBI ACADEMY BACK IN 1982, THE DEGRADATION
ROUTE OF THIS PARTICULAR SYSTEM.
     Q     AND WAS IT WELL KNOWN IN THE FORENSIC COMMUNITY IN
THAT TIME?
     A     IT WAS INCLUDED AS PART OF THE CURRICULUM.  SO I
BELIEVE SO.
     Q     OKAY.
           IN ADDITION TO THAT KIND OF STUDY ABOUT THIS
PHENOMENON ON EAP, HAVE YOU YOURSELF PERSONALLY WITNESSED IT AS A
SEROLOGIST WORKING IN THE LOS ANGELES POLICE DEPARTMENT SEROLOGY
LABORATORY?
     A     YES, I HAVE.
     Q     HOW SO?
     A     THERE -- I'VE WITNESSED THE PHENOMENON OR THIS
CONDITION TO OCCUR IN A COUPLE OF CASES.
           ONE THAT COMES TO MIND WAS A CASE IN WHICH A NUMBER
OF MARKERS WERE RUN.  THE ONLY DIFFERENCE IN ANY OF THEM WAS IN
THE EAP SYSTEM, A SIMILAR TYPE OF THING WHERE HAD IT BEEN A BA,
IT WOULD HAVE BEEN CONSISTENT WITH THE PARTY THAT WE HAD REASON
TO BELIEVE IT CAME FROM.
           WE GOT RESULTS IN THE REST OF THE MARKERS.  THEY
MATCHED.  THE EAP EXHIBITED A TYPE B WHICH GAVE US CONCERN ABOUT
IT KNOWING THAT THAT WAS  THE DEGRADATION ROUTE.  THAT WAS ONE
EXAMPLE OF WHERE WE FEEL WE'VE SEEN IT IN CASEWORK.
     Q     NOW, I WANTED TO ASK YOU ABOUT THIS DEGRADATION
ROUTE, AND MAYBE JUST USING ARROWS, YOU COULD JUST WRITE OUT WHAT
THE DEGRADATION ROUTE IS WITH RESPECT TO A TYPE BA, HOW IT
DEGRADES.  MAYBE YOU CAN JUST WRITE OUT THE LETTERS BA AND JUST
SHOW US WITH ARROWS.
     A     I'M SORRY.
     THE COURT:  SUSTAINED.
           REPHRASE THE QUESTION.
     Q     BY MR. GOLDBERG:  YOU SAID THAT A TYPE BA CAN DEGRADE
INTO A B.  AND SO I'LL JUST WRITE A LITTLE ARROW DOWN TO B
(INDICATING).
     A     A BA CAN DEGRADE UNTIL IT CAN BE -- LOOK LIKE OR BE
CONFUSED WITH A B.
     Q     OKAY.
           AND MAYBE I MAY HAVE BEEN PHRASING SOME OF MY
QUESTIONS INARTFULLY.
           DOES THE TYPE ACTUALLY CHANGE OR IS IT THE APPEARANCE
THAT CHANGES?
     A     WELL, IT'S THE APPEARANCE.  IT'S WHAT WE ARE SEEING
AS FAR AS OUR DEVELOPMENT IS WHAT ACTUALLY CHANGES.
     Q     SO IS THIS PHENOMENON OF BA TO B ONE THAT YOU HAVE
SEEN IN YOUR WORK AND ALSO THAT'S BEEN NOTED IN THE FORENSIC
SCIENCE LITERATURE?
     A     YES.
     Q     OKAY.
           BUT DOES IT HAPPEN THE OTHER WAY AROUND? I MEAN, CAN
YOU GET IT TO DEGRADE FROM THE B TO A BA?
     A     NO.
     Q     SO THERE IS A DEFINE DEGRADATION ROUTE WITH RESPECT
TO THIS MARKER?
     A     YES.  LIKE I MENTIONED EARLIER, THE A BANDS ARE THE
LEAST ABLE, THEN COMES THE B AND THEN THE C.
     Q     MR. MATHESON, MAYBE YOU COULD JUST FLIP THAT ACETATE
OVER FOR US.

           (THE WITNESS COMPLIES.)

     Q     BY MR. GOLDBERG:  AND THERE ARE SOME MAGNETIC STRIPS.
           CAN YOU TELL US USING THE BA TYPE PHENOTYPE ON THIS
DIAGRAM, SHOW US HOW IT WOULD APPEAR, HOW IT WOULD DEGRADE TO
APPEAR AS A TYPE B?
     A     WELL, AS I MENTIONED, A BANDS IN A DEGRADATION
PROCESS WOULD BE THE ONES THAT WOULD START DISAPPEARING FIRST.
SO EVENTUALLY YOU GET TO A POINT --
           YOU NOTICE HOW THIS ONE IS SIGNIFICANTLY LARGER.
IT'S THE MOST INTENSE IN THE BA.
           EVENTUALLY YOU WOULD HAVE A LOSS OF THESE TWO BANDS
AS IT DEGRADES AND GETS WEAKER.  IT ALSO TO SOME EXTENT HAS SOME
LESSENING IN THE INTENSITY OF  THIS BAND (INDICATING).
     Q     LET ME JUST STOP YOU FOR A SECOND.
           OKAY.
           THE FIRST TWO ITEMS THAT YOU PUT ON WHERE YOU PUT
COVER-UPS OVER THE A BANDS IN THE BA SYSTEM --
     A     YES.
     Q     -- CAN YOU TELL US WHERE THE B BANDS IN THAT SYSTEM
ARE IN THE B BAND?
     A     THE -- IT'S A COMBINATION BETWEEN THESE TWO, BUT THIS
IS THE MAJOR B BAND (INDICATING).
     Q     SO YOU'RE REFERRING TO THE DIAGRAM AND YOU JUST
POINTED TO THE -- STARTED FROM THE RIGHT SIDE OF THE DIAGRAM,
WHAT WOULD BE THE FIRST BLOCK AND THE THIRD BLOCK?
     A     YES.
     Q     AND YOU'VE COVERED UP THE SECOND AND THE FOURTH
BLOCKS?
     A     THAT'S CORRECT.
     Q     AND CAN YOU SHOW US USING THIS DIAGRAM THE COMPARISON
BETWEEN THE B AND THE BA WHERE THE A BANDS ARE?
     A     AGAIN, USING JUST THE BLOCK DIAGRAM SHOWING RELATIVE
LOCATIONS OF IT, ONCE THE A BANDS HAVE DEGRADED, THESE STAY IN
THE SAME POSITION, WHICH ARE IN THE SAME POSITION AS THE B BANDS
AND YOU CAN SEE THE RELEVANT INTENSITIES ARE SUCH THAT THE UPPER
BAND --
     MR. COCHRAN:  YOUR HONOR, ONE OF THE JURORS IS HAVING
TROUBLE SEEING.
     MR. GOLDBERG:  MAYBE WE COULD --
     THE COURT:  1492, ARE YOU HAVING PROBLEMS SEEING THAT?
     JUROR NO. 1492:  NO.
     MR. GOLDBERG:  MAYBE WE CAN KIND OF LIFT THIS A LITTLE BIT.
           CAN WE MOVE THIS OVER HERE, YOUR HONOR?
     THE COURT:  MOVE IT UP.

           (BRIEF PAUSE.)

     MR. GOLDBERG:  MAYBE WITH THE COURT'S PERMISSION, WE COULD
JUST GO OVER THIS PORTION ONE MORE TIME, OF HIS TESTIMONY.
     THE COURT:  HOLD ON.

           (BRIEF PAUSE.)

     THE COURT:  BRIEFLY SINCE THERE'S AN INDICATION THAT THE
JURORS IN THE BACK ROW DIDN'T SEE THIS.
     Q     BY MR. GOLDBERG:  LET'S TAKE THE MAGNETIC STRIPS OFF.
           NOW, THERE WERE TWO MAGNETIC STRIPS THAT YOU PUT ON
THE TYPE BA PHENOTYPE FIRST.  CAN YOU DO THAT AGAIN?

      A     OKAY.
           I'M GOING TO BE PLACING A BLOCK COVERING ON THE TYPE
BA COVERING OVER THE TWO A BANDS.
     Q     AND WHEN YOU SAY "A BANDS," DOES THIS DIAGRAM
INDICATE IN SOME FASHION THAT THOSE ARE THE A BANDS?
     A     YES.  RIGHT ACROSS THE TOP OF THE DIAGRAM, IT'S
INDICATED THE DIFFERENT BANDS, AB, A AND C.
     Q     ALL RIGHT.
           AND ONCE THE A BANDS ARE COVERED ON THE TYPE BA, DOES
THAT THEN BEGIN TO LOOK LIKE ANY OTHER PATTERN THAT'S CONTAINED
ON THIS CHART?
     A     YES.
     Q     WHAT PATTERN?
     A     WELL, THEN YOU CAN SEE THAT THE GENERAL LOCATION IS
STILL THE SAME AS THE B PATTERN AND THE RELATIVE INTENSITIES
BETWEEN THE TWO BANDS IS CONSISTENT IN THAT THE THIRD ONE FROM
THE RIGHT IS MORE INTENSE THAN THE FIRST ONE FROM THE RIGHT.
     Q     AND THEN YOU PUT ON A THIRD COVER?
     A     WELL, THIS IS MERELY TO INDICATE -- THE DEGRADATION
IS OCCURRING ON ALL THE ITEMS.  SO YOU'RE ACTUALLY GOING TO HAVE
SOME LESSENING OF THE INTENSITY OF THIS B BAND, BUT IT'S STILL --
IN RELATION TO THE OTHER ONE, IT'S GOING TO BE BRIGHTER, MORE
INTENSE.

      Q     AND WHEN YOU SEE THIS PARTICULAR PATTERN FROM A
DEGRADED BA SAMPLE ON ELECTROPHORESIS PLATE, CAN YOU TELL THAT
IT'S BEEN DEGRADED BY LOOKING AT THE PLATE OR WHAT DOES IT LOOK
LIKE?
     A     JUST BY LOOKING AT THE PLATE, AS LONG AS BOTH BANDS
ARE THERE, NO, YOU CAN'T.  IT STILL LOOKS LIKE A B.
     Q     AND WHY IS IT THAT ONE OF THE BANDS FOR THE TYPE BA
PHENOTYPE IS UNDER WHAT APPEARS TO BE C?
     A     WELL, THE IDENTIFICATION OF EITHER A TYPE B OR A C IS
INDEPENDENT OF ITS LOCATION.
           IN OTHER WORDS, IF YOU HAVE A BAND THAT SHOWS UP IN
THE 1 OR THE 3 POSITION, JUST THE MERE PRESENCE OF A BAND DOESN'T
INDICATE WHETHER IT'S A B OR A C OR A COMBINATION OF BC.  IT HAS
TO DO WITH THE INTENSITY.  THE C, THE BAND FARTHEST TO THE RIGHT,
IS MOST INTENSE IN BRIGHTNESS AND B, THE ONE TOWARDS THE LEFT, IS
MOST INTENSE IN BRIGHTNESS.
     Q     THANK YOU.  YOU CAN RESUME THE STAND.
           OKAY.
           SO IF THERE IS A SLIGHT DECREASE IN BRIGHTNESS OF
WHAT YOU'RE CALLING THE SECOND B BAND ON THE TYPE BA IN THE
DEGRADED SAMPLE THAT YOU'VE CREATED WITH THE COVER-UPS, WHY WOULD
THAT STILL BE CALLED AS A TYPE B?
     A     WELL, IT'S JUST SLIGHT DEGRADATION. YOU'D CALL IT A B
DEPENDING ON THE INTENSITY DIFFERENCES OR RELATIONSHIP BETWEEN
THE BAND ON THE  FAR RIGHT AND THE THIRD ONE.  AS LONG AS THE
THIRD ONE IS MORE INTENSE THAN THE FIRST ONE, THEN IT'S A B.
     Q     AND IS THIS THE MANNER IN WHICH THIS PHENOMENON OF
MISTYPING A BA AS A B CAN OCCUR?
     A     AS FAR AS MY UNDERSTANDING, YES.
     Q     SO WHAT YOU ARE DOING HERE IS, YOU ARE LOOKING AT THE
RELATIVE INTENSITY ON THE TYPE BA PHENOTYPE BETWEEN THE B IN
COMPARISON TO THE BAND THAT IS UNDER WHERE IT SAYS C?
     A     THAT'S CORRECT.
     Q     AND THE EXISTENCE OF THOSE TWO BANDS?
     A     YES.
     Q     WHAT TWO THINGS -- WHAT THINGS ARE YOU LOOKING AT
OTHER THAN INTENSITY IN CALLING THE B -- IN CALLING THE BA AS A
B?
     A     YOU'VE LOOKING AT BAND LOCATION IN THE ABSENCE OF THE
A BANDS.  IF THE A BANDS ARE NOT PRESENT AND YOU HAVE A BAND IN
WHAT'S DESCRIBED UP THERE AS THE C COLUMN AND THE B COLUMN AND
THE B-1 IS MORE INTENSE, THEN IT'S GOING TO BE CALLED A B.  IT
LOOKS LIKE A B.
     Q     SO IF WE'RE LOOKING AT THE TRUE B PHENOTYPE, WHICH IS
MORE INTENSE BETWEEN THE BAND UNDER WHERE IT SAYS C AND THE BAND
UNDER WHERE IT SAYS B?
     A     THE ONE UNDER B.

      Q     IS THAT WHY THIS IS LARGER ON THE BLOCK DIAGRAM?
     A     YES.  THAT INDICATES BRIGHTNESS OR INTENSITY.
     Q     OKAY.
           AND THEN IF YOU COMPARE THE BA DEGRADED PHENOTYPE TO
THE B PHENOTYPE, IS THE RELATIVE INTENSITIES OF THE RESPECTIVE
BANDS THE SAME?
     A     YES, IN THAT THE ONE UNDER THE B COLUMN IS BRIGHTER
THAN THE ONE UNDER THE C COLUMN.
     Q     IN BOTH OF THEM?
     A     THAT'S CORRECT.
     Q     NOW, MR. MATHESON, IF IT IS KNOWN THAT THE EAP SYSTEM
HAS THIS PROBLEM, WHY IS IT USED FOR FORENSIC TESTING?
     A     WELL, IT STILL HAS SOME VALUE IN THAT YOU CAN GET
INFORMATION OUT OF IT.
           IF YOU DON'T HAVE A DEGRADED SAMPLE, IT'S A VERY GOOD
SYSTEM BECAUSE OF THE WAY THE DIFFERENT TYPES BREAK DOWN LIKE I
MENTIONED BEFORE IN THE PERCENTAGES AND IT IS A REASONABLY ROBUST
SYSTEM IN THAT IT IS DETECTABLE IN STAINS AND THAT TYPE OF THING,
PLUS IT CAN BE ANALYZED ALONG WITH OTHER ENZYMES.
           THERE IS NO PROBLEM WITH USING SOMETHING LIKE THIS AS
LONG AS YOU'RE AWARE OF ITS LIMITATIONS.
     Q     AND WHAT ARE ITS LIMITATIONS?
     A     JUST WHAT WE'VE BEEN DISCUSSING, IN THAT YOU CAN GET
SELECTED DEGRADATION THAT CAN CAUSE ONE TYPE TO LOOK LIKE ANOTHER
ONE.
     Q     NOW, WHEN YOU'RE DOING THE EAP TESTING, DO YOU HAVE
TO CONSUME ANY ADDITIONAL SAMPLE IN ORDER TO RUN THIS TEST?
     A     IT DEPENDS ON HOW YOU RUN IT.  THERE ARE WHAT ARE
CALLED SINGLE SYSTEMS WHERE WHEN YOU RUN YOUR ELECTROPHORESIS
PLATE, THE ONLY THING THAT YOU ANALYZE FOR IS SAY THE EAP SYSTEM.
           IN THIS PARTICULAR CASE AND WITH PROCEDURES THAT WE
HAVE IN PLACE IN OUR LABORATORY, WE HAVE A SYSTEM THAT ALLOWS US
TO RUN PGM SUBTYPING AND EAP USING THE EXACT SAME SAMPLE, THE
EXACT SAME GEL.  SO IT DOESN'T USE ANY MORE SAMPLE TO GET THIS
INFORMATION.
     Q     SO IN THIS PARTICULAR CASE, WERE YOU ABLE TO GET THE
EAP INFORMATION WITHOUT CONSUMING ANY ADDITIONAL SAMPLE?
     A     THAT'S CORRECT.
     Q     OVER AND ABOVE WHAT YOU WERE USING IN PGM SUBTYPING?
     A     CORRECT.
     Q     AND WHY IS THAT OF CONCERN, AS TO HOW MUCH SAMPLE
YOU'RE USING?
     A     WELL, THAT'S ALWAYS A CONCERN WHEN IT COMES TO
FORENSIC SEROLOGY.  YOU DON'T WANT TO USE ANY MORE THAN
NECESSARY.  YOU PRESERVE AS MUCH OF THE  SAMPLE FOR EITHER
RETESTING OR CONFIRMATION AT A LATER TIME.
     Q     ALL RIGHT.
           I WOULD LIKE TO RETURN TO THE SEROLOGY RESULTS BOARD.

           (BRIEF PAUSE.)

     Q     BY MR. GOLDBERG:  NOW, MR. MATHESON, WHAT WERE THE
EAP RESULTS ON THE REFERENCE VIALS IN THIS CASE?
     A     THE RESULTS ON ITEM NO. 17, REFERENCE BLOOD, MARKS
COMING FROM MR. SIMPSON, EAP TYPE BA, ITEM NUMBER 59 FROM NICOLE
BROWN, EAP TYPE BA AND ITEM NO. 60, MR. GOLDMAN, IS AN EAP TYPE
A.
     Q     NOW, IF THE SUSPECT IN A CASE IS A TYPE BA AND YOU
HAVE RUN THE TEST AND IT LOOKS LIKE A B WHEN YOU RUN THE TEST,
DOES THAT INCLUDE OR EXCLUDE THE SUSPECT?
     A     IT EXCLUDES.
     Q     NOW, GIVEN THE KNOWN DEGRADATION ISSUE THAT YOU
TALKED ABOUT WITH RESPECT TO THE BA TYPE, CAN YOU SAY THAT THE
SUSPECT DID NOT CONTRIBUTE THAT SAMPLE?
     A     WELL, IN AND ON THE FACE, IF YOU KNOW FOR A FACT THAT
IT IS A TYPE B AND CANNOT BE A DEGRADATION PRODUCT, THEN YES, IT
DOES IN FACT EXCLUDE HIM.  IF YOU CAN NOT TOTALLY ELIMINATE THE
FACT THAT A DEGRADATION DID OCCUR, THEN YOU CAN'T USE THAT AS AN
ABSOLUTE EXCLUDER.
     Q     SO IF YOU CAN NOT ELIMINATE THE POSSIBILITY OF
DEGRADATION, IS A TYPE B RESULT AN EXCLUSION OF A SUSPECT WHO IS
TYPE BA?
     A     IT'S NOT AN ABSOLUTE EXCLUSION, NO.  YOU JUST HAVE TO
KEEP IN MIND THAT YOU ARE SEEING A B, BUT A DEGRADED BA IS A
POSSIBILITY.
     MR. GOLDBERG:  YOUR HONOR, AT THIS TIME, I WOULD LIKE TO
MARK A COPY OF THE ANALYZED EVIDENCE REPORT.  IT'S PEOPLE'S 218
FOR IDENTIFICATION.
     THE COURT:  ALL RIGHT.
           ANALYZED EVIDENCE REPORT.

         (PEO'S 218 FOR ID = EVIDENCE REPORT)

     THE COURT:  WHAT'S THE DATE ON THE REPORT?
     MR. GOLDBERG:  THIS IS PAGE 3 OF THE REPORT THAT WAS DATED
SEPTEMBER -- SEPTEMBER 18TH.
     THE COURT:  SEPTEMBER 18TH.
     MR. GOLDBERG:  AND I'M GOING TO PUT A 217 ON THE REVERSE
SIDE OF THAT.  EXCUSE ME.  OCTOBER 18TH.
     THE COURT:  THIS IS 218?  218.
     Q     BY MR. GOLDBERG:  HAVE TO LOWER THE SEROLOGY RESULTS
BOARD AGAIN.
           WHILE HE'S DOING THAT, MR. MATHESON, DID YOU DO SOME
TESTING ON THE FINGERNAIL SCRAPINGS, SOME FINGERNAIL SCRAPINGS,
ITEM NO. 84-A AND B?
     A     YES, I DID.
     Q     ALL RIGHT.
           AND I WANT TO ASK YOU SOME QUESTIONS ABOUT YOUR
REPORT AS TO THE RESULTS ON THOSE ITEMS.
           CAN YOU SEE THE PARAGRAPH THAT SAYS 84-A AND B?
     A     YES, I DO.
     Q     AND DOES THAT RELATE YOUR FINDINGS WITH RESPECT TO
THE FINGERNAIL SCRAPINGS UNDERNEATH THE FINGERNAILS ON 84-A AND
B?
     A     IT'S A NARRATIVE EXPLANATION OF THE RESULTS, YES.
     Q     AND CAN YOU TELL US WHAT YOU WROTE THERE AS DEPICTED
ON THIS PARTICULAR REPORT, IF YOU CAN READ IT OFF THE SCREEN?
     A     YES.
           IT SAYS:
     "ITEM NO. 84-A AND 84-B COULD NOT HAVE COME FROM NICOLE
BROWN SIMPSON, RONALD GOLDMAN OR O.J. SIMPSON.  HOWEVER, NICOLE
BROWN SIMPSON CANNOT BE EXCLUDED AS A SOURCE OF THE STAIN IF THE
EAP TYPE B OBSERVED ON THE ITEMS WERE DEGRADED FROM A TYPE BA."



     Q     ALL RIGHT.
           SO WOULD IT BE A FAIR READING OF THE REPORT IF
SOMEONE WERE TO SAY THAT THIS CATAGORICALLY  EXCLUDED NICOLE
BROWN SIMPSON, RONALD GOLDMAN OR O.J. SIMPSON OF BEING A DONOR OF
THE MATERIAL UNDERNEATH THE FINGERNAIL?
     A     WELL, CATAGORICALLY EXCLUDES TWO OF THEM.  IT DOES
NOT ABSOLUTELY EXCLUDE NICOLE SIMPSON OR NICOLE BROWN.
     Q     WHAT ABOUT NICOLE BROWN?
           OKAY.
           NOW, WHEN YOU WROTE THAT SECOND SENTENCE, THAT NICOLE
BROWN COULD NOT BE EXCLUDED AS A POSSIBLE DONOR, WHY DID YOU
WRITE THAT?
     A     THE REASON THAT IT'S IN THERE IS FIRST OFF, THERE'S
TWO MARKERS THAT WERE IDENTIFIED IN THOSE ITEMS, THE PGM SUBTYPE
AND THE EAP.  USED THE PGM SUBTYPE TO ELIMINATE THE OTHER TWO
PARTIES INVOLVED.  THAT LEFT NICOLE BROWN.
           AND THEN THIS ISSUE KNOWING THAT A BA CAN BE DEGRADED
INTO A B, I WANTED TO INCLUDE THAT IN THERE SO THAT THERE WAS NO
CONFUSION AS TO AN ABSOLUTE STATEMENT OF EXCLUSION ON HER PART.
     Q     THAT'S FINE.
     MR. GOLDBERG:  LET US SEE THE SEROLOGY RESULTS BOARD.
           HOLD ON.

           (DISCUSSION HELD OFF THE RECORD
            BETWEEN THE DEPUTY DISTRICT
            ATTORNEYS.)

     MR. GOLDBERG:  LET'S PUT THE BOARD UP A LITTLE BIT.
     Q     BY MR. GOLDBERG:  OKAY.
           NOW, YOU WERE SAYING THAT YOU COULD EXCLUDE, OF THE
THREE INDIVIDUALS THAT WE HAVE THE REFERENCE VIALS FOR, EVERYONE
EXCEPT NICOLE BROWN AS TO ITEM NO. 84-A AND B, THE NAIL
SCRAPINGS; IS THAT CORRECT?
     A     YES, IT IS.
     Q     OKAY.
           NOW USING THIS CHART, CAN YOU SHOW US WHERE THE PGM
SUBTYPE RESULT IS FOR THE FINGERNAIL SCRAPINGS, 84-A AND 84-B?
     A     WELL, IF YOU GO ACROSS FROM THE COLUMN MARKED 84,
84-B, THERE'S TWO EMPTY SQUARES AND THEN YOU GET A NOTATION OF A
1 PLUS.  THAT IS UNDER THE COLUMN MARKED "PGM SUBTYPE."
     Q     AND WHY DO YOU SAY THAT YOU CAN EXCLUDE ORENTHAL
SIMPSON AS BEING A DONOR OF THAT PARTICULAR MATERIAL?
     A     BECAUSE IN THE PGM SUBTYPE SYSTEM, HE IS A 2 PLUS 2
MINUS AND THE RESULT OBTAINED ON THOSE WAS A 1 PLUS.

     Q     SO IN REPORTING THAT, HAVE YOU LOOKED AT OUR CHART
AND COMPARED THE 1 PLUS UNDER 84-A AND B TO THE 2 PLUS 2 MINUS
UNDER 17, ORENTHAL SIMPSON?
     A     YES, I DID.
     Q     MAYBE YOU CAN POINT WITH THE POINTER SO WE CAN ALL
SEE WHERE YOU'RE LOOKING AT, PLEASE.
     A     OKAY.
           THE RESULTS ON THE TWO EVIDENCE ITEMS, 84-A AND 84-B,
ARE IN THIS COLUMN RIGHT HERE LIKE I DESCRIBED BEFORE, THREE OVER
>FROM THE ITEM DESCRIPTION, 1 PLUS AND 1 PLUS, AND UP IN THE TOP
UNDER THE SAME COLUMN, PGM SUBTYPE OPPOSITE ITEM NO. 17 IS THE
NOTATION 2 PLUS 2 MINUS.
     Q     AND CAN YOU TELL US HOW IT IS THAT RONALD GOLDMAN CAN
BE EXCLUDED AS A DONOR OF 84-A AND B?
     A     WELL, IT'S IN THE SAME SYSTEM.  THE TWO EVIDENCE
ITEMS AGAIN GAVE US A 1 PLUS AND A 1 PLUS. MR. GOLDMAN WAS A 2
PLUS 1 PLUS.  SO IN THE ABSENCE OF THE 2 PLUS HERE, HE CAN BE
ELIMINATED AS A SOURCE OF THE BLOOD.
     Q     AND WHY IS IT THAT YOU CAN NOT ELIMINATE NICOLE BROWN
AS BEING A SOURCE OF THE BLOOD?
     A     AGAIN, ON THE NAIL SCRAPINGS, THE PGM SUBTYPE IS A 1
PLUS IN BOTH INSTANCES AND SHE WAS BOUND TO BE A PGM SUBTYPE 1
PLUS.
     Q     OKAY.
           BUT WHAT ABOUT THE DIFFERENCE IN EAP TYPE?
     A     WELL, AS NOTED IN THE REPORT, INITIALLY SHE IS
EXCLUDED.  HOWEVER, WE ALSO HAVE TO CONSIDER THE FACT THAT BA CAN
DEGRADE TO LOOK LIKE A B.
           SO ON FACE VALUE, ON THE RESULTS THAT WERE OBTAINED,
SHE CAN BE EXCLUDED.  HOWEVER, TAKING INTO ACCOUNT THE
DEGRADATION ROUTE OF THAT PARTICULAR ENZYME, I WOULD NOT DO A
TOTAL EXCLUSION ON HER.
     MR. GOLDBERG:  I WOULD LIKE TO MARK AS PEOPLE'S NEXT IN
ORDER AN ELECTROPHORESIS WORK SHEET THAT CONTAINS A REFERENCE TO
84-A AND B.
     THE COURT:  ALL RIGHT.
           PEOPLE'S 219.

         (PEO'S 219 FOR ID = WORK SHEET)

     MR. GOLDBERG:  I'LL JUST PLACE A 219 ON THE REVERSE SIDE OF
THIS.

           (DISCUSSION HELD OFF THE RECORD
            BETWEEN THE DEPUTY DISTRICT
            ATTORNEYS.)

     Q     BY MR. GOLDBERG:  NOW, SIR, WHAT IS THE DOCUMENT THAT
WE'RE LOOKING AT NOW?
     A     WHAT YOU'RE SEEING IS KIND OF ENLARGED PORTION OF A
SECTION OF A WORK SHEET THAT WE HAVE THAT'S CALLED
ELECTROPHORESIS WORK SHEET.

     Q     AND WAS PART OF THIS DOCUMENT FILLED OUT BY YOU?
     A     ALL EXCEPT FOR A COUPLE OF INITIALS IS  FILLED OUT BY
MYSELF.
     Q     NOW, WITH RESPECT TO THE 85-A AND 85-B RESULTS --
EXCUSE ME -- 84-A AND 84-B RESULTS. THAT'S THE FINGERNAILS
SCRAPINGS WE'RE TALKING ABOUT; IS THAT CORRECT?
     A     YES, IT IS.
     Q     NOW, WHAT DID YOU WRITE ON THE ELECTROPHORESIS WORK
SHEET WHEN YOU FILLED OUT THIS DOCUMENT WITH RESPECT TO THOSE
RESULTS?
     A     OKAY.
           UNDER THE COLUMN THAT'S MARKED EAP, THERE'S TWO ROWS
OF LETTERS.  THE ONE ON THE LEFT IS THE ROW THAT I PUT IN WHEN I
FIRST READ THE PLATE, AND OPPOSITE -- YOU GO FROM THE LEFT TO THE
RIGHT READING -- IT'S GOT THE DR NUMBER ASSOCIATED WITH THIS
CASE, 84-A AND 84-B ON THOSE TWO LINES.  YOU'LL NOTICE THAT THE
FIRST COLUMN UNDER EAP HAS A B WITH A QUESTION MARK ON IT.
     Q     IS THAT WHAT YOU WROTE?
     A     YES, IT IS.
     Q     WHAT DOES THE QUESTION MARK SIGNIFY, BECAUSE I SEE
YOU HAVE IT A NUMBER OF PLACES?
     A     IT INDICATES THAT ON MY FIRST READING, I WASN'T SURE.

IT LOOKED LIKE A B, BUT I WASN'T ABSOLUTELY POSITIVE OF IT.
     Q     AND WHY IS IT THAT YOU HAD THAT QUESTION IN YOUR MARK
-- QUESTION IN YOUR MIND THAT CAUSED YOU TO PUT THE QUESTION MARK
ON THE ELECTROPHORESIS WORK  SHEET?
     A     WELL, ON THIS PARTICULAR ITEM, I BELIEVE THE BANDS
WERE ON THE LIGHT SIDE AND KIND OF DEFUSED, THEY WERE A LITTLE
FUZZY.  THEY JUST WEREN'T GOOD LOOKING BANDS.
     MR. GOLDBERG:  MAYBE YOU CAN JUST PUT THE EAP BLOCK DIAGRAM
UP AGAIN.
           IT'S NOT GOING TO WORK.  I'M GOING TO HAVE TO LEARN
HOW TO WORK THIS EASEL.

           (BRIEF PAUSE.)

     Q     BY MR. GOLDBERG:  MR. MATHESON, WHEN YOU LOOKED AT
THE ELECTROPHORESIS PLATE WHEN YOU WERE TESTING ITEM 84-A AND B,
WITH RESPECT TO THE BANDS AT THE END THAT ALL OF THE PHENOTYPES
SHARE IN COMMON, WERE THOSE PRESENT?
     A     I BELIEVE IN THE CASE OF AT LEAST ONE IF NOT BOTH OF
THEM, THAT BAND WAS EITHER VERY WEAK OR NOT PRESENT AT TALL.
     Q     CAN YOU SHOW US WHAT IT LOOKED LIKE USING THE BLOCK
DIAGRAM AND THE MAGNETIC --
     A     WELL, BASICALLY IT WOULD HAVE BANDS IN THE AREA
CONSISTENT WITH THE STANDARDS FOR THE TWO B BANDS AND THEN THIS
AREA UP HERE WAS -- THERE WAS NOTHING PRESENT.
     Q     WHAT ARE THOSE BANDS CALLED, THE BANDS THAT ALL OF
THE ITEMS SHARE IN COMMON THAT ARE  REPRESENTED ON THE LEFT SIDE
OF THE EAP PHENOTYPE WORK?
     A     I'VE ALWAYS UNDERSTOOD THEM TO BE CALLED STORAGE
BANDS.
     Q     AND IS THERE ANY DIAGNOSTIC SIGNIFICANCE TO THEM IN
TERMS OF TRYING TO FIGURE OUT WHAT THE ITEM IN QUESTION IS?
     A     THEY HAVE NO BEARING ON WHAT THE TYPE IS, NO.
     Q     BUT IN THIS PARTICULAR CASE, THAT BAND WAS NOT THERE?
     A     I DON'T BELIEVE SO, NO.
     Q     WHAT ELSE ABOUT THE BANDS LOOKED STRANGE TO YOU OR
DIFFERENT TO YOU THAT CAUSED YOU TO WRITE THE QUESTION MARK?
     A     WELL, THEY WERE JUST NOT VERY DISTINCT. THEY'RE ON
THE LIGHT SIDE AND THEY WERE NOT VERY OBVIOUS DISTINCT BANDS.
     Q     AND WHEN YOU WROTE THE ANALYZED EVIDENCE REPORT, DO
YOU -- WHY DON'T YOU JUST SIMPLY TRANSPOSE WHATEVER IS ON THE
ANALYZED -- ON THE ELECTROPHORESIS WORK SHEET ONTO THE ANALYZED
EVIDENCE REPORT AND CALL IT AS A B QUESTION MARK?


     A     WELL, LIKE I PREVIOUSLY MENTIONED, THIS IS A WORK
SHEET.  IT'S SOMETHING THAT'S CREATED DURING THE COURSE OF OUR
READING THE BANDS.  THESE  PLATES ARE NEVER RUN OR READ ALONE.
YOU ALWAYS HAVE SOMEBODY CO-READ IT, AND THAT'S WHAT THIS SECOND
COLUMN IS FOR.  AND THEN THE INFORMATION THAT'S PUT ON THE FINAL
REPORT IS THE FINAL CONCLUSION OF WHAT IS SEEN TO BE PRESENT.
     Q     NOW, WHEN YOU ARE TESTING A BLOOD SAMPLE AND YOU GET
A RESULT FROM A KNOWN -- IF YOU GOT A RESULT FROM A KNOWN BLOOD
SAMPLE THAT YOU KNEW TO BE TYPE BA BLOOD THAT WAS IDENTICAL TO
THE RESULT THAT YOU GOT IN 84-A AND 84-B IN THIS CASE, HOW WOULD
IT BE CALLED?
     A     IF I UNDERSTAND THE QUESTION RIGHT, YOU'RE SAYING I
HAVE TWO SAMPLES, ONE OF WHICH I KNOW IS A TYPE BA?
     Q     LET'S SAY YOU HAVE ONE SAMPLE LET'S SAY FROM SOMEONE
IN YOUR LABORATORY THAT YOU'RE USING AS A REFERENCE SAMPLE AND
THEY'RE A KNOWN TYPE BA.  YET WHEN YOU TEST IT, YOU GET THE SAME
RESULT THAT YOU GOT ON 84-A AND 84-B.
     A     IT WOULD BE AN INDICATION THAT THAT BLOOD HAS
DEGRADED, THAT WE HAVE A PROBLEM WITH IT.
     Q     HOW WOULD YOU CALL IT THOUGH?
     A     WELL, IN THIS CASE, I KNOW WHAT IT'S SUPPOSED TO BE
AND I WOULD NOT CALL IT A RESULT FROM THAT.
     Q     BUT WOULD IT LOOK THE SAME IN APPEARANCE OR COULD IT
LOOK THE SAME IN APPEARANCE AS TO WHAT YOU SAW IN 84-A AND 84-B?
     MR. BLASIER:  OBJECTION.  CALLS FOR SPECULATION.
     THE COURT:  SUSTAINED.
     Q     BY MR. GOLDBERG:  COULD DEGRADED BLOOD, BA BLOOD GIVE
THE SAME APPEARANCE AS WHAT YOU SAW?
     A     YES, IT COULD.
     Q     NOW, IS THERE ANY -- WHEN YOU'RE MAKING YOUR CALL FOR
THE PURPOSES OF YOUR REPORT, DO YOU CONSIDER AT THAT TIME
ANYTHING OTHER THAN WHAT YOU SAW ON THE PLATE ITSELF?
     A     NOT AS FAR AS THE RESULT THAT'S PUT DOWN, NO.
     Q     AND WHY IS THAT?
     A     BECAUSE THAT'S THE RESULT.  YOU KNOW, WHEN -- WHEN
YOU HAVE SOMETHING THAT IS PRESENT, PARTICULARLY IN THE CASE OF
ELECTROPHORESIS, ON THE PLATE, IT IS READABLE, IT'S GIVING A
TYPE, THEN THAT IS THE TYPE THAT NEEDS TO BE REPORTED.
     Q     AND WHAT ABOUT THE SUGGESTION BY SOME ANALYSTS THAT
YOU SHOULD ALSO TAKE INTO ACCOUNT THE HISTORY AND THE ORIGIN OF
THE STAIN?  DO YOU DO THAT AT THAT PARTICULAR POINT IN TIME?
     A     TO SOME EXTENT.  THAT'S WHY THE SECOND PART OF THAT
PARAGRAPH INITIALLY EXCLUDING, BUT THEN WITH THE PROVISO OF THE
FACT THAT IT IS ONLY EXCLUSION IF IT'S NOT A DEGRADED SAMPLE.
     Q     SO AT THE TIME THAT YOU WROTE THAT PARAGRAPH, DID YOU
TAKE THE STEP OF TAKING A LOOK OR  TRYING TO TAKE A LOOK AT THE
HISTORY AND ORIGIN OF THE SAMPLE IN QUESTION 84-A AND 84-B?
     A     WELL, THE MAIN FACT THAT I TOOK INTO ACCOUNT IS WHERE
THE SAMPLE CAME FROM, AND THAT WAS UNDER THE VICTIM'S
FINGERNAILS.
     Q     OKAY.
           DID YOU TAKE A LOOK AT ANY CRIME SCENE PHOTOGRAPHS AT
THAT TIME, THE TIME THAT YOU WROTE YOUR REPORT?
     A     NOT AT THE TIME I HAD WRITTEN THE REPORT, BUT I HAVE
SEEN MANY PHOTOGRAPHS OF THE SCENE.
     Q     SINCE THEN?
     A     SINCE THEN AND PRIOR TO THEN, YES.
     Q     NOW, IN TERMS OF LOOKING AT THE HISTORY AND ORIGIN OF
THE STAIN FROM A FORENSIC SCIENCE STANDPOINT, IS THERE ANYTHING
ELSE THAT CAN BE DONE IN ORDER TO RESOLVE THE ISSUE OF 84-A AND
84-B BY LOOKING AT OTHER SAMPLES AT THE CRIME SCENE?
     A     THERE IS SOME INFORMATION THAT CAN BE DERIVED FROM
THAT.
     Q     AND SPECIFICALLY WHAT?
     A     LOOKING AT OTHER EVIDENCE ITEMS THAT WERE COLLECTED.
PARTICULARLY THOSE WHERE WE FEEL WE KNOW THE SOURCE OF THE BLOOD
SAMPLE.

     Q     ALL RIGHT.
           AND DID YOU DO THAT IN THIS CASE PRIOR TO TESTIFYING
TODAY?
     A     YES, I DID.
     MR. GOLDBERG:  JUST TAKE DOWN THE --

           (BRIEF PAUSE.)

     MR. BLASIER:  I WOULD OBJECT TO THIS LINE OF QUESTIONING,
THE SCIENTIFIC BASIS, ON 352.
     THE COURT:  OVERRULED AT THIS POINT.

           (DISCUSSION HELD OFF THE RECORD
            BETWEEN THE DEPUTY DISTRICT
            ATTORNEYS.)

     Q     BY MR. GOLDBERG:  MR. MATHESON, WHILE WE'RE PUTTING
IT UP, THE DATE ON THE ANALYZED EVIDENCE REPORT RELATING THE
FINDINGS ON 84-A AND B WAS WHAT?
     A     THE DATE ANALYSIS COMPLETED ON THAT REPORT IS OCTOBER
18TH, 1994.
     THE COURT:  MR. FAIRTLOUGH, YOU HAVE TO BE CAREFUL.  YOU
ALMOST GOT NO. 1 THERE.
           JUROR NO. 1, WOULD IT BE BETTER IF WE MOVED EVERYBODY
DOWN ONE SEAT?  WOULD THAT BE MORE COMFORTABLE FOR YOU?
     JUROR NO. 1:  IT'S OKAY.
     THE COURT:  YOU'RE OKAY?
     JUROR NO. 1:  THAT'S FINE.
     THE COURT:  ALL RIGHT.
     Q     BY MR. GOLDBERG:  NOW, MR. MATHESON, DIRECTING YOUR
ATTENTION TO THE DIAGRAM WE JUST PUT UP THAT SAYS "BUNDY DRIVE
BIOLOGICAL EVIDENCE," IT'S PEOPLE'S 165 FOR IDENTIFICATION, HAVE
YOU LOOKED AT THE PHOTOGRAPHS RELATING ITEM NO. 42, WHICH IS AT
THE BOTTOM, THE THIRD PHOTOGRAPH FROM THE RIGHT?
     A     YES, I HAVE.
     Q     AND WAS IT YOUR UNDERSTANDING FROM THE CRIME SCENE
PHOTOGRAPHS THAT THIS WAS THE AREA IN WHICH NICOLE BROWN HAD BEEN
LOCATED PRIOR TO HER BODY BEING REMOVED?
     A     YES.
     Q     NOW, DID YOU ALSO HEAR ANY EVIDENCE TO THE EFFECT
THAT WHEN THAT STAIN WAS RECOVERED, THAT MR. FUNG DESCRIBED IT AS
BEING TACKY?
     A     NO, I DIDN'T.
     Q     WELL, IF I WERE TO TELL YOU THAT THERE WAS SOME
EVIDENCE TO THAT EFFECT, WOULD THE FACT THAT IT WAS TACKY HAVE
ANY SIGNIFICANCE FROM A STANDPOINT OF THE AMOUNT OF DEGRADATION
YOU WOULD EXPECT IN THAT AREA?
     A     WELL, USING THE TERM "TACKY" BY HIM AND GIVEN THE
TIME THAT IT -- WELL, FIRST OFF, TACKY TO ME WOULD MEAN THAT IT
HAD NOT DRIED AS OPPOSED TO SOME OF THE OTHER SAMPLES THAT WERE
PRESENT AND THAT BEING A LIQUID IS ONE OF THE WORSE CONDITIONS
FOR BIOLOGICAL SAMPLES AS FAR AS DEGRADATION GOES.
           SO IF THAT SAMPLE WAS TACKY AT THE POINT  IT WAS
COLLECTED, IT MEANS THAT IT HAD BEEN DAMP FOR AN EXTENDED PERIOD
OF TIME AND POTENTIALLY SOME DEGRADATION HAS BEEN OCCURRING.
     Q     WHY IS IT THAT WET SAMPLES ARE MORE LIKELY TO DEGRADE
THAN DRY SAMPLES?
     A     WELL, IT ALLOWS THE DEGRADATION PROCESS TO OCCUR MUCH
MORE QUICKLY.  THAT'S THE ENVIRONMENT THAT IT LIKES TO OCCUR.
     Q     OKAY.
           AND WOULD IT BE PROPER TO TAKE INTO ACCOUNT TESTING
THAT YOU DID -- WELL, FIRST OF ALL, DID YOU DO SOME TESTING ON
ITEM 42?
     A     YES, I DID.
     Q     AND WOULD IT BE PROPER TO TAKE INTO ACCOUNT TEST
RESULTS THAT YOU GOT ON THAT IN RESOLVING THE ISSUE OF THE
FINGERNAIL SCRAPINGS, 84-A AND B?
     MR. BLASIER:  OBJECTION.  NO OBJECTION.
     THE COURT:  SUSTAINED.
           REPHRASE THE QUESTION.
     Q     BY MR. GOLDBERG:  IN THE FORENSIC SCIENCE LITERATURE,
IS THERE ANY RECOMMENDATION OF LOOKING AT A POOL OF THE VICTIM'S
BLOOD OR BLOOD ON HER CLOTHING IN RESOLVING DEGRADATION ISSUES?

     A     LOOKING AT BLOOD THAT'S KNOWN TO COME FROM A VICTIM,
YES, THERE IS.
     Q     WHY IS THAT?
     A     BECAUSE IT IS BLOOD THAT LEAVES THE BODY AROUND THE
TIME THAT THE EVENT OCCURRED.  IT IS KNOWN TO BE THAT PERSON'S.
IT'S KIND OF LIKE A REFERENCE SAMPLE THAT ENTERS THE ENVIRONMENT
AT THE SAME TIME AS THE EVIDENCE SAMPLES.
     Q     TO YOUR KNOWLEDGE, WAS ITEM 42 COLLECTED AS A
CIRCUMSTANTIAL REFERENCE SAMPLE OF THE VICTIM'S BLOOD?
     A     YES, IT WAS.
     Q     AND FROM A FORENSIC SCIENCE STANDPOINT, WOULD IT BE
APPROPRIATE TO LOOK AT TEST RESULTS ON THAT BLOOD FOR THE
PURPOSES OF RESOLVING WHAT WAS HAPPENING UNDER THE FINGERNAILS?
     A     WELL, IT WOULDN'T RESOLVE IT, BUT IT WOULD ALLOW SOME
ADDITIONAL INFORMATION TO BE OBTAINED, YES.
     Q     AND WHY IS THAT?
     A     WELL, BECAUSE IT IS BLOOD THAT IS BELIEVED TO BE THE
VICTIM'S GIVEN ITS LOCATION AND QUANTITY AND LIKE I MENTIONED
EARLIER, ENTERED THE ENVIRONMENT AT THE SAME TIME AS THE REST OF
THE BLOOD SAMPLES AT THE SCENE OR RELATIVELY CLOSE TO THE SAME
TIME, AND THUS IT SHOULD REFLECT THE TYPES THAT WE GET IN THE
EXEMPLAR SAMPLES, THE REFERENCE SAMPLES THAT ARE TAKEN FROM THAT
PERSON.
     Q     WOULD YOU EXPECT THE BLOOD IN ITEM NO. 42 TO HAVE
BEEN EXPOSED TO THE SAME ENVIRONMENTAL CONDITIONS AS THE BLOOD
UNDER THE FINGERNAILS?
     A     TO SOME EXTENT.
     MR. BLASIER:  OBJECTION.  NO FOUNDATION.
     THE COURT:  OVERRULED.
     THE WITNESS:  OBVIOUSLY THEY'RE NOT IN THE EXACT SAME SPOT.

THERE'S GOING TO BE SOME SLIGHT VARIATIONS, BUT THE GENERAL
TEMPERATURE OF THE AREA IS THE SAME, THE HUMIDITY AND THAT TYPE
OF THING.
     Q     BY MR. GOLDBERG:  AND DIRECTING YOUR ATTENTION NOW TO
ITEM NO. 57, WHICH IS DESCRIBED AS BEING A LABEL AND THE CALL OUT
LINE IS -- THAT'S BEEN TESTIFIED TO AS BEING IN THE AREA OF WHERE
NICOLE SIMPSON'S BODY WOULD HAVE BEEN, DID YOU ALSO DO SOME
TESTING ON THAT?
     A     YES, I DID.
     Q     AND SIMILARLY IF THAT WERE LOCATED IN THE AREA THAT
CONTAINED POOLING OF WHAT APPEARED TO BE THE VICTIM'S BLOOD,
COULD YOU ALSO TAKE A LOOK AT 57 THE SAME WAY THAT YOU DESCRIBED
WITH RESPECT TO 42?
     A     NOT EXACTLY THE SAME.  IT'S NOT IN THE IMMEDIATE
AREA.  IT'S A LITTLE BIT FURTHER AWAY. WE'RE STARTING TO GET A
LITTLE MORE SEPARATED.  THE FACT THAT IT IS DIRECTLY CONNECTED OR
IN RELATION TO A POOL WOULD ADD SOME WEIGHT TO BEING ABLE TO USE
IT FOR SOME ADDITIONAL INFORMATION.

     Q     ALL RIGHT.
           AND WITH RESPECT TO ITEM NO. 54 FOR IDENTIFICATION,
WHICH IS IN THE AREA OF THE GATE,  THERE'S A PHOTOGRAPH OF
CRIMINALIST MAZZOLA IN THE LOWER RIGHT-HAND CORNER AND A CALL OUT
LINE SHOWING WHERE THAT CAME FROM.
           WOULD THAT ITEM -- WOULD YOU EXPECT THAT TO HAVE BEEN
SUBJECT TO THE SAME ENVIRONMENTAL CONDITIONS AS THE BLOOD UNDER
THE FINGERNAILS AND ON THE POOL?
     MR. BLASIER:  YOUR HONOR, OBJECTION.  NO FOUNDATION THAT
THIS WITNESS HAS THAT KNOWLEDGE.
     THE COURT:  OVERRULED.  OVERRULED.
     THE WITNESS:  IT APPEARS THAT THAT SAMPLE IS UP ON THE
GATE.  IT'S GOING TO BE SUBJECTED TO THE SAME GENERAL
ENVIRONMENTAL AS FAR AS WEATHER CONDITIONS AND SUCH.
           HOWEVER, THE FACT THAT IT IS SEPARATED FROM THE REST,
IT APPEARS TO BE AN ISOLATED SPOT, PROBABLY DRIED FASTER WOULD BE
AN INDICATION THAT THE CONDITIONS WERE NOT EXACTLY THE SAME.
     Q     BY MR. GOLDBERG:  SO THE FACT THAT IT DRIED FASTER
WOULD MEAN WHAT?
     A     LESS LIKELY TO HAVE ANY FORM OF -- OR THE EXTENDED
DEGRADATION AS SAMPLES THAT WERE STILL WET.
     MR. GOLDBERG:  AT THIS TIME, I WOULD LIKE TO MARK THE WHAT
WE'VE CALLED THE FINGERNAIL OR NAIL SCRAPING BOARD, YOUR HONOR,
WHICH HAD SOME GRAPHIC OR ONE GRAPHIC PHOTOGRAPH ON IT.

           (DISCUSSION HELD OFF THE RECORD
             BETWEEN THE DEPUTY DISTRICT
            ATTORNEYS.)

     MR. GOLDBERG:  MAYBE WE CAN LEAVE - CAN WE JUST PUT IT UP
--
     THE COURT:  ALL RIGHT.  THE FINGERNAIL BOARD WE'LL PUT OVER
HERE.
     MR. GOLDBERG:  I HAVE 220, YOUR HONOR.
     THE COURT:  ALL RIGHT.  NO. 220.

         (PEO'S 220 FOR ID = BOARD)

     MR. BLASIER:  YOUR HONOR, I HAVE AN OBJECTION, FOUNDATIONAL
OBJECTION I WOULD LIKE TO APPROACH ON.
     THE COURT:  AS TO THE NAIL BOARD?
     MR. BLASIER:  YES.
     THE COURT:  WITH THE COURT REPORTER.

             (THE FOLLOWING PROCEEDINGS WERE              HELD
AT THE BENCH:)

     THE COURT:  ALL RIGHT.
           WE'RE OVER AT THE SIDEBAR.
           MR. BLASIER.
     MR. BLASIER:  YES.
           HE'S ATTEMPTING TO ANALOGIZE 42 WITH FINGERNAILS.
THE ONLY TESTIMONY THAT'S BEEN ELICITED CONCERNS THE TACKINESS OF
THE BLOOD ON THE GROUND. HE'S NOT DEMONSTRATED THAT THE
CONDITIONS OF COLLECTION, THE MANNER OF PRESERVATION, THE
CONDITIONS OF THE FINGERNAILS ARE IN ANY WAY THE SAME AS THE
BLOOD ON THE GROUND.  THEREFORE, ANY TESTIMONY THAT YOU CAN
SOMEHOW ANALOGIZE THESE TWO SAMPLES TOGETHER WOULD BE
INAPPROPRIATE FOR LACK OF FOUNDATION.
     THE COURT:  ALL RIGHT.
           MR. GOLDBERG.
     MR. GOLDBERG:  WHAT, YOUR HONOR?
     THE COURT:  MR. GOLDBERG.
     MR. GOLDBERG:  I THOUGHT THE COURT ALREADY RULED ON THIS,
AND WE ARGUED EXTENSIVELY ABOUT IT.
           BUT WHAT THE EVIDENCE SHOWS IS THE BARE HANDS ARE PUT
IN PHYSICAL CONTACT WITH THE BLOOD, AND AS I ARGUED PREVIOUSLY,
ARE CONTIGUOUS AND CONTINUOUS WITH THE BLOOD, AND THEN EXPLAINING
WHY MR. MATHESON BELIEVES IT IS LEGITIMATE TO DRAW INFERENCES
ABOUT 42  AND UNDER THE FINGERNAILS WILL DO THAT.  SHOWING THE
PICTURE WILL DO THAT.  IT IS THE SIMPLEST WAY OF CONVEYING THAT
TESTIMONY.
     THE COURT:  ALL RIGHT.
           OBJECTION IS OVERRULED.

             (THE FOLLOWING PROCEEDINGS WERE
            HELD IN OPEN COURT:)

     THE COURT:  ALL RIGHT.
           THANK YOU, COUNSEL.
           PROCEED.

           (BRIEF PAUSE.)

     THE COURT:  ALL RIGHT.
           MR. BANCROFT, THIS HAS A VICTIM'S PHOTO ON IT.
           I DON'T WANT ANY STILL PHOTOS OF THIS ITEM.

           (BRIEF PAUSE.)

     THE COURT:  MR. GOLDBERG.
     MR. GOLDBERG:  YES.
     THE COURT:  PROCEED.
     MR. GOLDBERG:  THANK YOU.
     Q     BY MR. GOLDBERG:  NOW, MR. MATHESON, DIRECTING YOUR
ATTENTION TO THE EXHIBIT THAT WE JUST PUT UP, THE NAIL CLIPPINGS,
SCRAPINGS OF NICOLE BROWN --
     MR. GOLDBERG:  YOUR HONOR, MAY I PUT THESE PHOTOGRAPHS ON
THE ELMO, ON THE OVERHEAD?
     THE COURT:  YES.
     MR. GOLDBERG:  ALL RIGHT.  BECAUSE I WANT TO PUT THE MIDDLE
PHOTOGRAPH ON FIRST AND THEN THE TWO SIDE PHOTOGRAPHS.

           (DISCUSSION HELD OFF THE RECORD
            BETWEEN THE DEPUTY DISTRICT
            ATTORNEYS.)

     THE COURT:  MR. GOLDBERG, WHY DON'T YOU GO AHEAD AND WORK
WITH THE EXHIBIT THAT YOU HAVE.
     MR. GOLDBERG:  THANK YOU.
     Q     BY MR. GOLDBERG:  MR. MATHESON, DIRECTING YOUR
ATTENTION TO THE MIDDLE PHOTOGRAPH ON THIS BOARD ON THE BOTTOM,
HAVE YOU LOOKED AT THAT CRIME SCENE PHOTOGRAPH BEFORE?
     A     YES, I HAVE.
     Q     AND ASSUMING THAT THIS IS AN ACCURATE REPRESENTATION
OF THE LOCATION OF THE BODY WHEN THE POLICE ARRIVED AND
PHOTOGRAPHED IT AND THE BLOOD AREA UNDERNEATH THE BODY, CAN YOU
TELL US WHY IT WOULD BE PROPER TO TAKE A LOOK AT YOUR RESULTS ON
ITEM
42 IN PROVIDING MORE INFORMATION ABOUT THE FINGERNAIL SCRAPINGS?
     A     THERE IS OBVIOUSLY A LARGE QUANTITY OF BLOOD PRESENT
>FROM THE VICTIM BOTH IN THE IMMEDIATE AREA AND IN AND AROUND HER
HANDS.


      Q     AND DOES IT APPEAR FROM THIS PHOTOGRAPH THAT HER
HANDS ARE IN CONTACT WITH THE -- OR AT LEAST HER RIGHT HAND IS IN
CONTACT WITH THE POOL OF BLOOD?
     A     PART OF IT IS, YES, APPEARS IN THE BACK.
     Q     NOW, LOOKING AT THE PHOTOGRAPH ON THE LEFT -- RIGHT
OF THIS BOARD OF THE LEFT HAND -- EXCUSE ME -- RIGHT HAND -- NO.
THAT'S THE -- OKAY. WE'LL LOOK AT THE LEFT HAND.  OKAY.  RIGHT
HAND.
           HAVE YOU LOOKED AT THIS PHOTOGRAPH?
     A     YES, I HAVE.
     Q     AND DOES THIS PHOTOGRAPH HELP TO EXPLAIN WHY YOU FEEL
IT WOULD BE PROPER TO LOOK AT WHAT WAS HAPPENING WITH YOUR
TESTING ON 42?
     A     WELL, IT HELPS POINT OUT THAT THERE IS A LARGE
QUANTITY OF VICTIM'S BLOOD PRESENT IN AND AROUND THE HAND.
     Q     AND NEXT LOOKING AT THE LEFT HAND PHOTOGRAPH, HAVE
YOU LOOKED AT THAT?
     A     YES.
     Q     AND AGAIN, DOES THAT HELP TO DESCRIBE WHY YOU FEEL IT
WOULD BE PROPER TO LOOK AT WHAT WAS HAPPENING ON STAIN 42?
     A     YES.
     Q     WHY IS THAT?
     A     THE SAME REASON.  THERE'S A LARGE AMOUNT OF BLOOD
PRESENT ON THE VICTIM'S HANDS PRESUMABLY FROM THE VICTIM.

      Q     NOW, NEXT I WOULD LIKE TO LOOK AT THE PHOTOGRAPH
THAT SAYS, "RIGHT HAND FINGERNAIL SCRAPINGS."  I THINK WE'RE
GOING TO HAVE TO USE THE ELMO FOR THAT.
           NOW, MR. MATHESON, IS THIS THE CORONER'S PACKET FROM
WHICH YOU TOOK THE ITEMS THAT YOU TESTED AS 84-A -- EXCUSE ME --
AS 84?
     A     YES, IT IS.
     Q     AND CAN YOU TELL US WHAT PORTION OF THAT YOU USED?
     A     WELL, ON OPENING UP THE PACKAGE, THERE WOULD BE A
SMALL AMOUNT OF DEBRIS THAT WOULD BE LOCATED IN THE PACKAGE FROM
THE SCRAPINGS.  THAT'S WHAT THEY ARE.  THEY TAKE THE STICK AND
THEY SCRAPE UNDER THE NAILS AND SCRAP INTO A BINDLE.  SO YOU
WOULD HAVE A LITTLE BIT OF DEBRIS DOWN INSIDE OF IT.
     Q     WHAT DID THIS LOOK LIKE?
     A     LIKE SMALL CHUNKS OF BLOOD.
     Q     IT'S DIFFICULT TO SEE THEM IN THIS.
           CAN YOU SEE ANY OF THOSE CHUNKS LEFT IN THIS
PHOTOGRAPH?
     A     WELL, IT'S HARD TO SAY.  THERE ARE SOME SPECKS.
MAINLY, THERE'S SOME SCRAPINGS WHERE THE WET BLOOD HAD BEEN
SCRAPED OFF OF THE STICK ONTO THE PAPER.
     Q     NOW, DID YOU NOTICE WHEN YOU SAW THE BINDLE THE WHAT
APPEARS TO BE RED OR BROWN STAINS ON THE BINDLE?
     A     ON THE INSIDE OF IT, YES.
     Q     WHAT SIGNIFICANCE IF ANY DOES THAT HAVE?
     A     WELL, IT SUGGESTS THAT THE BLOOD WAS PROBABLY DAMP AT
THE TIME THE SCRAPINGS WERE MADE AND WIPED OFF IN THE INSIDE
THERE.
     Q     AND IS THAT SIGNIFICANT FROM A STANDPOINT OF TRYING
TO LEARN MORE ABOUT WHAT HAPPENED TO THE BLOOD UNDER THE
FINGERNAILS?
     A     WELL, AS I PREVIOUSLY MENTIONED, IT'S A DAMP
CONDITION THAT MOST HASTENS DEGRADATION.  AND IF IT WAS STILL
DAMP WHEN THESE WERE TAKEN, IT MEANS THAT IT HAD BEEN DAMP FOR
QUITE A WHILE.
     Q     NOW, LET'S TAKE A LOOK AT THE LEFT HAND FINGERNAIL
SCRAPINGS PHOTOGRAPH.
           NOW, ON THIS PARTICULAR PHOTOGRAPH, CAN YOU SEE SOME
OF THE SPECKS OR ANY SPECKS THAT ARE CONSISTENT WITH WHAT YOU
TESTED?
     A     YES.
     Q     CAN YOU POINT THEM OUT FOR US?
     A     THERE APPEARS TO BE CAPTURED IN THE LITTLE FOLD HERE
OF THE BINDLE LITTLE BLACK SPECKS THAT WOULD BE DRY SPECKS OF
BLOOD.
     Q     IS THAT WHAT YOU SAW AT THE TIME THAT YOU OPENED UP
THE BINDLE AND TESTED A PORTION OF THE SPECKS IN THAT BINDLE?
     A     YES.
     Q     NOW, DID YOU EVER SEE IN EITHER OF THE BINDLES
ANYTHING THAT LOOKED LIKE TISSUE OR SKIN?
     A     I DID NOT SEE ANY, NO.
     MR. GOLDBERG:  THANK YOU.
     Q     BY MR. GOLDBERG:  NOW, WITH RESPECT TO THE OTHER
PHOTOGRAPHS THAT ARE OF THE FINGERNAILS, THAT APPEAR TO BE OF THE
FINGERNAILS THEMSELVES, DOES IT APPEAR THAT THERE IS STAINING OF
BLOOD ON THE UNDERSIDE OF THE FINGERNAILS?
     A     THE VERY HEAVY STAINING ON THE RIGHT HAND, NAIL
CLIPPINGS, AND THERE IS SOME LIGHTER BUT DEFINITE STAINING ON
WHAT APPEARS TO BE THREE OF THE NAILS MARKED AS LEFT HAND
FINGERNAIL CLIPPINGS.
     Q     AND THE RIGHT HAND WAS THE HAND IN THE PHOTOGRAPH
THAT IS IN CLOSEST CONTACT WITH THE POOL OF BLOOD?
     A     YES.
     Q     LET'S JUST TAKE A QUICK LOOK AT THE LEFT HAND
FINGERNAIL CLIPPINGS IF WE CAN.
           AND THERE'S ALSO SOME STAINING ON WHAT APPEARS TO BE
THE LEFT HAND FINGERNAIL CLIPPINGS?
     A     THAT'S CORRECT, ON AT LEAST THREE OF THEM.
     Q     ALL RIGHT.
           THANK YOU.
     MR. GOLDBERG:  YOUR HONOR, IS IT POSSIBLE TO USE THE
SEROLOGY RESULTS CHART SIMULTANEOUSLY TO THE BUNDY BOARD OR DOES
THE COURT WANT US TO --


      THE COURT:  WELL, I WANT COUNSEL FOR BOTH SIDES TO BE ABLE
TO SEE THE OBJECT THAT WE'RE WORKING WITH IS THE PROBLEM.  CAN WE
SET UP THE EASEL IN HERE, FOR EXAMPLE, SO THAT COUNSEL CAN SEE IT
AT THE SAME TIME?
           THE PROBLEM IS, THEN WE GET AWAY FROM THE JURY.  SO
GIVEN THE SIZE OF THESE MONSTERS, I THINK YOU'RE SORT OF STUCK
WITH ONE OR THE OTHER.
     MR. GOLDBERG:  WELL, LET'S JUST TRY PUTTING -- WHY DON'T WE
TRY PUTTING THE BUNDY -- THE SEROLOGY RESULTS BOARD OVER THE
BIOLOGICAL EVIDENCE BOARD TO MAKE IT EASIER TO SHIFT BACK AND
FORTH.
     Q     BY MR. GOLDBERG:  NOW, MR. MATHESON, TAKING A LOOK
NOW AT ITEM 42 --
     THE COURT:  MR. FAIRTLOUGH, CAN WE GET THAT UP JUST A TAD?
           GREAT.  THANK YOU.
     Q     BY MR. GOLDBERG:  ON ITEM 42 IN YOUR ANALYZED
EVIDENCE REPORT, HOW WAS THAT CALLED?
     A     REFERRING TO MY REPORT, UNDER THE EAP, ITEM NO. 42
WAS CALLED INCONCLUSIVE.
     Q     AND THIS REPORT IS DATED WHEN?
     A     THE COMPLETION DATE OF OCTOBER 18TH, 1994.
     Q     THAT'S THE SAME REPORT THAT WE PREVIOUSLY DISCUSSED
WHEN WE WERE DISCUSSING 84-A AND 84-B?
     A     YES.

      Q     NOW, ON THE SEROLOGY ELECTROPHORESIS WORK SHEET,
WHAT DID YOU PUT ON THAT WORK SHEET WHEN YOU WERE DISCUSSING THE
EAP RESULTS ON 42?
     A     I WOULD LIKE TO REFER TO THAT SHEET.
     Q     SURE.
           MAYBE YOU CAN ALSO LOOK AT THE ITEM DESCRIPTION, THE
SEROLOGY DESCRIPTION NOTE TOO.

           (THE WITNESS COMPLIES.)

     THE WITNESS:  OKAY.
           FOR ITEM NO. 42 UNDER THE EAP ON THE ELECTROPHORESIS
WORK SHEET, ONE READING THAT I MADE WAS OF A B QUESTION MARK INC
OR INCONCLUSIVE.  THE SECONDARY READING FROM ANOTHER CRIMINALIST
WAS A NO ACTIVITY.  THE --
     Q     BY MR. GOLDBERG:  NOW --
     A     THE INFORMATION THAT I TRANSFERRED OVER TO THE
SUMMARY SHEET WAS OF A B QUESTION MARK AND THEN THE NOTATION,
VERY WEAK WITH AN INC FOR INCONCLUSIVE.
     Q     OKAY.
           NOW, WHY DID YOU PUT BOTH THE QUESTION MARK AND AN
INC ON THIS RESULT?
     A     WELL, IT'S JUST -- IT'S AN INDICATION TO ME THAT IT
IS -- IT'S A VERY QUESTIONABLE RESULT.
     Q     WHAT'S THE DIFFERENCE BETWEEN A QUESTION MARK AND AN
INC?
     A     DEPENDS ON WHERE IT'S WRITTEN.  I MEAN, INC OR
INCONCLUSIVE IS SORT OF THE FINAL DECISION BASED ON THE OTHER
INFORMATION.  THE QUESTION MARK IS PUT THERE AS AN INDICATION TO
ME THAT I'M NOT SURE OF WHAT IT IS.
     Q     ALL RIGHT.
           NOW, WHAT DID YOU SEE WHEN YOU RAN THE SAMPLE, ITEM
NO. 42?  WHAT COULD YOU ACTUALLY SEE ON THE ELECTROPHORESIS
PLATE?
     A     I SAW TWO VERY WEAK BANDS IN THE GENERAL AREA OF
WHERE I WOULD EXPECT TO SEE THE TWO B BANDS WITH THE TOP ONE
BEING SLIGHTLY DARKER THAN THE BOTTOM, BUT THEY WERE VERY WEAK
AND REAL KIND OF FUZZY OR WHATEVER.  IT WAS NOT A BAND.  IT WAS
JUST KIND OF A HAZE IN THAT AREA.
     Q     BUT WERE THERE IN FACT TWO PERCEPTIBLE ALTHOUGH HAZY
BANDS IN THE AREA WHERE YOU EXPECT TO SEE THE TWO B BANDS?
     A     WELL, THERE WAS TWO SOMETHING GOING ON THERE.  THERE
WEREN'T REALLY BANDS, BUT THERE WAS SOMETHING OCCURRING IN THOSE
TWO AREAS.
     Q     ALL RIGHT.
           AND WHAT DID THAT INDICATE TO YOU, MR. MATHESON?
     A     WELL, JUST LIKE I SAID, I HAD THE TWO BANDS OR
APPEARANCE OF BANDS IN THE GENERAL AREA WHERE B SHOULD OCCUR,
WHICH IS WHY I PUT THE B QUESTION MARK.  BUT IT WAS NOWHERE NEAR
SOMETHING  THAT I WOULD CALL.  THAT'S WHY IT BECAME INCONCLUSIVE.
     Q     NOW, WITH RESPECT TO THE REFERENCE SAMPLE ON NICOLE
BROWN'S BLOOD, THAT WAS A BA; IS THAT CORRECT?
     A     YES.
     Q     SO WHEN YOU TESTED ITEM 42, DID YOU SEE ANY EVIDENCE
OF THE A BANDS?
     A     NO, I DID NOT.
     Q     SO WHAT HAPPENED TO THEM?
     A     WELL, GOING OFF THE ASSUMPTION THAT ITEM 42 WAS IN
FACT COLLECTED AS A SECONDARY EXEMPLAR REFERENCE SAMPLE, IT
SHOULD HAVE COME BACK TO BE A BA JUST LIKE THE REFERENCE SAMPLE
THAT WAS RECEIVED FROM HER FROM THE CORONER'S OFFICE.
           SO IT APPEARS THAT 42 DEGRADED TO THE POINT WHERE THE
A BANDS WERE NO LONGER VISIBLE AND ALMOST DEGRADED TO THE POINT
WHERE THE -- OR, YOU KNOW, LACK OF SENSITIVITY WHERE THE B'S WERE
STARTING TO FADE AWAY TO NOTHING.
     Q     AND WHAT SIGNIFICANCE IF ANY DOES THAT HAVE IN TERMS
OF UNDERSTANDING WHAT WAS HAPPENING ON 84-A AND B, THE NAIL
SCRAPINGS?
     A     WELL, THE SIGNIFICANCE IS, IS THE PHENOMENON OR THE
SITUATION THAT IS KNOWN TO EXIST WITH THE EAP SYSTEM, AND THAT IS
THIS DEGRADATION RESULT OF A BA TO A B, DID IN FACT OCCUR IN A --
OR IT'S POSSIBLY OCCURRING BECAUSE OF THE INCONCLUSIVE  IN A
SITUATION REGARDING A SAMPLE AT THIS SCENE.
     Q     WELL, LET ME ASK YOU THIS.
           IF YOU HAVE A SITUATION AT A CRIME SCENE WHERE THE
VICTIM IS LYING IN A POOL OF HER OWN BLOOD AND THAT BLOOD, HER
POOL OF BLOOD IS SHOWN TO HAVE DEGRADED FROM A TYPE BA TO THE
POINT THAT IT CONTAINS TWO VERY FAINT BANDS WHICH ARE MOST
CONSISTENT WITH A B AND THEN YOU ALSO HAVE FINGERNAIL SCRAP --
WHAT CAN YOU SAY ABOUT THE MATERIAL UNDERNEATH THE FINGERNAILS
THAT APPEARS TO BE MOST CONSISTENT WITH A B?
     MR. BLASIER:  OBJECTION.  UNINTELLIGIBLE.
     THE COURT:  OVERRULED.
     THE WITNESS:  WELL, LIKE I JUST MENTIONED, THE FACT THAT
YOU DO HAVE WHAT APPEARS TO BE DEGRADATION OCCURRING IN A SAMPLE
THAT WE KNOW CAME FROM A PERSON OF A CERTAIN TYPE, THIS
PHENOMENON HAS SHOWN THAT, YOU KNOW, IT DOES APPEAR IT'S EXISTING
EVEN AT THIS LOCATION, IT APPLIES SOME REASON THAT YOU CAN CARRY
THIS THROUGH POTENTIALLY TO OTHER ITEMS IN THE -- THAT WERE
ELECTED IN THE SAME VICINITY AT ROUGHLY THE SAME TIME.
     THE COURT:  ALL RIGHT.
           LET'S MOVE ON.
     Q     BY MR. GOLDBERG:  SO LET ME JUST SEE IF I CAN
UNDERSTAND WHAT YOU'RE SAYING.
     THE COURT:  I THINK WE'VE ASKED THIS QUESTION IN ABOUT
EIGHT DIFFERENT FORMS NOW.
     MR. GOLDBERG:  I KNOW.  BUT IT'S --
     THE COURT:  ABOUT HOW IT DEGRADES.
     MR. GOLDBERG:  IT'S A LITTLE COMPLEX, AND I JUST WANT TO
MAKE SURE I UNDERSTAND WHAT MR. MATHESON IS SAYING.
     THE COURT:  WELL, WE'RE NOT HERE TO SEE IF YOU UNDERSTAND,
COUNSEL.  WE'RE HERE TO SEE IF THE JURY UNDERSTANDS, AND WE'VE
HEARD THIS QUESTION IN EIGHT DIFFERENT FORMS NOW.
           LET'S MOVE ON.
     Q     BY MR. GOLDBERG:  OKAY.
           NOW, MR. MATHESON, WITH RESPECT TO THE ITEM NUMBER
THAT'S LABELED 57 THAT WAS DESCRIBED AS HAVING COME FROM THE AREA
JUST EAST OF WHERE THE BODY WAS, WHAT WERE YOUR RESULTS ON THAT?
     A     REFERRING AGAIN TO MY REPORT, THE RESULTS FOR THE EAP
ON ITEM NO. 57 WERE INCONCLUSIVE.
     Q     AND ACCORDING TO YOUR ELECTROPHORESIS WORK SHEET,
WHAT WERE THE RESULTS?
     A     IN THE FIRST COLUMN, HAS A B QUESTION MARK INC,
SECOND COLUMN IS JUST INC FOR INCONCLUSIVE.
     Q     AND ON THAT PARTICULAR SAMPLE, WHAT DID THAT ONE LOOK
LIKE?
     A     IF I CALLED IT A B INCONCLUSIVE OR A B QUESTION MARK,
THAT MEANS THAT THERE WAS SOMETHING APPEARING IN THE TWO AREAS OF
THE B BANDS OR I EXPECT TO SEE B BANDS WITH ONE, THE B REGION
BEING MORE INTENSE THAN THE C.

      Q     NOW, WITH RESPECT TO ITEM NO. 57, DID YOU GET A
RESULT OFF THE PGM SUBTYPE?
     A     YES, I DID.
     Q     WHAT WAS THAT?
     A     A 1 PLUS.
     Q     AND IS IT PROPER TO TAKE A LOOK AT WHAT WAS HAPPENING
ON THAT ITEM, 57, IN THE EAP ENZYME SYSTEM TO DETERMINE OR TO
PROVIDE MORE INFORMATION ABOUT WHAT WAS HAPPENING ON THE
FINGERNAILS?
     MR. BLASIER:  OBJECTION.  IMPROPER FOUNDATION. ASSUMES
FACTS NOT IN EVIDENCE.
     THE COURT:  SUSTAINED.
     Q     BY MR. GOLDBERG:  SIR, DID YOU CONSIDER THIS RESULT
IN PROVIDING MORE INFORMATION IN TERMS OF WHAT WAS HAPPENING
UNDER THE FINGERNAILS?
     A     WELL, AS FAR AS ITEM 57, IT DIDN'T COME MUCH INTO
PLAY BUT IT CAME INTO CONSIDERATION OF THE FINGERNAIL SCRAPINGS.
     Q     BUT THE PGM SUBTYPE WOULD BE CONSISTENT WITH THE
VICTIM, YET THE EAP INCONCLUSIVE WOULD BE INCONSISTENT
THEORETICALLY?
     A     IF THAT INCONCLUSIVE RESULT WAS A CONCLUSIVE RESULT,
THEN THERE WOULD BE -- WOULD BE NOT CONSISTENT WITH THE VICTIM IN
THIS.
     Q     DOES THAT TEND TO SHOW THAT AT THIS CRIME SCENE,
THERE IS DEGRADATION OF THE EAP MARKER FROM A BA TO A B?
     MR. BLASIER:  OBJECTION.  NO FOUNDATION.
     THE COURT:  SUSTAINED.  LEADING ALSO.
     Q     BY MR. GOLDBERG:  DOES THAT TEND TO SHOW THAT THERE
WAS DEGRADATION ON THIS PARTICULAR SAMPLE, ITEM 57, AT THIS CRIME
SCENE?
     MR. BLASIER:  OBJECTION.  NO FOUNDATION.
     THE COURT:  SUSTAINED.
     Q     BY MR. GOLDBERG:  WHAT DOES THAT SHOW IN TERMS OF
DEGRADATION ON THIS SAMPLE, ITEM 57?
     MR. BLASIER:  OBJECTION.  NO FOUNDATION.
     THE COURT:  OVERRULED.
     THE WITNESS:  WELL, JUST THE INCONCLUSIVE IN AND OF ITSELF
REGARDLESS OF THE TYPE INDICATES THAT EITHER SOME SORT OF
DEGRADATION IS OCCURRING OR THERE'S JUST NOT ENOUGH SAMPLE TO GET
A RESULT.
     Q     BY MR. GOLDBERG:  AND DOES THE B PROVIDE ANY MORE
INFORMATION?
     A     NOT IN AND OF ITSELF, NO.
     Q     NOW, WITH RESPECT TO ITEM NO. 85, DID YOU ALSO DO
SOME TESTING ON THAT?
     A     YES, I DID.
     Q     AND WHAT TESTING DID YOU DO ON ITEM 85?
     A     I DID THE SAME ELECTROPHORETIC RUN AS PREVIOUSLY
DESCRIBED.  IT INCLUDED THE PGM SUBTYPE AND THE EAP.
     Q     WHAT WAS THE RESULT OF THE PGM SUBTYPE ON ITEM 85?
     A     THERE ARE ACTUALLY TWO SEPARATE STAINS THAT ARE
MARKED 85, 85-A AND 85-B.  IN BOTH  INSTANCES, THE PGM SUBTYPE
WAS A 1 PLUS.
     Q     AND WHAT DID YOU WRITE DOWN NOT IN THE ANALYZED
EVIDENCE REPORT, BUT ON THE ELECTROPHORESIS WORK SHEETS AS TO THE
RESULT AND THE EAP?
     A     THIS IS FOR ITEM NO. 85-A AND B?
     Q     YES.
     A     THE COLUMN THAT RECORDED MY INITIAL RESULTS WAS A B
WITH AN A QUESTION MARK, THE COLUMN OF THE SECOND READ OR THE
OTHER CRIMINALIST WAS A BA.
     Q     SO THE SECOND CRIMINALIST CALLED THAT AS A BA?
     A     YES.
     Q     WHY WERE YOU NOT WILLING TO CALL THAT AS A BA?
     A     WELL, IF YOU REMEMBER, THE BANDS THAT WE SHOWED IN
THE CHART OR THE BA, WE SHOULD HAVE FOUR BANDS OF BASICALLY
CERTAIN TYPES OF INTENSITIES. I'VE SEEN A NUMBER OF THESE TYPE OF
SAMPLES OVER THE YEARS, AND THE A BANDS WERE SIGNIFICANTLY WEAKER
THAN I WOULD HAVE EXPECTED THEM TO BE IN A CLASSIC BA GIVEN THE
INTENSITY OF THE B BANDS.
     Q     CAN YOU EXCLUDE THIS OR COULD YOU EXCLUDE THIS AS
BEING CERTAIN OTHER PHENOTYPES OF A COMMON EAP PHENOTYPES?
     A     THE EAP ON 85-A AND B?
     Q     YES.


     A     WELL, THE FACT THAT THERE WERE BANDS IN THE A REGION,
ASSUMING IT'S NOT A MIXTURE, IT COULD NOT JUST BE A B, IT COULD
NOT JUST BE A CB AND IT COULD NOT JUST BE A C, AND GIVEN THE
INTENSITIES, IT WAS PROBABLY NOT A CA.
     Q     AND THERE ARE FIVE COMMON PHENOTYPES? WAS IT FIVE OR
SIX?
     A     I BELIEVE THERE WERE SIX.
     Q     SO COULD IT BE ANY OF THE COMMON PHENOTYPES OTHER
THAN -- COULD IT BE ANY OF THE OTHER COMMON PHENOTYPES OTHER THAN
BA?
     A     NOT IF IT'S A SOLE SAMPLE, NO.
     Q     NOW, DOES THIS TEST RESULT PROVIDE ANY ADDITIONAL
INFORMATION WITH RESPECT TO WHAT WAS HAPPENING ON THE FINGERNAIL
SAMPLE?
     A     IT COULD.
     Q     AND WHY IS THAT?
     A     ON THIS PARTICULAR SAMPLE, I DON'T KNOW FOR A FACT
WHAT THE ORIGINAL SOURCE OF THE BLOOD IS. HOWEVER, I AM GETTING
FOUR BANDS THAT ARE IN THE POSITIONS AND RELATIVE SENSITIVITIES
OF A BA.
           THE DIFFERENCE HERE IS IS THAT THE A BANDS ARE
SIGNIFICANTLY WEAKER.  IF IT IS BLOOD FROM A SINGLE SOURCE, IT
HAD TO HAVE STARTED OUT AS A BA, BUT THOSE A BANDS HAVE STARTED
TO DEGRADE OR LOSE SENSITIVITY.  IF THEY HAD GONE ANY FURTHER, WE
WOULD HAVE A SITUATION WHERE THE BA WOULD AGAIN START LOOKING
LIKE A B.
     Q     SO ON THIS PARTICULAR SAMPLE, IF THE A BANDS HAD IN
FACT DEGRADED SOMEWHAT MORE THAN THEY WERE, WHAT WOULD YOU HAVE
CALLED IT AS?
     A     THEN I WOULD HAVE CALLED IT AS A B.
     Q     AND WHY WOULD THAT HAVE BEEN CALLED AS A B IF THE A
BANDS HAD DEGRADED TO THE POINT WHERE YOU COULD NO LONGER DETECT
THEM?
     A     BECAUSE THEN ALL THAT WOULD BE LEFT WOULD BE THE TWO
BANDS THAT APPEAR IN THE REGION WHERE YOU EXPECT TO SEE THE B
BANDS, ONE BAND BEING PROPERLY GREATER INTENSITY THAN THE OTHER.
     Q     SO, MR. MATHESON, BASED UPON THE TOTALITY OF YOUR
RESULTS THAT YOU'VE DISCUSSED WITH THIS EAP ENYZME AND ALSO THE
VIEWING OF THE CRIME SCENE PHOTOGRAPHS, DO YOU HAVE AN OPINION AS
TO WHETHER THE FINGERNAIL SCRAPINGS WERE IN FACT A TRUE B OR MORE
LIKELY TO HAVE BEEN A TRUE B OR MORE LIKELY TO HAVE ORIGINALLY
BEEN A BA THAT DEGRADED INTO A B?
     A     GIVEN EVERYTHING, INCLUDING THE RESULTS, I WOULD SAY
IT'S MORE LIKELY THAN NOT THAT THAT BLOOD WAS IN FACT A BA, THAT
IT'S THE VICTIM'S BLOOD, HOWEVER, I CAN NOT TOTALLY EXCLUDE THE
POSSIBILITY THAT IT IS A EAP TYPE B.
     Q     AND WHAT IS THE BASIS OF THAT OPINION, THAT IT'S MORE
PROBABLY THE VICTIM'S BLOOD?
     A     WELL, LIKE I JUST SAID, LOOKING AT THE PHOTOS, A LOT
OF THE VICTIM'S BLOOD PRESENT.  IF WE WERE JUST TO LOOK AT THAT
AND NOT DO AN ANALYSIS ON  IT, I THINK COMMON SENSE WOULD TELL
YOU THAT THAT'S GOING TO BE THE VICTIM'S BLOOD UNDER HER OWN
FINGERNAILS.  HOWEVER, THAT'S NOT A TERRIBLY SCIENTIFIC APPROACH.

WE STILL RUN THE TEST.  WE DON'T ASSUME WHAT IT IS.
           THE TEST CAME UP WITH THIS TYPE B.  THAT IS IN FACT
WHAT WAS SEEN ON THE GEL.  SO IT CANNOT BE TOTALLY DISCOUNTED.
BUT I WOULD SAY IT'S A VERY HIGH LIKELIHOOD THAT THAT IS THE
VICTIM'S BLOOD UNDER THE NAILS.
     Q     NOW, GIVEN THE RESULTS THAT YOU'VE DISCUSSED SO FAR
AS TO THE FINGERNAIL SCRAPINGS AND THE OTHER ITEMS THAT WE TALKED
ABOUT IN TERMS OF EAP, IS THERE ANYTHING FURTHER THAT CAN BE DONE
>FROM A FORENSIC SCIENCE STANDPOINT IN ORDER TO PROVIDE EVEN MORE
INFORMATION ON THIS ISSUE?
     A     YES, THERE IS.
     Q     AND WHAT'S THAT?
     A     CONTINUE TO RUN ADDITIONAL TESTS, FIND OUT IF YOU CAN
IN FACT EXCLUDE THE VICTIM UNDER ANOTHER SYSTEM.
     Q     AND ARE YOU TALKING ABOUT CONVENTIONAL OR ARE YOU
TALKING ABOUT DNA TESTS?
     A     WELL, YOU COULD DO BOTH.  HOWEVER, MORE INFORMATION
WOULD BE DERIVED FROM SUBJECTING IT TO DNA TYPING.


      Q     AND TO YOUR KNOWLEDGE, WAS THIS ONE OF THE SAMPLES
THAT WAS IN FACT SENT OUT FOR DNA TESTING?
     A     YES, IT WAS.
     Q     NOW, IN THE OPINIONS THAT YOU'VE EXPRESSED IN COURT,
HAVE YOU CONSIDERED ANY DNA RESULTS OR ARE YOUR OPINIONS BASED
EXCLUSIVELY ON THE TESTING THAT YOU DID AND THE PHOTOGRAPHS THAT
YOU VIEWED?
     A     IT'S BEEN STRICTLY ON THE INFORMATION THAT I HAVE
REGARDING MY OWN TESTING AND THE PHOTOGRAPHS AND CONDITIONS.  I
DID NOT CONSIDER ANY SORT OF DNA RESULTS.
     Q     OKAY.
     THE COURT:  ALL RIGHT.
           MR. GOLDBERG, WOULD THIS BE A GOOD SPOT?
     MR. GOLDBERG:  IT WOULD BE, YOUR HONOR.
     THE COURT:  LADIES AND GENTLEMEN, WE'LL TAKE A BRIEF RECESS
FOR THE COURT REPORTERS.
           PLEASE REMEMBER MY ADMONITIONS TO YOU. AND WE'LL
RECONVENE IN 15 MINUTES.
           MR. MATHESON, YOU ARE TO RETURN IN 15 MINUTES.
           THANK YOU.

           (RECESS.)


             (THE FOLLOWING PROCEEDINGS WERE
            HELD IN OPEN COURT, OUT OF THE
            PRESENCE OF THE JURY:)

     THE COURT:  BACK ON THE RECORD IN THE SIMPSON MATTER.  ALL
THE PARTIES ARE NOW PRESENT, INCLUDING THE COURT REPORTER.
           ALL RIGHT.  LET'S HAVE THE JURY, PLEASE.

           (BRIEF PAUSE.)

     THE COURT:  AND LET ME SEE COUNSEL, WITHOUT THE COURT
REPORTER, PLEASE.

           (A CONFERENCE WAS HELD AT THE              BENCH, NOT
REPORTED.)


             (THE FOLLOWING PROCEEDINGS WERE
            HELD IN OPEN COURT, IN THE
            PRESENCE OF THE JURY:)

     THE COURT:  ALL RIGHT.  THANK YOU, LADIES AND GENTLEMEN.
           PLEASE BE SEATED.
           THE RECORD SHOULD REFLECT WE HAVE BEEN REJOINED BY
ALL THE MEMBERS OF OUR JURY PANEL.
           MR. MATHESON, WOULD YOU RESUME THE WITNESS STAND,
PLEASE.
           ALL RIGHT.
           MR. MATHESON IS AGAIN ON THE WITNESS STAND UNDERGOING
DIRECT EXAMINATION BY MR. GOLDBERG.
           MR. MATHESON, YOU ARE REMINDED AGAIN YOU ARE STILL
UNDER OATH.
           AND MR. GOLDBERG, YOU MAY CONCLUDE YOUR DIRECT
EXAMINATION.
     MR. GOLDBERG:  THANK YOU, YOUR HONOR.
     Q     MR. MATHESON, DOES THE SEROLOGY RESULTS BOARD THAT WE
HAVE BEEN DISCUSSING CONTAIN THE RESULTS ON EVERY SINGLE ITEM
THAT YOU TESTED OR JUST SOME OF THEM?
     A     JUST SOME OF THEM.
     Q     FOR INSTANCE, DID YOU TEST AN ITEM 115 THROUGH 117?
     A     YES, I DID.

      Q     AND DID YOU GET ANY TEST RESULTS -- DID YOU GET ANY
RESULTS ON THAT OR WAS THAT AN INCONCLUSIVE FROM YOUR ANALYZED
EVIDENCE REPORT?
     A     IF YOU ARE REFERRING TO MY ANALYZED EVIDENCE REPORT
FOR ITEM NO. 115, 116 AND 117, I GOT NO ACTIVITY FOR ALL THREE
ITEMS IN THE PGM SUBTYPE SYSTEM AND INCONCLUSIVE FOR ALL THREE
ITEMS IN THE EAP SYSTEM.
     Q     THOSE, TO YOUR INFORMATION, WERE STAINS ON THE REAR
GATE AT THE BUNDY LOCATION OR DON'T YOU KNOW?
     A     YES.
     Q     ALL RIGHT.
           NOW, IN A STAIN THAT WAS -- IF WE ASSUME, FOR THE
SAKE OF YOUR TESTIMONY, THAT 116, 115 AND 117, YOU CAN SORT OF
SEE THEM ON THE LEFT SIDE OF THE BUNDY BOARD, WERE IN FACT
LOCATED AT THE BUNDY LOCATION BUT NOT COLLECTED UNTIL JULY THE
3RD, WOULD YOU EXPECT THERE TO BE MORE DEGRADATION ON THE
CONVENTIONAL MARKERS OF THE KIND THAT YOU TYPED THAN ON OTHER
STAINS THAT WERE COLLECTED ON THE 13TH OF JUNE?
     MR. BLASIER:  OBJECTION, NO FOUNDATION.
     THE COURT:  SUSTAINED.
     Q     BY MR. GOLDBERG:  SIR, DO ENVIRONMENTAL CONDITIONS
CAUSE SOME DEGRADATION ON DRY STAINS AS WELL AS WET STAINS?

      A     YES.  THE BEST WAY TO STORE IT IS FROZEN AND DRIED.
     Q     AND WOULD YOU EXPECT THERE TO BE SOME DEGRADATION ON
THE CONVENTIONAL MARKERS AND THOSE STAINS BETWEEN JULY THE 13TH
AND -- EXCUSE ME, JUNE THE 13TH AND JULY THE 3RD?
     A     IF THEY WERE NOT STORED FROZEN, YES.
     Q     NOW, WITH RESPECT TO 117, WHEN YOU TESTED THAT ITEM,
DID YOU NOTICE ANYTHING ABOUT THE WAY THAT THE SWATCHES WERE
CONTAINED INSIDE THE BINDLE?
     A     YES, I DID.
     Q     WHAT WAS THAT?
     A     THAT WHEN I FIRST OPENED IT UP IT APPEARED LIKE THERE
WAS JUST ONE SWATCH PRESENT IN THE BINDLE, BUT UPON CLOSER
EXAMINATION AND PEELING THEM APART THERE WAS ACTUALLY, I BELIEVE,
THREE.
     Q     NOW, YOU TESTIFIED EARLIER ABOUT AN INVENTORY THAT
YOU DID IN JUNE, I THINK IT WAS JUNE THE 29TH OF LAST YEAR; IS
THAT CORRECT?
     A     YES.
     Q     AND DID YOU HAVE 17 -- 15, 16 AND 17 -- EXCUSE ME --
115, 116 AND 117 FOR THAT INTERVIEW -- FOR THAT EXAMINATION?
     A     NO, I DID NOT.
     Q     NOW, YOU HAVE ALSO -- WE HAVE ALSO ASKED YOU SOME
QUESTIONS ABOUT THE REFERENCE VIAL, ITEM
NO. 17.

            OVER THE NOON HOUR DID YOU FILL UP SOME REFERENCE
VIALS WITH A COLORED LIQUID, SOME VACUTAINER REFERENCE VIALS?
     A     YES, I DID.
     MR. GOLDBERG:  AND YOUR HONOR, AT THIS TIME I WOULD LIKE TO
MARK AS PEOPLE'S NEXT IN ORDER, IT IS 2 --
     THE COURT:  221.
     MR. GOLDBERG:  221.

             (PEO'S 221-A FOR ID = VIAL)

     MR. GOLDBERG:  MAYBE I CAN DO IT AS A AND B.
     THE COURT:  ALL RIGHT.
     MR. GOLDBERG:  221-A APPEARS TO BE THE MORE FULL OF THE TWO
VIALS.
     THE COURT:  ALL RIGHT.  HAVE YOU SHOWN THOSE TO MR.
BLASIER?
     MR. GOLDBERG:  YES.
     MR. BLASIER:  I HAVE SEEN THEM.
     MR. GOLDBERG:  SO I HAVE MARKED THE LESS FULL OF THE TWO
VIALS AS 221-B.

             (PEO'S 221-B FOR ID = VIAL)

     Q     BY MR. GOLDBERG:  MR. MATHESON, SHOWING YOU 221-A AND
B, ARE THESE THE VIALS THAT YOU FILLED WITH WATER AT THE NOON
HOUR?
     A     YES, THEY ARE.
     Q     IS THERE SOME KIND OF FOOD COLORING -- IS THIS A
BIOLOGICAL SAMPLE IN HERE?
     A     NO, IT IS NOT.
     Q     IS THERE FOOD COLORING OR SOMETHING IN IT JUST TO
MAKE IT EASIER TO SEE?
     A     YES.
     Q     ALL RIGHT.
           I WOULD LIKE TO SHOW YOU THESE TWO VIALS, AND CAN YOU
TELL US, STARTING WITH 221-A, WHAT YOU DID IN ORDER TO CREATE
THAT DEMONSTRATION EXHIBIT.
     MR. BLASIER:  OBJECTION, FOUNDATION AS TO THESE ARE THE
SAME SIZE AS 17.
     THE COURT:  SUSTAINED.
     Q     BY MR. GOLDBERG:  SIR, ARE THESE -- THESE ARE
VACUTAINER VIALS; IS THAT CORRECT?
     A     THAT IS THE BRAND NAME OF THEM, YES.
     Q     ARE THOSE APPROXIMATELY THE SAME SIZE AS THE MONOJECT
VIALS THAT ARE ALSO USED, PURPLE-TOPPED VIALS?
     A     THEY APPEAR TO BE, YES.
     MR. GOLDBERG:  OKAY.
     MR. BLASIER:  I OBJECT TO FURTHER QUESTIONS; LACK OF
FOUNDATION.
     THE COURT:  BRIEFLY, YES.  I AGREE.



      MR. GOLDBERG:  LET ME JUST SHOW YOU DEFENSE 1124 FOR
IDENTIFICATION.
           CAN YOU JUST TAKE A LOOK AND COMPARE THE MONOJECT
WITH THE VACUTAINER.
     A     JUST DOING A VISUAL COMPARISON OF THE MONOJECT BRAND
TO THE VACUTAINER BRAND, THE MONOJECT APPEARS TO BE MAYBE A 16TH
OF AN INCH SHORTER AND THE DIAMETER APPEARS TO BE ROUGHLY THE
SAME.
     Q     MAYBE YOU CAN JUST REST THEM ON THE -- I MEAN STAND
THEM UP ON THE COUNTER JUST SO THAT WE CAN SEE THE HEIGHT
COMPARISON.
     A     PLACING THEM SIDE-BY-SIDE ON THE COUNTER SO THE GLASS
IS ON THE BOTTOM, THE MONOJECT STOPPER IS PARTIALLY EXTENDED, IT
ISN'T ALL THE WAY SEATED, BUT IT APPEARS THAT THEY ARE VERY
SIMILAR IN HEIGHT AND CIRCUMFERENCE.
     Q     SIR, WHEN YOU LOOKED AT THE VIAL, WERE YOU ACTUALLY
LOOKING TO SEE WHETHER IT WAS AN VACUTAINER OR AS OPPOSED TO A
MONOJECT OR ARE ALL THESE PURPLE-TOPPED VIALS, AS FAR AS YOU ARE
CONCERNED, THE SAME?
     A     ARE YOU TALKING ABOUT WHEN I LOOKED AT IT ON THE
29TH?
     Q     YEAH.
     A     I WASN'T LOOKING AT THE BRAND NAME, JUST THE FACT
THAT IT WAS A PURPLE-CAPPED VIAL ABOUT THIS SIZE.

      Q     SO ON THE 29TH DID YOU MAKE CERTAIN ASSUMPTIONS WITH
RESPECT TO HOW LARGE THE PURPLE-TOPPED VIAL IS?
     A     YES.
     Q     WHAT IS YOUR ASSUMPTION?
     A     THAT IT WAS A TEN MILLILITER TUBE AND THAT IS THAT
FULL IT WOULD HOLD TEN MILLILITERS OF LIQUID.
     Q     WHAT WAS THE ASSUMPTION BASED ON?
     A     I'M NOT SURE.  IT IS JUST AN ASSUMPTION I HAVE HELD
FOR MANY YEARS.
     Q     OKAY.
           HAVE YOU EVER TRIED TO TEST IT BY FILLING UP A
VACUTAINER OR A MONOJECT TO SEE EXACTLY HOW MUCH IT HOLDS?
     A     NO.
     Q     HAS THAT EVER BEEN A PERTINENT ISSUE IN ANY OF YOUR
PAST CASE WORK?
     A     NO, IT IS NOT.
     Q     NOW, WITH RESPECT TO THE VACUTAINER TUBES THAT YOU
FILLED UP, CAN YOU TELL US WHAT YOU DID?
     A     OKAY.
           IN BOTH INSTANCES I TOOK THE CAPS OFF OF THEM.  I WAS
SUPPLIED WITH FROM THE LABORATORY A PIPETTE, OR LIKE I DESCRIBED
EARLIER, THIS PARTICULAR ONE CAN DELIVER EXACTLY ONE MILLILITER
OF FLUID, SO I SET IT TO ONE MILLILITER.

            AND IN THE ONE THAT WAS MARKED 221-A I DELIVERED 3.8
MILLILITERS OF FLUID, THREE THOUSANDS OR --
     Q     OKAY.
           CAN YOU HOLD THAT UP SO THE JURORS CAN SEE THE AMOUNT
OF FLUID IN THERE?
     A     (WITNESS COMPLIES.)
     Q     BASICALLY DELIVERING, YOU KNOW, THREE ONE-MILLILITER
PORTIONS AND THEN ONE .8-MILLILITER PORTION.
           IN THE OTHER ONE, WHICH IS MARKED AS 221-B I
DELIVERED TWO ONE-MILLILITER PORTIONS FOR A TOTAL OF TWO
MILLILITERS.
     Q     WELL, HOW DO YOU KNOW THAT THE PORTIONS OF WATER THAT
YOU USED IN ORDER TO FILL THESE VIALS WERE ACCURATELY MEASURED?
     A     I WAS USING A PIPETTER THAT IS CALIBRATED TO THOSE
AMOUNTS.
     Q     ARE THE DISPO PIPETTERS OR DISPOSABLE PIPETTERS
CALIBRATED?
     A     THE GLASS ONE THAT I WAS DESCRIBING EARLIER?
     Q     YEAH.
     A     NO, THEY ARE NOT.
     Q     THOSE ARE THE ONES THAT YOU USE WHEN YOU ARE ACTUALLY
DOING YOUR TESTING?
     A     YES.

      Q     UMM, NOW CAN YOU HOLD UP THOSE TWO VIALS NEXT TO
EACH OTHER SO THE JURORS CAN GET A SENSE OF THE DIFFERENCE
BETWEEN THE TWO.
     A     (WITNESS COMPLIES.)
     Q     MR. MATHESON, AS TO THE VIAL THAT IS 221-B FOR
IDENTIFICATION -- THE -- I'M SORRY, A, THE LARGER OF THE TWO
VIALS, CAN YOU -- LET ME ASK YOU ANOTHER QUESTION FIRST.
           ON JUNE THE 29TH DID YOU HAVE AN ASSUMPTION AS TO
WHERE THE FIVE MILLILITER POINT WOULD BE ON THIS TYPE OF
PURPLE-TOPPED VIAL?
     A     YES, I DID.
     Q     WHAT WAS YOUR ASSUMPTION?
     A     THAT IF THIS IS A TEN MILLILITER TUBE, THE FIVE
MILLILITER POINT WOULD BE AT ABOUT THE HALFWAY POINT ON THE TUBE.
     Q     CAN YOU WRITE IN THE -- MAYBE YOU CAN JUST MAKE A
MARK IN THE AREA THAT YOU WOULD HAVE ASSUMED TO BE THE FIVE
MILLILITER POINT.
     A     WELL, JUST --
     Q     AND --
     A     JUST DOING AN APPROXIMATION, GOING FROM THE TOP OF
THE TUBE TO ABOUT THE HALFWAY POINT, I WOULD SEE IT AS RIGHT
ABOUT WHERE I HAVE DRAWN THAT LINE, (INDICATING).
     MR. GOLDBERG:  I SEE YOU HAVE JUST DRAWN A LINE ACROSS THE
TUBE.

      THE COURT:  IS THAT ON THE GLASS OR ON THE LABEL?
     THE WITNESS:  I DREW IT ON THE LABEL.
     THE COURT:  ALL RIGHT.
     Q     BY MR. GOLDBERG:  AND MR. MATHESON, BASED UPON THAT
ASSUMPTION, IF YOU WERE TO ASSUME IT WAS CORRECT, HOW MUCH WOULD
YOU ESTIMATE IS IN THAT VIAL?
     A     LOOKING AT IT RIGHT NOW, BASED ON THAT, I WOULD SAY
ABOUT TWO AND A HALF MILLILITERS.
     Q     AND IN FACT IT HAS HOW MUCH?
     A     3.8.
     Q     SO YOUR ASSUMPTION, BASED UPON THE HALFWAY POINT, IS
1.3 MILLILITERS OFF?
     A     YES.
     Q     AND WHY IS IT THAT YOU HAVE NEVER DONE ANY
EXPERIMENTS LIKE THIS BEFORE?
     A     IT HAS JUST NEVER BEEN AN ISSUE.  I HAVE NEVER NEEDED
TO WORRY EXACTLY HOW MUCH BLOOD IS IN A TUBE.
     Q     WHY DON'T YOU NEED TO WORRY ABOUT THAT?
     THE COURT:  HAVEN'T WE COVERED THIS LINE ALREADY?
     MR. GOLDBERG:  OKAY.  PERHAPS WE COULD PASS THE TUBES
AROUND THEN SO THE JURORS COULD GET A BETTER LOOK AT THEM.

           (BRIEF PAUSE.)

            (THE EXHIBITS WERE PASSED AMONGST
            THE JURY.)

     THE COURT:  ALL RIGHT.
           MR. GOLDBERG, WOULD YOU RETRIEVE THAT, PLEASE.

           (BRIEF PAUSE.)

     Q     BY MR. GOLDBERG:  SO SIR, BASED UPON THE ASSUMPTION
IN 221-A AS TO THE MIDWAY POINT, WOULD YOU SAY THAT YOU COULD BE
OFF BY AT LEAST 1.3 MILLILITERS IN ESTIMATING THESE TUBES?
     THE COURT:  I THOUGHT WE ASKED THAT.
     MR. GOLDBERG:  WELL, I THINK I ASKED IT A LITTLE BIT
DIFFERENTLY AND IT MIGHT HAVE BEEN AMBIGUOUS.
     THE COURT:  YOU ASKED HIM ALREADY.
     Q     BY MR. GOLDBERG:  OKAY.
           NOW, MR. MATHESON AS A RESULT OF THIS LITTLE
EXPERIMENT THAT YOU DID, HAVE YOU COME TO ANY CONCLUSIONS
REGARDING THE ACCURACY OF TRYING TO GUESSTIMATE WHAT IS IN ONE OF
THESE NON-GRADUATED PURPLE-TOPPED TUBES?
     MR. BLASIER:  OBJECT TO THE WORD "GUESSTIMATE."
     THE COURT:  STRAINED.  SUSTAINED.
           REPHRASE THE QUESTION.

      Q     BY MR. GOLDBERG:  WELL, WHEN YOU LOOKED AT ONE OF
THESE PURPLE-TOPPED TUBES ON THE 29TH, WOULD YOU DESCRIBE WHAT
YOU WERE DOING AS BEING AN ESTIMATE OR A GUESSTIMATE?
     A     WELL, DEFINITELY A VERY ROUGH ESTIMATE.
     Q     AND HAVE YOU COME TO ANY CONCLUSIONS WITH RESPECT TO
HOW ACCURATE YOUR ESTIMATE WAS?
     A     YES.
     Q     WHAT?
     A     THAT IT WAS NOT VERY ACCURATE AT ALL.
     MR. GOLDBERG:  OKAY.
           NOW, I WOULD LIKE TO MARK -- WE HAVE ALREADY MARKED
AS PEOPLE'S 210 FOR IDENTIFICATION AN EXHIBIT.  PERHAPS WE COULD
PUT THAT UP.

           (DISCUSSION HELD OFF THE RECORD
            BETWEEN THE DEPUTY DISTRICT
            ATTORNEYS.)

     MR. GOLDBERG:  I'M GOING TO COME BACK TO THESE SEROLOGY
RESULTS SO I DON'T KNOW WHETHER IT IS POSSIBLE TO PUT IT OVER
THERE.

           (DISCUSSION HELD OFF THE RECORD
            BETWEEN THE DEPUTY DISTRICT
            ATTORNEYS.)


      MR. GOLDBERG:  WHILE HE IS GETTING THAT CHART, MR.
MATHESON, I WANTED TO ASK YOU ABOUT SOME TESTIMONY, THOUGH, FROM
THE PRELIMINARY HEARING ON PAGE 39, LINE 25, THROUGH PAGE 40,
LINE 3.
     THE COURT:  TWO SECONDS.
     MR. GOLDBERG:  PAGE 39 THROUGH 40.

           (BRIEF PAUSE.)

     MR. GOLDBERG:  DO YOU HAVE THAT?
     MR. BLASIER:  I'M SORRY?
     MR. GOLDBERG:  PAGE 39, LINE 25, THROUGH 40, LINE 3.
     Q     MR. MATHESON, DO YOU RECALL GIVING THE FOLLOWING
ANSWERS TO THE FOLLOWING QUESTIONS AT THE PRELIMINARY HEARING?
           I'M SORRY, I'M GOING TO HAVE TO BACK UP TO LINE 22
FOR THE QUESTION.
               "QUESTION:  WITH RESPECT TO THE SAMPLE OF ITEM
NO. 17, THE BLOOD VIAL OF O.J. SIMPSON, DID YOU SIMILARLY
INVENTORY HOW MUCH OF THAT SAMPLE YOU CONSUMED?
               "ANSWER:  THE PROPORTION THAT WOULD BE CONSUMED
WOULD HAVE BEEN OH, A STAIN OF, WELL, CONSISTING OF SIGNIFICANTLY
LESS THAN ONE DROP OUT OF THE VIAL WHICH WHEN I RECEIVED IT HAD
ABOUT TWO MILLILITERS OF BLOOD IN IT, SO IT WOULD HAVE BEEN AN
INSIGNIFICANT QUANTITY TO THE AMOUNT THAT WAS  PRESENT.
               "QUESTION:  THANK YOU."
           DO YOU RECALL GIVING THAT ANSWER TO THAT QUESTION,
SIR?
     A     YES, I DO.
     Q     AND WHAT DID YOU MEAN BY THE PORTION THAT YOU
CONSUMED WOULD HAVE BEEN SIGNIFICANTLY LESS THAN ONE DROP OUT OF
THE VIAL AND DESCRIBING IT AS AN INSIGNIFICANT QUANTITY?
     A     AT THAT POINT I WOULD HAVE BEEN REFERRING STRICTLY TO
THE ELECTROPHORETIC WORK.  THE GELS, THAT TYPE OF THING, USES A
VERY SMALL AMOUNT OF BLOOD, AND EITHER FORGETTING ABOUT IT OR NOT
INCLUDING THE ABO TYPING.
     Q     OKAY.
           WERE YOU REFERRING TO ANY MATERIALS THAT WERE
CLINGING TO THE SIDE OF THE PIPETTES OR THE MICROCENTRIFUGE TUBES
OR WERE YOU EVEN THINKING ABOUT THAT AT THE TIME?
     A     DIDN'T EVEN DAWN ON ME.  I WAS JUST TALKING ABOUT THE
ACTUAL AMOUNT OF SAMPLE THAT WAS USED DURING TESTING.
     Q     AND WHERE DID THE FIGURE OF THE TWO MILLILITERS, THE
ABOUT TWO MILLILITERS COME FROM?
     A     THAT IS CONSISTENT WITH THE ESTIMATE THAT I MADE ON
THAT INVENTORY.
     Q     NOW, I WOULD LIKE TO DIRECT YOUR ATTENTION TO
PEOPLE'S 210 FOR IDENTIFICATION.
           WHAT IS REPRESENTED ON THIS BOARD?
     A     (NO AUDIBLE RESPONSE.)
     Q     LET'S START WITH THE OUTSIDE PACKAGING.
           WHAT DOES THAT REPRESENT?
     A     THAT IS A WHITE ANALYZED EVIDENCE ENVELOPE THAT IS
USED TO STORE EVIDENCE ITEMS FOR FREEZER STORAGE AND THESE ARE
MARKED TO CONTAIN
ITEMS 334 THROUGH 336.
     Q     NOW, WHAT IS THE PACKAGE MARKED ITEM 47, 50 AND 78?
WHAT ARE THOSE?
     A     WHAT IS SHOWN IN THOSE PICTURES ARE A COIN ENVELOPE
OR A MANILA COIN ENVELOPE THAT IS USED TO HOLD AN EVIDENCE ITEM
ALONG WITH THE BINDLE, A LITTLE WHITE PAPER BINDLE THAT THE
ACTUAL SWATCH OR EVIDENCE ITEM IS PLACED INSIDE OF.
     Q     AND ARE ALL THESE ITEMS THAT ARE -- ARE ITEM NUMBERS
BEARING THE DR NUMBER IN OUR CASE?
     A     YES, THEY ARE.
     Q     NOW, WITH RESPECT TO THE ITEM NUMBERS 47, 50 AND 78,
DID YOU CAUSE THOSE TO BE RELEASED TO SOMEONE FROM THE SCIENTIFIC
INVESTIGATIONS DIVISION?
     A     WELL, THEY WERE RELEASED IN CONJUNCTION WITH A COURT
ORDER.  I HAPPENED TO BE PRESENT WHEN THEY WERE RELEASED.
     Q     AND WHEN WAS THAT?
     A     I WOULD HAVE TO REFER TO SOME NOTES. JUST A MOMENT.

            (BRIEF PAUSE.)

     Q     BY MR. GOLDBERG:  WASN'T THAT IN OCTOBER?
     THE COURT:  STIPULATE TO THE DATE?
     MR. BLASIER:  DO YOU KNOW THE DATE?

           (DISCUSSION HELD OFF THE RECORD
            BETWEEN THE DEPUTY DISTRICT
            ATTORNEYS.)

     MR. GOLDBERG:  IT WAS OCTOBER 26.
     THE COURT:  SOUNDS RIGHT?
     MR. BLASIER:  SOUNDS RIGHT.
     THE COURT:  ALL RIGHT.  OCTOBER 26.
           LET'S MOVE ALONG.

           (DISCUSSION HELD OFF THE RECORD
            BETWEEN THE DEPUTY DISTRICT
            ATTORNEYS.)

     MR. GOLDBERG:  THAT WAS THE DATE OF THE COURT ORDER.
     Q     AND YOU WOULD HAVE RELEASED THEM AFTER THE COURT
ORDER IN OCTOBER?
     A     WELL, I DIDN'T RELEASE THEM.  THEY WERE RELEASED BY
OUR EVIDENCE CONTROL UNIT BUT I WAS PRESENT WHEN THEY WERE SIGNED
OUT.
     Q     WHO WERE THEY SIGNED OUT TO?
     A     MR. RAGLE.
     Q     IS THE SAME MR. RAGLE THAT YOU REFERRED TO EARLIER AS
A DEFENSE EXPERT?
     A     YES.
     Q     AND AT SOME POINT DID THOSE COME BACK INTO THE
POSSESSION OF THE SCIENTIFIC INVESTIGATIONS DIVISION?
     A     YES, THEY DID.
     Q     CAN YOU GIVE US THE DATE ON THAT?
     A     THAT WAS ON MARCH 10TH, 1995.
     MR. GOLDBERG:  THANK YOU.

           (DISCUSSION HELD OFF THE RECORD
            BETWEEN THE DEPUTY DISTRICT
            ATTORNEYS.)

     Q     BY MR. GOLDBERG:  NOW, GETTING BACK TO THE TESTING
THAT YOU DID ON THE REMAINING OF THE ITEMS THAT WE HAVEN'T
DISCUSSED, ON THIS ESD ENZYME, THE THREE INDIVIDUALS HERE HAVE
TYPE 1; IS THAT CORRECT?
     A     YES, IT IS.
     Q     AND WHY DID YOU USE THAT FOR THE PURPOSES OF TESTING
ITEM 49, SINCE EVERYONE HAS THE SAME ESD TYPE?
     A     ONE OF THE ELECTROPHORETIC SYSTEMS THAT WAS USED FOR
THAT ITEM IS SOMETHING THAT GOES BY THE NAME OF GROUP 1.  IT IS A
GROUP OF THREE DIFFERENT  ENZYMES; THE ESD, PGM AND GLO ENZYMES.
           THEY WERE ALL DONE IN CONJUNCTION, ALL THREE OF THEM
POTENTIALLY WERE AVAILABLE TO PROVIDE INFORMATION.
     Q     AND WE'VE ALREADY ASKED YOU ABOUT THE RESULTS ON 13-A
IN TERMS OF THE PGM SUBTYPE AND THE EAP RESULT ON THAT WAS A BA?
     A     THAT'S CORRECT.
     Q     AND ARE BOTH OF THOSE TYPES CONSISTENT WITH NICOLE
BROWN?
     A     SHE HAS THE SAME TYPES, THAT'S CORRECT.
     Q     WHAT DATE DID YOU DO THIS TEST ON 13-A?
     A     REFERRING BACK TO MY NOTES.
           THE TESTING ON ITEM 13-A, THE SOCK, WAS ON SEPTEMBER
20, 1994.
     Q     NOW, IN ORDER TO CALCULATE THE FREQUENCY ON THAT
ITEM, WHAT DID YOU DO?
     A     I WOULD DETERMINE WHAT THE FREQUENCY OF OCCURRENCE OF
1 PLUS IS IN THE GENERAL POPULATION AND WHAT THE FREQUENCY OF
OCCURRENCE OR PERCENTAGE OF A BA IN THE GENERAL POPULATION AND
MULTIPLY THOSE TWO NUMBERS TOGETHER.
     Q     AND IS THAT HOW YOU ARRIVED AT THE 16 PERCENT?
     A     APPROXIMATELY 16 PERCENT, CORRECT.
     Q     AND DID YOU DO ANY FURTHER TESTING ON THIS IN TERMS
OF GENETIC MARKERS AFTER THEN?
     A     NO, I DID NOT.
     Q     AND WHY?
     A     WELL, THE CONVENTIONAL WORK AT THIS POINT WAS BEING
DONE STRICTLY TO SCREEN CERTAIN STAINS TO DETERMINE WHETHER OR
NOT IT WOULD BE APPROPRIATE TO SEND THEM OUT FOR FURTHER DNA
ANALYSIS.
     Q     WHEN YOU ARE SAYING "AT THIS POINT," ARE YOU TALKING
ABOUT SEPTEMBER OF LAST YEAR?
     A     THAT'S CORRECT.
     Q     ALL RIGHT.
           NOW, WITH RESPECT TO ITEM NO. 37, THE GLOVE, IT HAS A
THROUGH D.  WHAT DOES A THROUGH D SIGNIFY?
     A     ON ITEMS, NOT SWATCHES, BUT ITEMS THAT HAVE SOME
SIZE, FOR EXAMPLE, A GLOVE WHERE THERE MAY BE DIFFERENT BLOODY
AREAS ON IT, WE ANALYZE THE DIFFERENT AREAS THAT WERE PRESENT,
AND IN THIS CASE I CHOSE FOUR DIFFERENT AREAS ON THE GLOVE AND
DESIGNATED THEM AS A THROUGH D.
     Q     WHAT TECHNIQUE DID YOU USE?  DID YOU USE THE CLOTH
SWATCH TECHNIQUE OR SOME OTHER?
     A     WELL, IN THIS CASE I AM RUNNING DIRECTLY FROM THE
GLOVE UNDER THE ELECTROPHORESIS GEL, SO I WOULD HAVE TAKEN A
THREAD, I DESCRIBED EARLIER WE SHOWED HOW YOU TAKE A THREAD AND
PUT IT INTO THE GEL.  I WOULD HAVE TAKEN A THREAD AND REMOVED THE
SAMPLE DIRECTLY FROM THE GLOVE.
     Q     CAN YOU TELL US WHICH GLOVE A THROUGH D, 37-A THROUGH
D -- ARE THEY ALL ON THE SAME GLOVE OR  ARE THEY ON DIFFERENT
GLOVES?
     A     REFERRING AGAIN TO MY NOTES.
           OKAY.  I CHOSE TWO SAMPLES FROM THE LEFT GLOVE AND
TWO SAMPLES FROM THE RIGHT GLOVE.

           (DISCUSSION HELD OFF THE RECORD
            BETWEEN THE DEPUTY DISTRICT
            ATTORNEYS.)

     THE WITNESS:  EXCUSE ME.  I TOOK TWO SAMPLES FROM THE FRONT
AND TWO SAMPLES FROM THE BACK.
     Q     OKAY.  OF ONE GLOVE?
     A     YES.
     Q     AND WHAT WERE THE RESULTS ON THE TESTS THAT YOU
PERFORMED ON ITEM 37, THE GLOVE?
     A     THAT I DETERMINED THE PGM SUBTYPE ON ALL FOUR AREAS
TESTED TO BE A 2 PLUS 1 PLUS AND THE EAP TO BE INCONCLUSIVE.
     Q     AND WHAT IS A 2 PLUS -- WHO IS A 2 PLUS 1 PLUS
CONSISTENT WITH?
     A     OF THE THREE PEOPLE THAT ARE MENTIONED HERE, IT IS
CONSISTENT WITH MR. GOLDMAN OR ANYBODY ELSE WHO IS A 2 PLUS 1
PLUS.

     Q     AND DID YOU ALSO CALCULATE A FREQUENCY FOR THAT ITEM?
     A     YES, I DID.
     Q     HOW DID YOU DO THAT?
     A     I DETERMINED OFF OF OUR EXPERIENCE WITHIN OUR
LABORATORY WITH THE PGM SUBTYPES ABOUT 20 PERCENT OF THE GENERAL
POPULATION HAS THAT TYPE.
     Q     OKAY.
           AND NOW, DIRECTING YOUR ATTENTION TO
ITEM 44, LET'S JUST SEE WHERE THAT CAME FROM IF IT IS ON THE
BOARD.
           WE CAN MOVE THAT OVER A LITTLE BIT.

           (BRIEF PAUSE.)

     Q     BY MR. GOLDBERG:  DID YOU DO SOME TESTING ON ITEM 44?
     A     YES, I DID.
     Q     DO YOU SEE THE PHOTOGRAPH SIGNIFYING 44 IN THE UPPER
RIGHT-HAND CORNER, ONE PHOTOGRAPH TO THE LEFT OF 45?
     A     YES, I DO.
     MR. GOLDBERG:  THANK YOU, MR. FAIRTLOUGH.  YOU CAN PUT THAT
BACK.  I JUST WANTED TO -- SORRY.
     Q     AND WHAT WERE THE RESULTS ON ITEM 44, YOUR TESTING ON
THAT ITEM?
     A     I FOUND THE PGM SUBTYPE TO BE A 2 PLUS 1 PLUS AND THE
EAP GAVE NO ACTIVITY.
     Q     DID YOU CALCULATE A FREQUENCY?
     A     YES, I DID.
     Q     WHAT DID YOU CALCULATE?
     A     THAT A 2 PLUS 1 PLUS EXISTS IN ABOUT 20  PERCENT OF
THE POPULATION.
     Q     AND NOW LET'S SKIP OVER TOP ITEM, 78-B.
           DID YOU DO SOME TESTING ON THAT ITEM?
     A     YES, I.
     MR. GOLDBERG:  AND AT THIS TIME I WOULD LIKE TO MARK AS
PEOPLE'S NEXT IN ORDER, IT IS 222, A LABORATORY NOTE THAT IS
L-381.
     THE COURT:  MARKED 222.

         (PEO'S 222 FOR ID = LAB NOTE)

           (DISCUSSION HELD OFF THE RECORD
            BETWEEN DEFENSE COUNSEL.)

     THE COURT:  ALL RIGHT.  THANK YOU, COUNSEL.

           (DISCUSSION HELD OFF THE RECORD
            BETWEEN THE DEPUTY DISTRICT
            ATTORNEYS.)

     Q     BY MR. GOLDBERG:  NEXT I'M GOING TO SHOW YOU THIS
LABORATORY NOTE AND HAVE YOU DESCRIBE FOR US WHETHER YOU
RECOGNIZE THAT DOCUMENT AND WHAT IT IS.

     A     YES, I DO.  THAT IS A COPY OF A SEROLOGY ITEM
DESCRIPTION NOTES.  THAT DESCRIBES WHERE ITEMS WERE TAKEN OFF OF
ITEM NUMBER 78, THE BOOTS.
     Q     AND WHAT ITEMS DID YOU TAKE OFF OF THE  BOOTS?
     A     WELL, I TESTED SIX DIFFERENT AREAS ON THE BOOTS
THEMSELVES.  THEY WERE LABELED 78-A THROUGH 78-E.
     Q     AND DOES THIS CHART SHOW THE RELATIVE LOCATIONS OF A
THROUGH E?
     A     YES, IT DOES.
     Q     DID YOU TAKE SWATCHES OFF OF BOTH BOOTS?
     A     YES.
     Q     SO A CAME OFF WHICH BOOT?
     A     78-A IS FROM THE SOLE HEEL AREA OF THE RIGHT BOOT.
     Q     AND WHERE DID 78-B COME FROM?
     A     78-B IS FROM THE OUTER EDGE OF THE SOLE OF THE RIGHT
BOOT.
     Q     IS THAT THE SAME -- SAME RIGHT BOOT?
     A     YEAH --
     Q     I MEAN AS THE OTHER ONE, SAME ITEM NUMBER?
     A     78-A, YES.
     MR. GOLDBERG:  AND I WOULD LIKE TO SHOW YOU SOME
PHOTOGRAPHS THAT WE HAVE PREVIOUSLY MARKED.
           YOUR HONOR, I DON'T KNOW WHETHER -- YEAH.
           I THINK THEY ARE PEOPLE'S 98.
     Q     DOES THIS APPEAR TO BE CONSISTENT WITH OR DOES THIS
APPEAR TO BE THE BOOT THAT YOU TOOK SOME OF THE ITEMS OFF, THE
LEFT ONE, OR THE RIGHT ONE,  RATHER?
     A     I WAS GOING TO SAY THAT LOOKS LIKE THE RIGHT BOOT,
YES.
     Q     CAN YOU TELL US USING THIS PHOTOGRAPH AND YOUR
DIAGRAM WHERE YOU TOOK 78-A OFF OF?
     A     YES.  78-A WOULD HAVE BEEN COLLECTED FROM THE LOWER
HEEL AREA DOWN IN HERE, POINTING TO THE LOWER LEFT-HAND BOTTOM OF
THE --
     MR. GOLDBERG:  MAYBE WE CAN MARK THAT.
     Q     IS THE ARROW IN THE RIGHT POSITION?
     THE COURT:  MR. MATHESON, WHY DON'T YOU LOOK AT YOUR
MONITOR.
     THE WITNESS:  IT COULD PROBABLY STAND TO GO UP A LITTLE BIT
AND THEN TOWARD THE RIGHT A LITTLE BIT. RIGHT IN THAT GENERAL
AREA RIGHT THERE, (INDICATING).
     MR. GOLDBERG:  CAN WE MARK THAT?  CAN WE WRITE A 78-A ON
THAT, TOO?

           (BRIEF PAUSE.)

     MR. GOLDBERG:  I'M SORRY, 7 -- YEAH.
     Q     SO THAT WAS 78-A?
     A     CORRECT.
     MR. GOLDBERG:  CAN WE PRINT THAT?
     Q     BY MR. GOLDBERG:  CAN YOU SEE WHERE 78-B CAME FROM ON
THIS?
     A     NOT DIRECTLY, NO.
     Q     CAN YOU GIVE US THE GENERAL VICINITY OF  IT, USING
THIS PHOTOGRAPH?
     A     IT WOULD BE -- CAN YOU TAKE THE ARROW UP A LITTLE
BIT, DOWN A LITTLE BIT AND THEN TO THE RIGHT.
           NO.  GO BACK TO THE EDGE.  THIS SAMPLE IS ACTUALLY ON
THE EDGE OF THE SOLE.  YOU COULDN'T SEE IT DIRECTLY FROM THE
BOTTOM.
           AND IN THAT GENERAL AREA, (INDICATING), AS IT IS
BEING POINTED TO RIGHT NOW.
     MR. GOLDBERG:  MAYBE WE CAN MARK THAT AND LABEL THAT 78-A.
     THE COURT:  78-A?
     MR. GOLDBERG:  I'M SORRY, B.  THAT'S B.

           (BRIEF PAUSE.)

     MR. GOLDBERG:  MAYBE WE CAN MARK THE PRINTOUT AS 223 FOR
IDENTIFICATION.
     THE COURT:  ALL RIGHT.  PEOPLE'S 223, PRINTOUT OF THIS
PHOTO.

           (PEO'S 223 FOR ID = PHOTOGRAPH)


           (DISCUSSION HELD OFF THE RECORD
            BETWEEN THE DEPUTY DISTRICT
            ATTORNEYS.)

      Q     BY MR. GOLDBERG:  NOW, MR. MATHESON, CONTINUING WITH
THE TESTING ON 78-A -- EXCUSE ME -- 78-B, THE SHOE, DID YOU HAVE
ANY RESULTS ON THAT TESTING?
     A     YES, ON 78-B.
     Q     WHAT WAS THE RESULT?
     A     THAT IN THE PGM SUBTYPE SYSTEM I FOUND A 2 PLUS 1
PLUS AND IN EAP THERE WAS NO ACTIVITY.
     Q     WHAT DOES "NO ACTIVITY" MEAN?
     A     WELL, IT MEANS THAT IN THAT LANE ON THE GEL THERE WAS
NOTHING VISIBLE, NO REACTION.
     Q     AND YOU ALSO CALCULATED A RESULT ON THAT?
     A     A FREQUENCY, CORRECT.
     Q     WHICH WAS?
     A     THE SAME AS THE OTHER, 2 PLUS 1 PLUS; IT OCCURS IN
ABOUT 20 PERCENT OF THE POPULATION.
     MR. GOLDBERG:  OKAY.
           NOW, I WOULD LIKE TO DIRECT YOUR ATTENTION FINALLY TO
STAIN 49.

           (DISCUSSION HELD OFF THE RECORD
            BETWEEN THE DEPUTY DISTRICT
            ATTORNEYS.)

     Q     BY MR. GOLDBERG:  NOW, ON THIS PARTICULAR STAIN YOU
DIDN'T TEST THIS IN SEPTEMBER BUT IN JUNE?
     A     THAT'S CORRECT.
     Q     AND THAT WAS ON -- WHEN IN JUNE?
     A     THE TESTING WAS DONE ON JUNE 27 AND 28, 1994.
     Q     I WOULD JUST LIKE YOU TO LOOK QUICKLY AT THE BUNDY
DRIVE BOARD TO SEE WHERE STAIN 49 CAME FROM.  IN THE LEFT-HAND
CORNER, CARD NO. 114.
           DID YOU TEST THE STAIN 49 THAT BEARS THE DR NUMBER IN
THIS CASE?
     A     YES, I DID.
     Q     NOW, AT THAT TIME DID IT HAVE -- IT HAD -- DID IT
HAVE THE ITEM NUMBER ON IT AND THE PHOTO NUMBER, 114, OR DON'T
YOU KNOW?
     A     REFERRING TO MY NOTES, I BELIEVE IT DID.
           AS REFERENCED BY MY NOTES THAT THE ITEM NO. 1 --
CORRECTION ITEM NO. 49, DID HAVE PHOTO I.D. NO. 114 ON IT.
     Q     ALL RIGHT.
           NOW, WITH RESPECT TO THIS PARTICULAR STAIN, DID YOU
DO ABO TYPING ON THAT STAIN?
     A     YES.  YES, I DID.
     Q     AND WHAT RESULT DID YOU GET OFF THE ABO TYPING ON
STAIN 49?
     A     THAT THE RESULTS WERE INDICATIVE OF A TYPE A.
     Q     WHAT DOES THE TERM "INDICATIVE" MEAN?
     A     WHEN YOU ARE DOING ABO TYPING, THERE IS TWO DIFFERENT
FACTORS THAT CAN INDICATE WHAT TYPE OR WHAT YOUR RESULT IS; ONE
OF THEM IS ANTIGEN AND ONE IS THE ANTIBODY.
           NORMALLY WE LIKE TO RUN BOTH TESTS SO THAT ONE CAN
CONFIRM ANOTHER.  IF YOU ONLY RUN ONE OR IF YOU ONLY GET
CONCLUSIVE RESULTS IN ONE, WE CALL IT INDICATIVE OF.
           IN THIS PARTICULAR CASE I CHOSE TO LIMIT THE AMOUNT
OF SAMPLE I USED, ONLY ANALYZED FOR WHAT IS CALLED THE ABO
ANTIGEN, AND THUS GOT AN INDICATION OF A TYPE A.
     Q     WHY DO YOU WANT TO LIMIT THE AMOUNT OF SAMPLE THAT
YOU USED ON ITEM 49?
     A     WELL, AGAIN, BECAUSE THERE ARE ADDITIONAL TESTS THAT
COULD BE PERFORMED IN PARTICULAR DNA TESTING WHICH POTENTIALLY
COULD PROVIDE A MUCH GREATER DISCRIMINATION THAN ABO TESTING.
     Q     NOW, ARE THERE ANY INDIVIDUALS OF THE THREE PEOPLE
THAT WE HAVE REFERENCE SAMPLES FOR THAT ARE CONSISTENT WITH THE
TYPE A?
     A     YES.
     Q     WHO IS THAT?
     A     BOTH MR. SIMPSON AND NICOLE BROWN.
     Q     IS THERE ANYONE THAT CAN BE ELIMINATED AS A DONOR OF
THE STAIN BASED UPON YOUR TESTING OF THE ABO TYPE?
     A     YES.
     Q     WHO IS THAT?
     A     MR. GOLDMAN.
     Q     NOW, HIS TYPE IS WHAT?
     A     THE RESULTS I GOT IS IT IS INDICATIVE OF  A TYPE O.
     Q     AND WHY IS IT INDICATIVE OF O?  FOR THE SAME REASON
THAT YOU DESCRIBED INDICATIVE OF A?
     A     SIMILAR REASONS.  ONE OF THE TWO TESTS PROVIDED A
CONCLUSIVE RESULT; ANOTHER GAVE AN INCONCLUSIVE RESULT.
     Q     ALL RIGHT.
           NOW, WITH RESPECT TO THE ESD MARKER, WHAT WAS THE
RESULT ON THAT ON ITEM 49?
     A     GOT AN INDICATION OF A RESULT OF A TYPE 1 IN THE ESD
SYSTEM.
     Q     THAT IS CONSISTENT WITH EVERYONE?
     A     YES.
     Q     AT LEAST OUR THREE INDIVIDUALS HERE?
     A     THAT'S CORRECT.  IN RELATION TO THE POPULATION WE ARE
TALKING ABOUT HERE, THE THREE PEOPLE.
     Q     DID YOU ALSO DO A PGM SUBTYPE?
     A     YES, I DID.
     Q     AND BASED UPON THE PGM SUBTYPE WERE YOU ABLE TO
EXCLUDE ANYONE FROM OUR POPULATION OF THREE INDIVIDUALS BASED ON
THOSE RESULTS?
     A     YES, I WAS.
     Q     WHO?
     A     BASED SOLELY ON THE PGM SUBTYPE I WAS ABLE TO
ELIMINATE MR. GOLDMAN AS CONTRIBUTING THAT BLOOD OR MS. BROWN AS
CONTRIBUTING THAT BLOOD.
     Q     AND FINALLY, ON THE EAP SYSTEM, DID YOU  RECEIVE A
RESULT?  DID YOU GET A RESULT ON EAP FOR ITEM NO. 49?
     A     I DID NOT TEST IT FOR THAT.
     Q     AND WHY WASN'T EAP TESTED ON THIS ITEM?
     A     WELL, WE DID NOT RUN A SYSTEM AT THAT TIME THAT
INCLUDED THE EAP AND WE CHOSE TO DO THE PGM SUBTYPE SOLELY BY
ITSELF.
     Q     SO IF YOU HAD WANTED TO TEST EAP ON THIS DROP 49,
WOULD YOU HAVE HAD TO USE MORE SAMPLE AND MADE A SEPARATE RUN?
     A     AT THIS POINT, YES.
     Q     AND WHY NOT DO THAT?
     A     THE SAME THING, WE DON'T WANT TO CONSUME ANY MORE
SAMPLE.
     Q     ALL RIGHT.
           NOW, WITH RESPECT TO THE OTHER EAP TESTS, DID YOU
TESTIFY THAT YOU DIDN'T ACTUALLY HAVE TO USE ADDITIONAL SAMPLE IN
ORDER TO GET THOSE RESULTS?
     A     THAT'S CORRECT.
     Q     NOW, BASED UPON THE TESTING THAT YOU DID ON ITEM NO.
49, COULD THAT DROP HAVE BEEN DONATED BY NICOLE BROWN?
     A     NO, IT COULD NOT.
     Q     OR BY RONALD GOLDMAN?
     A     NO, IT COULD NOT.
     Q     COULD IT HAVE BEEN DONATED BY ORENTHAL SIMPSON?
     A     IT COULD HAVE.
     Q     NOW, DID DO YOU A CALCULATION OF FREQUENCY ON THIS
BLOOD DROP?
     A     YES, I DID.
     Q     AND CAN YOU BREAK IT DOWN FOR US STARTING WITH THE
ABO WHAT THE FREQUENCY IS OF THAT ITEM?
     A     I WOULD HAVE -- ON EACH INDIVIDUAL MARKER?
     Q     CAN DO YOU THAT?
     A     I CAN.  I WOULD HAVE TO REFER TO ANOTHER CHART THAT I
MADE.
     MR. GOLDBERG:  OKAY.

           (BRIEF PAUSE.)

     THE WITNESS:  I HAVE A CHART THAT BREAKS DOWN THE
POPULATION FREQUENCIES AS DETERMINED WITHIN OUR LABORATORY ON
SAMPLES THAT WE HAVE RUN ON JUST THE MARKERS THAT WE ARE
INTERESTED IN ON THE ITEMS IN THIS CASE.
     Q     BY MR. GOLDBERG:  NOW, WITH RESPECT TO THE ABO TYPE,
WHAT FREQUENCY SIMPLE DID YOU APPLY TO THE ABO TYPE ON 49?
     A     TYPE A IN THE ABO SYSTEM EXISTS IN ABOUT
APPROXIMATELY 33.7 PERCENT OF THE GENERAL POPULATION.
     Q     SO IT IS JUST A LITTLE OVER A THIRD?
     A     APPROXIMATELY, YES.
     Q     NOW, WITH RESPECT TO THE ESD, THE ESTERASE D RESULT,
DID YOU USE ANY FIGURE ASSIGNED TO  THAT NUMBER FOR THE PURPOSES
OF ARRIVING AT YOUR FINAL CONCLUSION?
     A     YES, I DID.
     Q     AND WHAT WAS THE PERCENTAGE THERE?
     A     THAT THE ESD ONE EXISTS IN ABOUT 79.6 PERCENT OF THE
POPULATION.
     Q     WHAT ABOUT PGM SUBTYPE?  DID YOU COME UP WITH A
FIGURE FOR THE PGM SUBTYPE?
     A     YES, I DID.
     Q     WHAT WAS THAT?
     A     THAT THE PGM SUBTYPE OF A 2 PLUS 2 MINUS EXISTS IN
APPROXIMATELY 1.6 PERCENT OF THE POPULATION.
     Q     SO BASED UPON PGM SUBTYPE ALONE, ONLY 1.6 PERCENT OF
THE POPULATION HAVE THESE SAME PGM SUBTYPES AS THE DEFENDANT IN
THIS CASE?
     A     THAT'S CORRECT.
     Q     NOW, IN ORDER TO COME UP WITH YOUR FINAL CONCLUSION
IN TERMS OF THE FREQUENCY, WHAT DID YOU DO AS TO ITEM NO. 49?
     A     I TOOK THOSE THREE PERCENTAGES THAT WERE JUST
MENTIONED AND MULTIPLIED THEM TOGETHER.
     Q     AND YOU ARRIVED AT WHAT?

     A     SIMPLY MULTIPLYING TOGETHER IT COMES UP APPROXIMATELY
43 PERCENT OF THE POPULATION WHICH THEN ROUNDING THAT OFF TO
MAKE IT A LITTLE BIT MORE UNDERSTANDABLE WORKS OUT TO ABOUT ONE
PERSON OUT OF  EVERY 200.
     Q     OR .5 PERCENT?
     A     THAT'S CORRECT.
     Q     AND .5 PERCENT IS ONE-HALF OF ONE PERCENT?
     A     YES.
     Q     DOES THAT MEAN THAT 99.5 PERCENT OF THE POPULATION
CAN BE EXCLUDED AS HAVING DONATED THAT SAMPLE 49 AT THE CRIME
SCENE?
     A     APPROXIMATELY, YES.
     Q     OR THAT IF YOU TOOK 200 PEOPLE AND TESTED THEM, THAT
YOU WOULD EXPECT THAT ONLY ONE OF THEM MIGHT HAVE THE SAME BLOOD
TYPE AS THE PERSON THAT DONATED THAT DROP?
     MR. BLASIER:  OBJECTION, NO FOUNDATION, YOUR HONOR.
     THE COURT:  OVERRULED.
     THE WITNESS:  THAT'S CORRECT.

           (DISCUSSION HELD OFF THE RECORD
            BETWEEN THE DEPUTY DISTRICT
            ATTORNEYS.)


     MR. GOLDBERG:  THANK YOU, MR. MATHESON.
           NO FURTHER QUESTIONS.
     THE COURT:  MR. BLASIER, DO YOU NEED A MOMENT?
     MR. BLASIER:  I THINK WE DO, YOUR HONOR.
     THE COURT:  ALL RIGHT.
           LADIES AND GENTLEMEN, WE ARE GOING TO TAKE A BRIEF
MOMENT TO RECYCLE AND REORGANIZE EXHIBITS AND THINGS.
           WE WILL TAKE ABOUT TEN OR FIFTEEN MINUTES TO ALLOW
COUNSEL TO DO THAT.
           I WILL ASK YOU JUST TO STEP BACK INTO THE JURY ROOM
AND WE WILL CALL YOU OUT AS SOON AS WE ARE READY TO START UP
AGAIN.
           MRS. ROBERTSON.

           (BRIEF PAUSE.)

           (RECESS.)

             (THE FOLLOWING PROCEEDINGS WERE
            HELD IN OPEN COURT, OUT OF THE
            PRESENCE OF THE JURY:)

     THE COURT:  ALL RIGHT.
           BACK ON THE RECORD IN THE SIMPSON MATTER.
           ALL PARTIES ARE AGAIN PRESENT.
           MR. BLASIER, ARE YOU READY TO PROCEED?
     MR. BLASIER:  YES, YOUR HONOR.
     THE COURT:  ALL RIGHT.  LET'S HAVE THE JURORS, PLEASE.

           (BRIEF PAUSE.)

           (THE FOLLOWING PROCEEDINGS WERE
            HELD IN OPEN COURT, IN THE
            PRESENCE OF THE JURY:)

     THE COURT:  ALL RIGHT.  THANK YOU, LADIES AND GENTLEMEN.
           PLEASE BE SEATED.
           ALL RIGHT.  MR. MATHESON, WOULD YOU RESUME THE
WITNESS STAND, PLEASE.
           THE RECORD SHOULD REFLECT WE HAVE BEEN REJOINED BY
ALL THE MEMBERS OF OUR JURY.
           MR. GREGORY MATHESON IS AGAIN ON THE WITNESS STAND
UNDER OATH NOW TO BEGIN CROSS-EXAMINATION BY MR. BLASIER.
                CROSS-EXAMINATION

BY MR. BLASIER:
     Q     MR. MATHESON, GOOD AFTERNOON.
     A     GOOD AFTERNOON.
     MR. BLASIER:  LADIES AND GENTLEMEN, GOOD AFTERNOON.
     THE JURY:  GOOD AFTERNOON.
     Q     BY MR. BLASIER:  MR. MATHESON, I WANT TO START BY
ASKING YOU SOME QUESTIONS ABOUT YOUR BACKGROUND THAT YOU HAD
TESTIFIED TO ON DIRECT.
           YOU INDICATED THAT YOU HAD ATTENDED SEVERAL COURSES
IN DNA TECHNOLOGY AND I BELIEVE YOUR TESTIMONY WENT TO THE YEAR
1990.
           AM I ACCURATE ON THAT?
     A     I WOULD HAVE TO CONFIRM THE DATES ON THAT.

           (BRIEF PAUSE.)

     THE WITNESS:  YOU MEAN 1990 AS A FORMAL COURSE ON THE MOST
RECENT END?
     Q     BY MR. BLASIER:  THAT IS THE LAST ENTRY THAT I HAVE
CONCERNING DNA TRAINING.
     A     AS FAR AS COURSE WORK, YES.
     Q     AND THAT WAS A TWO-WEEK COURSE IN 1990 IN DENVER,
COLORADO, AS WELL AS A COURSE AT CETUS CORPORATION?
     A     WELL, THE PCR WORKSHOP WAS ACTUALLY THE UNIVERSITY OF
NEW HAVEN SPONSORED BY CETUS.
     Q     AND IT WAS AT THAT CONFERENCE THAT YOU LEARNED A
LITTLE BIT ABOUT RFLP AND SOMETHING ABOUT PCR?
     MR. GOLDBERG:  VAGUE AS TO "SOMETHING" AND A "LITTLE BIT."
     THE COURT:  OVERRULED.
     THE WITNESS:  WHICH ONE ARE WE TALKING ABOUT?
           THE ONE -- THE ONE-WEEK CETUS COURSE WAS A FAIRLY
INVOLVED COURSE ON PCR AND WE ACTUALLY DID THE TYPING OURSELVES
AND THAT TYPE OF THING.
           THE TWO-WEEK COURSE THAT I MENTIONED IN DENVER WAS AN
OVERVIEW OF OUR RFLP TYPE TECHNIQUES ALONG WITH HAVING A CHANCE
TO TRY SOME OF THE THEM.
     Q     BY MR. BLASIER:  AND THEN IN 1990 YOU HAD THE OTHER
TWO COURSES, THE DENVER COURSE AND THE CETUS COURSE?
     A     THAT IS WHAT I WAS JUST REFERRING TO.
     Q     ALL.
           RIGHT THE NEW HAVEN COURSE WAS AN EARLIER COURSE?
     A     NO.  THE -- THERE WAS ACTUALLY A COUPLE AT NEW HAVEN.
     Q     OKAY.
           SINCE 1990 HAVE YOU ATTENDED ANY TRAINING COURSES IN
DNA TECHNOLOGY?
     A     NOT COURSE WORK, NO.
     Q     AND HAVE YOU DONE ANY READING ON DNA TECHNOLOGY SINCE
1990?
     A     YES.
     Q     WHAT SORTS OF READINGS?
     A     I'VE REVIEWED SOME TECHNICAL ARTICLES. AS FAR AS JUST
READING GOES, I LOOKED THROUGH, YOU KNOW, THE DIFFERENT JOURNALS
THAT ARE OUT THERE, JOURNAL OF FORENSIC SCIENCE SOCIETY, THAT
TYPE OF THING; NOT A LOT IN-DEPTH.
     Q     NOW, THERE ARE REGULAR SEMINARS EVERY YEAR PUT ON BY
-- ROCHE MOLECULAR PUTS SOME ON AND OTHER ORGANIZATIONS PUT ON
SEMINARS CONCERNING DNA TECHNOLOGY AND ADVANCES THAT ARE BEING
MADE IN THAT AREA, CORRECT?
     A     THAT'S CORRECT.
     Q     AND THOSE COURSES ARE AVAILABLE TO YOU IF YOU CHOOSE
TO ATTEND THEM?
     A     YES, AND IF I AM GIVEN TIME FROM THE CITY.
     Q     AND YOU HAVE NOT CHOSEN TO ATTEND ANY OF THOSE
COURSES?
     A     WHEN I SAID YES, YOU MENTIONED SEMINARS?
     Q     YES.
     A     YES, I HAVE ACTUALLY ATTENDED A COUPLE SINCE 1990
ALONG THAT LINE, SEMINARS.
           WHEN I WAS TALKING ABOUT BEFORE, NO, NO COURSE WORK
AFTER 1990, I WAS TALKING ABOUT A CLASSROOM TYPE OF SETTING.
           AS A MATTER OF FACT, IN 1993 IN SEPTEMBER I ATTENDED
A PROMEGA MEETING AT THE INTERNATIONAL SYMPOSIUM ON HUMAN
IDENTIFICATION IN SCOTTSDALE, ARIZONA.
           AND THAT WOULD BE ONE THAT WAS DIRECTLY RELATED
STRICTLY TO THE AREA OF DNA?
     A     I ALSO ATTENDED THE CAC SEMINARS AND AMERICAN ACADEMY
MEETINGS WHICH TEND TO GO IN LENGTH IN THE AREA OF DNA.
     Q     HAVE YOU EVER TAUGHT ANY ASPECT OF DNA TECHNOLOGY AT
ANY OF THOSE SEMINARS?
     A     NO, I HAVE NOT.
     Q     HAVE YOU EVER TAUGHT DNA TECHNOLOGY AT ANY PROGRAM AT
ALL?
     A     DEPENDS ON WHAT YOU MEAN BY "DNA TECHNOLOGY."  I GIVE
GENERAL OVERVIEW IN PARTICULAR WITHIN OUR DEPARTMENT TO
DETECTIVES SO THAT THEY ARE AWARE OF OUR CURRENT STATUS AND THAT
TYPE OF THING, BUT NOT IN ANY OF THE SEMINARS.
     Q     NOW, YOU INDICATED THAT YOU ARE A MEMBER OF THE
CALIFORNIA ASSOCIATION OF CRIMINALISTS?
     A     THAT'S CORRECT.
     Q     AND YOU HAVE AN ATTENDED EVERY SEMINAR OF THEIRS
SINCE 1979?
     A     EXCEPT FOR EITHER THREE OR FOUR, YES.
     Q     NOW, HOW OFTEN ARE THOSE HELD?
     A     TWICE A YEAR; ONCE IN THE SPRING AND ONCE IN THE
FALL.
     Q     AND AGAIN, ARE THOSE VOLUNTARY PROGRAMS THAT YOU CAN
CHOOSE TO GO TO OR NOT CHOOSE TO GO TO?
     A     YES, THAT'S CORRECT.
     Q     AND ARE THOSE -- DOES YOUR ORGANIZATION ALLOW YOU TO
ATTEND THOSE IF YOU WANT TO?
     A     THEY WILL GIVE US TIME TO ATTEND.  THEY DON'T COVER
EXPENSES NORMALLY.
     Q     NOW, TO YOUR KNOWLEDGE HAS DENNIS FUNG ATTENDED ANY
OF THOSE COURSES?
     MR. GOLDBERG:  CALLS FOR HEARSAY.
     THE COURT:  VAGUE.
     MR. GOLDBERG:  ALSO IRRELEVANT TO THIS WITNESS AND BEYOND
THE SCOPE.
     THE COURT:  "ANY OTHER COURSES" IS VAGUE.
     MR. BLASIER:  I'M SORRY?
     THE COURT:  THAT IS VAGUE, "ANY OF THOSE COURSES."
     Q     BY MR. BLASIER:  THE CALIFORNIA ASSOCIATION OF
CRIMINALISTS SEMINARS THAT HAPPEN TWICE A YEAR, DO YOU HAVE THAT
IN MIND?
     A     YES.
     Q     AND TO YOUR KNOWLEDGE DID DENNIS FUNG ATTEND ANY OF
THOSE SEMINARS THIS YEAR?
     A     WELL, THIS YEAR MOANING 1995 THERE HASN'T BEEN ONE
YET.
     Q     '94?
     A     LET'S SEE.  I'M NOT SURE.  THE ONE IN THE FALL WAS IN
PASADENA.  I THINK I MIGHT HAVE SEEN HIM  THERE, BUT I'M NOT
SURE.
     Q     '93?
     A     I DON'T HAVE ANY SPECIFIC RECOLLECTION OF WHETHER HE
HAS ATTENDED OR NOT.
     Q     IS THERE A RECORD KEPT SOMEWHERE OF WHO ATTEND
VARIOUS SEMINARS?
     A     NORMALLY IT IS INCLUDED, IF THEY CHOOSE TO INCLUDE IT
AS PART OF THEIR STATEMENT OF QUALIFICATIONS OR CV.
           BEYOND THAT OUR DEPARTMENT REQUIRES SOMETHING THAT IS
CALLED A TRAVEL AUTHORITY.  IF IT IS GOING TO BE TRAVEL FOR
TRAINING PURPOSES OR SEMINARS OUT OF THE COUNTY, IT WOULD BE
RECORDED IN THAT, BUT IT IS NOT LIKE A LISTING OF INDIVIDUAL
ATTENDANCES.
     Q     AND THEY ARE NOT REQUIRED TO KEEP A RECORD OF HOW
MANY COURSES THEY ATTEND OR WHAT TYPES OF COURSES THEY ARE?
     A     WELL, IT IS RECOMMENDED THAT THEY ARE AND THAT THEY
KEEP THEIR STATEMENT OF QUALIFICATIONS UP TO DATE.
     Q     SO IS IT YOUR EXPERIENCE THAT HAD HE ATTENDED COURSES
THAT WOULD BE ON HIS CV?
     A     IT SHOULD BE, YES.
     Q     DO YOU KNOW WHETHER ANDREA MAZZOLA HAS ATTENDED ANY
CALIFORNIA ASSOCIATION OF CRIMINALIST SEMINARS?
     A     NO.
     MR. GOLDBERG:  STILL CALLS --
     Q     BY MR. BLASIER:  YOU DON'T KNOW OR SHE HASN'T?
     A     NO, I DO NOT KNOW.
     Q     NOW, MAKE ANY EFFORT TO MONITOR SOME SORT OF CLASSES
OR SEMINARS THE PEOPLE THAT WORK UNDER YOU ATTEND?
     A     WELL, WE MAKE SURE THAT WE GIVE PEOPLE THE
OPPORTUNITY TO ATTEND IF THEY ARE INTERESTED AND WE TRY AND
ENCOURAGE PEOPLE TO ATTEND.
           AS FAR AS MYSELF MONITORING WHAT COURSES EACH
INDIVIDUAL PERSON GOES TO, NO.
     Q     NOW, YOU INDICATED I BELIEVE THAT YOU ARE A MEMBER OF
THE AMERICAN ACADEMY OF FORENSIC SCIENCES?
     A     YES, JUST RECENTLY.
     Q     NOW, YOU ARE -- THE ACTIVITY WHERE YOU ARE A MEMBER
OF THE BOARD OF DIRECTORS, THAT IS THE CALIFORNIA ASSOCIATION OF
CRIMINALISTS?
     A     WHERE I WAS A MEMBER OF THE BOARD OF DIRECTORS, YES,
THAT AND THE AMERICAN BOARD OF CRIMINALISTICS.
     Q     NOW, WITH BOTH OF THOSE ORGANIZATIONS WERE YOU
INVOLVED IN ACCREDITATION PROGRAMS?
     A     I WAS -- NEITHER ONE OF THOSE ORGANIZATIONS ARE
INVOLVED IN ACCREDITATION.  THEY ARE BOTH ASSOCIATED TO SOME
EXTENT WITH CERTIFICATION.
     Q     NOW, DESCRIBE WHAT CERTIFICATION IS.
     A     CERTIFICATION IS A SYSTEM WHEREBY -- IN OUR CASE A
VOLUNTARY SYSTEM WHEREBY A PROFESSIONAL HAS AN OPPORTUNITY TO
SHOW THAT THEY MEET MINIMUM QUALIFICATIONS OF STANDARDS WITHIN A
CERTAIN AREA, AS OPPOSED TO ACCREDITATION IN FORENSICS WHICH
TESTS WHOLE LABORATORIES OR LABORATORY SYSTEMS.
     Q     SO CERTIFICATION IS FOR AN INDIVIDUAL AND
ACCREDITATION IS FOR THE LAB AS A WHOLE?
     A     THAT'S CORRECT.
     Q     AND IS IT YOUR UNDERSTANDING THAT WITHIN THE FORENSIC
COMMUNITY THE IDEA OF CERTIFICATION IS AN IMPORTANT ONE?
     A     IT IS WITH MANY OF THE MEMBERS, YES.
     Q     AND THERE HAS BEEN A SUBSTANTIAL AMOUNT OF
CONTROVERSY IN THE FORENSIC COMMUNITY ABOUT HOW FORMS OF
CERTIFICATION SHOULD TAKE PLACE?
           ARE YOU AWARE OF THAT.
     MR. GOLDBERG:  CALLS FOR HEARSAY, VAGUE.
     THE COURT:  OVERRULED.
     THE WITNESS:  WELL, DURING THE COURSE -- PARTICULARLY
DURING THE COURSE OF WHEN I WAS INVOLVED IN SETTING UP THE CAC
CERTIFICATION PROGRAM, THERE WAS A LOT OF DISCUSSION AMONGST OUR
MEMBERS AS TO WHAT THE CRITERIA SHOULD BE TO BE ABLE TO APPLY.
           YEAH, THERE WAS GIVE AND TAKE ON THAT. THERE WAS SOME
DIFFERENCES OF OPINION AND THEN WHEN WE GOT INVOLVED IN THE
AMERICAN BOARD OF  CRIMINALISTICS, WHICH IS THE NATIONAL BODY,
THAT BECAUSE OF THE WIDE NATURE OF THE DIFFERENT PEOPLE INVOLVED,
ALSO INDICATED THAT THERE WAS A DIFFERENCE OF OPINION IN A LOT OF
DIFFERENT AREAS.
     Q     BY MR. BLASIER:  AND IS IT ACCURATE TO SAY THAT
CERTIFICATION PROGRAMS ARE DESIGNED TO ENSURE THAT THE PEOPLE WHO
WORK IN THIS FIELD ARE COMPETENT?
     A     WELL, I'M NOT SURE IT REALLY ENSURES ANYTHING.  WHAT
IT DOES, IT GIVES AN INDICATION THAT A PERSON MEETS A MINIMUM
LEVEL OF COMPETENCE THROUGH TESTING, PARTICULARLY A WRITTEN TEST.
     Q     IT IS A METHOD TO WEED OUT PEOPLE WHO MIGHT NOT BE
COMPETENT FROM PEOPLE WHO ARE COMPETENT?  IS THAT ACCURATE?
     MR. GOLDBERG:  VAGUE AS TO "WEED OUT."
     THE COURT:  OVERRULED.
     THE WITNESS:  IT IS A -- WELL, THE FACT THAT IT IS
VOLUNTARY, I'M NOT SURE IT WOULD WEED SOMEBODY OUT, BECAUSE IF
SOMEBODY FEELS THEY ARE NOT GOING TO MEET THE STANDARDS, THEY MAY
CHOOSE NOT TO APPLY FOR IT OR THEY MAY CHOOSE NOT TO APPLY FOR IT
JUST BECAUSE THEY DON'T BELIEVE IN IT OR FOR A VARIETY REASONS.
           I THINK IT IS JUST AN OPPORTUNITY FOR AN INDIVIDUAL
THAT WANTS TO SHOW THAT THEY MEET THE MINIMUM STANDARDS TO TAKE
THE TESTS AND APPLY AND DEMONSTRATE THAT.
     Q     BY MR. BLASIER:  NOW, THERE IS NO GOVERNMENTAL BODY
THAT REGULATES CRIME LABS, IS THERE?
     A     NO, THERE IS NOT.
     Q     THERE IS NO GOVERNMENTAL BODY THAT REGULATES
CRIMINALISTS?
     A     NO, EXCEPT FOR ONE IN ONE AREA.  THERE IS SOME
REGULATION WHEN IT COMES TO BLOOD ALCOHOL ANALYSIS.
     Q     NOW, YOU ARE FAMILIAR WITH BLOOD BANKS THAT DRAW
PEOPLE'S BLOOD TO DO ROUTINE BLOOD TESTING?
     A     GENERALLY, YES.
     Q     AND YOU ARE AWARE THAT THEY ARE HEAVILY REGULATED BY
THE GOVERNMENT?
     A     I KNOW THAT THERE ARE REGULATIONS, YES.
     Q     AND THERE ARE REGULATIONS ABOUT PROFICIENCY TESTING
OF PEOPLE WHO WORK IN THOSE LABS TO MAKE SURE THEY DON'T MAKE
MISTAKES?
     MR. GOLDBERG:  NOT RELEVANT, NO PERSONAL KNOWLEDGE, NO
FOUNDATION.
     THE COURT:  SUSTAINED.
     Q     BY MR. BLASIER:  NOW, THERE IS NO SUCH GOVERNMENTAL
REGULATION, QUALITY CONTROL, FOR INSTANCE, IN CRIME LABS, IS
THERE?
     A     NO, THERE IS NOT.
     Q     AND THERE IS NO REQUIRED QUALIFICATIONS SET FORTH BY
THE GOVERNMENT FOR PEOPLE TO BE A CRIMINALIST?
     A     NO, THERE ISN'T.  THAT IS WHY THE ASSOCIATIONS
ENTERED THE AREA.
     Q     NOW, THE ASSOCIATIONS ENTERED THE AREA BECAUSE THERE
WAS A NEED FOR SUCH PROGRAMS, WOULD YOU AGREE WITH THAT?
     A     YES.
     Q     AND THERE IS A NEED FOR THAT TYPE OF PROGRAM TO
ENSURE THE QUALITY OF CRIMINALISTICS WORK THAT IS DONE BY
CRIMINALISTS, CORRECT?
     A     WELL, WE ARE GOING BACK TO THE WORD "ENSURE."  I'M
NOT SURE THAT JUST BY OFFERING A PROGRAM LIKE THIS THAT IT WILL
ENSURE THAT THIS WILL OCCUR; PARTICULARLY THE FACT THAT IT IS
VOLUNTARY.
     Q     WELL, THAT IS THE IDEA, THOUGH, ISN'T IT?
     A     THAT'S CORRECT.
           THE IDEA IS FOR THE PEOPLE THAT ARE COMPETENT TO
DEMONSTRATE THAT THEY ARE.
     Q     NOW, HOW MANY DIFFERENT INFORMAL INVOLUNTARY -- I'M
SORRY -- VOLUNTARY CERTIFICATION PROGRAMS ARE THERE?
     A     WELL, RIGHT NOW THERE IS ACTUALLY ONLY ONE AND THAT
WOULD BE THE ONE THAT IS SPONSORED BY THE AMERICAN BOARD OF
CRIMINALISTICS.
           THE PROGRAM THAT THE CALIFORNIA ASSOCIATION OF
CRIMINALISTICS OR THE CAC PUT INTO PLACE WAS IN ESSENCE FOLDED
INTO OR MELDED INTO THE AMERICAN BOARD OF CRIMINALISTICS PROGRAM.

WE DIDN'T WANT COMPETING SYSTEMS OUT THERE.
     Q     NOW, HAS DENNIS FUNG APPLIED FOR CERTIFICATION?
     A     I DON'T KNOW.
     Q     HAS ANDREA MAZZOLA APPLIED FOR ANY FORM OF
CERTIFICATION?
     A     I DON'T KNOW.
     Q     ARE THE PEOPLE THAT WORK IN YOUR DIVISION ENCOURAGED
TO APPLY FOR CERTIFICATION?
     A     IT IS -- YES.  WE MAKE SURE THAT THEY KNOW THAT THEY
-- IT IS SOMETHING THAT THEY CAN DO AND ARE WELCOME TO DO IF THEY
LIKE.
     Q     DO YOU MAKE ANY EFFORT TO TRACK THE PEOPLE THAT WORK
FOR YOU IN TERMS OF WHETHER THEY HAVE APPLIED FOR CERTIFICATION
AND BEEN CERTIFIED?
     MR. GOLDBERG:  NOT RELEVANT.
     THE COURT:  SUSTAINED.  THIS GOES BEYOND THE SCOPE OF THE
DIRECT.
     Q     BY MR. BLASIER:  NOW, YOU TALKED ABOUT THE DENVER --
I'M SORRY, THE NEW HAVEN COURSE WAS TAUGHT BY, AMONG OTHER
PEOPLE, HENRY LEE?
     A     ONE OF COURSES AT NEW HAVEN, YES.
     Q     AND HENRY LEE, WOULD YOU AGREE, IS ONE OF THE WORLD'S
FOREMOST FORENSIC SCIENTISTS?
     A     HE IS VERY WELL-KNOWN AND QUALIFIED, YES.
     Q     AND HE IS THE DIRECTOR OF THE CONNECTICUT STATE
POLICE CRIME LAB, CORRECT?
     A     MY UNDERSTANDING, YES.
     Q     AND HE WORKS PRIMARILY FOR PROSECUTORS?
     A     I BELIEVE HE WORKS FOR THE SYSTEM.  I SUPPOSE IN
GENERAL, YES, THEY DO TEND TO WORK FOR THE PROSECUTORS.
     Q     AND YOU ARE AWARE THAT HE IS AN EXPERT FOR THE
DEFENSE IN THIS CASE?
     A     THAT IS MY UNDERSTANDING, YES.
     Q     TELL US WHAT ASCLAD IS.
     A     ASCLAD STANDS FOR THE AMERICAN SOCIETY OF CRIME
LABORATORY DIRECTORS.
     Q     AND THIS IS AN ORGANIZATION THAT ALSO HAS OR DOES
HAVE AN ACCREDITATION PROGRAM FOR CRIME LABS, CORRECT?
     A     WELL, THEY STARTED THE -- WHAT I BELIEVE IS THE ONLY
ACCREDITATION PROGRAM FOR CRIME LABORATORIES.  THAT ORGANIZATION
NOW IS A SEPARATE BODY FROM ASCLAD CALLED ASCLAD LAB.
     Q     I'M SORRY, ASCLAD --
     A     LAB FOR LABORATORY.
     Q     AND THE FUNCTION -- ONE OF THE FUNCTIONS OF THAT
ORGANIZATION IS TO GO EXAMINE THE CRIME LAB, MAKE
RECOMMENDATIONS, SEE WHETHER THEY MEET MINIMUM STANDARDS IN ORDER
TO PERFORM SERVICES AS A CRIME LAB, CORRECT?
     A     THAT'S CORRECT.
     Q     AND HOW LONG HAS THAT PROGRAM BEEN IN EFFECT?
     A     I BELIEVE IT HAS BEEN ABOUT SEVEN, EIGHT YEARS, NOT
QUITE SURE.
     Q     DID YOU HAVE -- PARTICIPATE IN ANY WAY IN SETTING UP
THAT PROGRAM?
     A     NO, NOT AT ALL.
     Q     ARE YOU AWARE OF THE REQUIREMENTS FOR ACCREDITATION?
     A     I HAVE READ THE HANDOUT THEY HAVE, YES.
     Q     IS IT YOUR UNDERSTANDING THAT THE REQUIREMENTS FOR
ACCREDITATION ARE BASICALLY STANDARDS, MINIMUM STANDARDS THAT A
LAB SHOULD MEET IN ORDER TO QUALIFY FOR ACCREDITATION?
     A     YES, THAT'S TRUE.
     Q     AND THOSE STANDARDS ARE SUPPOSED TO BE MINIMUM
STANDARDS THAT WOULD BE USED BY A CRIME LAB AND CRIMINALISTS THAT
WORK FOR A CRIME LAB IN DOING THEIR WORK?
     A     IT IS A GOAL TO ATTAIN THOSE, YES.
     Q     AND YOU ARE FAMILIAR WITH THE PARTICULAR GUIDELINES
THAT ASCLAD HAS SET FORTH IN ORDER FOR A LAB TO BE ACCREDITED?
     A     I HAVE READ THEM.  I HAVEN'T -- DON'T HAVE THEM
MEMORIZED.
     Q     DO YOU THINK THEY ARE GOOD GUIDELINES?
     MR. GOLDBERG:  WELL, IT IS VAGUE AS TO "GOOD."
     THE COURT:  OVERRULED.
     THE WITNESS:  AS A RULE, YES.
     Q     BY MR. BLASIER:  AND DO YOU THINK THAT THE GUIDELINES
THAT ARE SET OUT BY ASCLAD ARE DESIRABLE FOR A CRIME LAB TO
FOLLOW?
     A     WITHIN THE CRITERIA THEY HAVE.  IN OTHER WORDS,
DELINEATING WHICH ARE ESSENTIAL.
           LET'S SEE.  ESSENTIAL, NECESSARY -- I FORGET WHAT THE
THREE TERMS ARE, BUT IT ALLOWS YOU TO MEET CERTAIN PORTIONS OF
EACH OF THOSE AND ONLY ALL OF THE ESSENTIAL ONES.
     Q     NOW, I BELIEVE YOU INDICATED ON YOUR DIRECT TESTIMONY
THAT YOU HAVE NOT -- OR LAPD HAS NOT APPLIED FOR ACCREDITATION
FOR LACK OF FUNDING?
     A     THAT'S THE MAJOR REASON, YES.
     Q     AND IT IS YOUR UNDERSTANDING THAT THE FUNDING
REQUIRED IS WHAT?
     A     I DON'T KNOW THE EXACT NUMBER.  I'VE BEEN TOLD THAT
THE POSSIBILITY OF THE COST FOR OUR LABORATORY OF OUR SIZE COULD
RUN ANYWHERE FROM TEN TO $30,000.
     Q     HAVE YOU -- HAS YOUR LAB EVER APPLIED FOR
ACCREDITATION?
     A     WELL, WE CAN'T APPLY UNTIL THE CITY AUTHORIZES THE
EXPENDITURE OF THE MONEY AND WE HAVE REQUESTED THAT MONEY TO BE
MADE AVAILABLE TO US.
     Q     IS IT FAIR TO SAY THAT YOU HAVE BEEN ONE OF THE
MOVERS TO TRY AND GET ACCREDITATION FOR YOUR LAB?
     A     UMM, NOT TO THIS POINT, NO, BECAUSE THAT -- THE
ACCREDITATION, IT WAS MORE ON A MANAGERIAL LEVEL, AND UP UNTIL
JUST FOUR MONTHS AGO I WAS NOT AT THAT LEVEL; I WAS AT A
SUPERVISORY LEVEL.
           AND THOUGH I FEEL THAT IT IS SOMETHING THAT WE SHOULD
OBTAIN, IT WAS OUR MANAGERS AT THE TIME THAT WERE PUSHING FOR IT.
     Q     ARE THEY STILL PUSHING FOR IT?
     A     YES.  AT THIS POINT WE ARE.
     Q     IT IS CONSIDERED TO BE SOMETHING THAT IS IMPORTANT TO
YOUR LAB?
     A     YES.
     Q     NOW, IS IT YOUR OPINION THAT YOUR CURRENT PRACTICES,
MANY OF WHICH YOU HAVE DESCRIBED HERE TODAY, MEET THE MINIMUM
STANDARDS OF ASCLAD?
     MR. GOLDBERG:  NOT RELEVANT, YOUR HONOR. BEYOND THE SCOPE.
     THE COURT:  SUSTAINED.
     Q     BY MR. BLASIER:  DO YOU HAVE A QUALITY MANUAL AT SID?
     A     WE CURRENTLY HAVE ONE THAT IS BEING DEVELOPED.  WE DO
NOT HAVE ONE THAT IS COMPLETE.
     Q     WHAT IS THAT CALLED?
     A     THE MANUAL ITSELF?
     Q     YES.
     A     WELL, IT IS BEING COMPILED BY OUR QUALITY CONTROL
QUALITY ASSURANCE MANAGER.  I'M SURE AT SOME POINT IT WILL BE
NAMED LIKE QUALITY CONTROL MANUAL OR SOMETHING.
           I DON'T BELIEVE IT HAS A NAME AT THE MOMENT.

      Q     IS THAT THE FIELD MANUAL THAT THERE HAS BEEN
TESTIMONY ABOUT?
     A     NO, IT IS NOT.
     Q     FIELD MANUAL IS SOME DIFFERENT DOCUMENT?
     A     THAT'S CORRECT.
     Q     WHAT IS THAT?
     A     THE FIELD MANUAL IS A GUIDELINE, GENERAL PROTOCOL AND
PROCEDURES MANUAL THAT WAS BEING COMPILED BY THE TRACE ANALYSIS
FIELD UNIT SUPERVISOR AS GUIDELINES ON HOW WE SHOULD OPERATE IN
THE FIELD.
     Q     HOW LONG HAS THAT BEEN UNDER DEVELOPMENT?
     A     I BELIEVE IT WAS -- IT WAS PROBABLY STARTED ABOUT
THREE TO FOUR YEARS AGO, BUT ACTUAL WORK ON THE MANUAL STOPPED
WHEN THAT PARTICULAR SUPERVISOR RESIGNED AND MOVED TO ANOTHER
LABORATORY.
     Q     NOW, IS THERE ANY OTHER MANUAL THAT YOU HAVE IN SID
THAT YOUR CRIMINALISTS ARE REQUIRED TO FOLLOW?
     MR. GOLDBERG:  NOT RELEVANT, BEYOND THE SCOPE.
     THE COURT:  OVERRULED.
     THE WITNESS:  WELL, MOST OF THE UNITS HAVE PROTOCOL AND
PROCEDURE MANUALS WITHIN THE UNIT.
     Q     BY MR. BLASIER:  IS THERE A PROTOCOL AND PROCEDURE
MANUAL FOR THE FIELD UNIT?
     A     NOT AT THIS POINT.  THAT IS THE ONE THAT WE JUST
REFERENCED THAT IS UNDER DEVELOPMENT.
     Q     DO THE MATERIALS IN THE FIELD MANUAL, IN YOUR
OPINION, SET FORTH STANDARDS THAT SHOULD BE  FOLLOWED BY THE
CRIMINALISTS THAT WORK FOR SID?
     A     AT THIS POINT IT HAS BEEN A WHILE SINCE I HAVE
REVIEWED THE WHOLE THING.  I DO KNOW THAT THERE IS SOME
INFORMATION IN THERE THAT IS OUTDATED THAT NEEDS TO BE UPDATED.
           IN GENERAL THE INFORMATION IS GOOD, BUT THAT IS ONE
REASON WHY IT HAS NOT BEEN PRESENTED TO THE LAB, BECAUSE IT HAS
NOT HAD A CHANCE TO BE UPDATED AND MANAGERIALLY REVIEWED.
     Q     NOW, I WANT TO ASK YOU SOME QUESTIONS ABOUT THE
REQUIRED TRAINING FOR CRIMINALISTS AT SID.
           I THINK YOU INDICATED THE MINIMUM EDUCATIONAL
REQUIREMENTS ARE A BACHELOR OF SCIENCE IN SOME SORT OF SCIENCE?
     A     IN A SCIENCE, THAT'S CORRECT.
     Q     AND IS THERE ANY ADDITIONAL TRAINING, OTHER THAN THE
MINI ACADEMY THAT WE HAVE BEEN TALKING ABOUT, THAT CRIMINALISTS
ARE REQUIRED TO TAKE IN ORDER TO WORK FOR SID?
     A     ARE YOU TALKING ABOUT ONCE THEY ARE ON THE JOB OR
PRIOR TO BEING HIRED?
     Q     WELL, LET'S TALK ABOUT PRIOR FIRST.
     A     PRIOR TO BEING HIRED THE ONLY REQUIREMENT IS THAT
THEY HAVE A BACHELOR'S DEGREE IN A SCIENCE.
     Q     AND AFTER THEY ARE HIRED IS THERE ANY REQUIRED
PROGRAM THAT THEY MUST ATTEND?
     A     WELL, THERE IS NO REQUIRED OR FORMALLY REQUIRED
PROGRAM EXCEPT FOR WHAT WE HAVE DESCRIBED AS  THE INFORMAL SID
ACADEMY.
     Q     AND THEY ARE NOT REQUIRED TO ATTEND ANY COURSES
OUTSIDE OF SID; IS THAT CORRECT?
     A     NO, THERE IS NO REQUIREMENT FOR THE PEOPLE TO ATTEND
THEM.  WE DO -- THERE ARE COURSES AVAILABLE AND THERE ARE CERTAIN
ONES THAT WE DO TRY AND GET -- YOU KNOW, WE GET THEM TO FILL OUT
APPLICATIONS AND SUBMIT THEM TO THE AGENCY THAT IS OFFERING THIS
TRAINING, AND IF THEY ARE ACCEPTED, YOU KNOW, THEN WE GIVE THEM
TIME AND HOPEFULLY RESOURCES IN ORDER TO ATTEND.
     Q     NOW, THE MINI ACADEMY, HOW OFTEN IS THAT HELD?
     A     WELL, THE SID ACADEMY, AS IT HAS BEEN CALLED, IS KIND
OF AN INFORMAL STRUCTURE OF A VARIETY OF DIFFERENT TOPICS.
           THE GOAL IS TO HAVE ONE EVERY THURSDAY AFTERNOON, BUT
DUE TO WORK LOAD CONSIDERATIONS AND VACATIONS AND THINGS LIKE
THAT, MANY TIMES IT IS POSTPONED UNTIL THE NEXT WEEK OR THE
INSTRUCTOR THAT IS SUPPOSED TO BE DOING IT IS ON A DAY OFF OR
SOMETHING, SO WE SHOOT FOR EVERY THURSDAY AFTERNOON. IT DOESN'T
ALWAYS WORK OUT THAT WAY.
     Q     SO IT IS AN ON AGAIN-OFF AGAIN TYPE OF PROGRAM?
     A     THE PROGRAM IS NOT ON AGAIN OFF AGAIN. IT DOESN'T --
WE DO KEEP TRACK OF WHO ATTENDS WHAT WITHIN THIS PROGRAM, BUT IT
IS MANY TIMES THAT IT  COULD BE TWO OR THREE WEEKS OR MORE BEFORE
IT MEETS AGAIN.
     Q     ARE CRIMINALISTS REQUIRED TO ATTEND?
     A     CRIMINALIST 1'S ARE REQUIRED TO ATTEND AND ANY OTHER
CRIMINALIST THAT IS OFFERED TO THEM, IF THEY WANT TO.
     Q     ARE THEY REQUIRED TO KEEP ANY KIND OF MANUALS,
WRITTEN NOTES OF COURSE WORK?
     MR. GOLDBERG:  COMPOUND.
     THE COURT:  OVERRULED.
     THE WITNESS:  I DON'T KNOW ABOUT AS FAR AS REQUIRED.  IT
DEPENDS ON THE INSTRUCTOR FOR A PARTICULAR MODULE AND THE
INSTRUCTORS AS A RULE ARE MORE EXPERIENCED CRIMINALISTS WITHIN
THE LABORATORY.
           IF THERE ARE HANDOUTS THAT ARE PROVIDED TO THE
CRIMINALISTS, THEN THEY ARE ENCOURAGED TO KEEP THEM, KEEP THEM
WITHIN THEIR POSSESSION SO THAT THEY CAN REFER TO THEM AT A LATER
DATE.
     Q     BY MR. BLASIER:  IS THERE SOME KIND OF RECORD KEPT AS
TO WHO ATTENDS VARIOUS SEMINARS AND WHAT THE SUBJECT MATTER IS?
     A     ARE WE TALKING ABOUT SEMINARS OUTSIDE OF THE DIVISION
OR THE ACADEMY?
     Q     THE ACADEMY IN THE LUNCHROOM AREA THERE?
     A     MY UNDERSTANDING IS THAT THEY DO KEEP TRACK OF WHO
ATTENDS THEM.
     Q     DO THEY KEEP TRACK OF WHAT COURSES HAVE BEEN GIVEN
FOR A PARTICULAR SESSION?
     A     YES.
     Q     IS THERE SOME KIND OF A COMPILATION OF HANDOUT
MATERIAL THAT HAS BEEN PASSED OUT AS PART OF THE COURSE WORK?
     A     I DON'T BELIEVE SO, NO.
     Q     ARE THEY GIVEN ANY KIND OF EXAMINATIONS?
     A     I DON'T BELIEVE THERE HAS BEEN ANY WRITTEN
EXAMINATIONS.  I DO KNOW THAT IN SOME OF THE INSTRUCTORS THEY
WORK INTO A SEGMENT WHERE THE PERSON IS -- IF IT IS -- TO GIVE
YOU AN EXAMPLE, A DEMONSTRATION ON CASTING SHOEPRINTS, THEY WILL
HAVE EVERYBODY IN THE CLASS CAST A SHOEPRINT BUT AS FAR AS FORMAL
EXAMINATIONS, NO.
     Q     SO THERE ISN'T -- I ASSUME THERE ARE NO GRADES GIVEN
OUT IN TERMS OF HOW WELL PEOPLE DO OR DON'T DO?
     A     THAT'S CORRECT.
     Q     IS THERE ANY KIND OF DISCIPLINARY PROCEDURE THAT YOU
INVOKE IF SOMEONE DOESN'T ATTEND THESE?
     A     NO.  I -- IF SOMEBODY DOES FAIL TO ATTEND, WE HAVE A
SUPERVISOR FIND OUT WHY IT IS AND IF THERE WAS NO PARTICULARLY
GOOD EXCUSE -- MANY TIMES PEOPLE ARE DOING CASE WORK OR THEY ARE
GOING TO COURT OR SOMETHING SO THEY MISS OUT ON ONE, BUT IF THEY
JUST FAIL TO ATTEND, THEN THAT IS NOTED AND WHEN THAT SUBJECT
COMES AROUND AGAIN THEY ARE TOLD TO ATTEND THAT ONE.
     Q     IS THERE INSTRUCTION EVER PROVIDED BY OUTSIDE
EXPERTS?
     A     WE HAVE OCCASIONALLY BROUGHT IN SOMEBODY, BUT IT HAS
BEEN MORE IN THE AREA OF GENERAL POLICE TOPICS, AND THE ACADEMY
INCLUDES NOT ONLY FORENSICS, BUT THINGS SUCH AS RADIO PROCEDURES
AND A VARIETY OF THINGS LIKE THAT WHEN YOU ARE DEALING WITH A
DEPARTMENTAL AGENCY LIKE WE ARE, AND IN THOSE INSTANCES WE BRING
SOMEBODY IN FROM THE DEPARTMENT TO DO THAT.
     Q     HOW OFTEN DOES THAT HAPPEN?
     MR. GOLDBERG:  THIS IS NOT RELEVANT, YOUR HONOR.
     THE COURT:  SUSTAINED.
     Q     BY MR. BLASIER:  NOW, YOU INDICATED ON DIRECT THAT
YOU OFFER A TRAINING PROGRAM TO DETECTIVES IN TERMS OF HOW TO
COLLECT EVIDENCE?
     A     WELL, THE DEPARTMENT HAS A NUMBER OF VERY FORMAL
COURSES, AMONG WHICH ARE DETECTIVE -- HOMICIDE DETECTIVE SCHOOL,
SEXUAL ASSAULT DETECTIVE SCHOOL AND DETECTIVE SUPERVISOR SCHOOL,
AND THEY ALWAYS GIVE SID OR THE CRIME LAB A PORTION OF THAT SO
THAT WE CAN TEACH THE DETECTIVES ABOUT WHAT THEIR FORENSICS IS
ABOUT.
     Q     AND ARE HOMICIDE DETECTIVES REGULARLY TAUGHT HOW TO
COLLECT BLOOD STAINS?
     A     WELL, THE ONES THAT ATTEND THE COURSES THAT I TEACH
ARE, YES.
     Q     THEY ARE PROVIDED KITS TO COLLECT BLOOD STAINS, ARE
THEY NOT?
     A     IF THEY REQUEST THEM, YES.
     Q     SO THEY HAVE ACCESS TO SWATCHES?
     A     YES.
     Q     AND THEY HAVE ACCESS TO COIN ENVELOPES AND PLASTIC
ENVELOPES?
     A     YES.
     Q     AND THEY HAVE ACCESS TO TWEEZERS AND OTHER TOOLS FOR
MAKING SWATCHES FOR BLOOD STAINS?
     A     WELL, IF YOU MEAN ACCESS ON ALL OF THESE ITEMS, WE
HAVE THEM WITHIN OUR LABORATORY AND IF THEY RUN LOW OR THEY LOSE
THEM OR THEY NEED A REPLACEMENT, THEY CALL US UP AND WE SUPPLY
THEM TO THEM.
     Q     THIS IS ALSO THAT THEY MIGHT HAVE AVAILABLE TO THEM
WHEREVER THEY HAPPEN TO BE WORKING OUT OF?
     MR. GOLDBERG:  THAT CALLS FOR SPECULATION.
     THE COURT:  OVERRULED.
     MR. GOLDBERG:  NO FOUNDATION, PERSONAL KNOWLEDGE.
     THE COURT:  OVERRULED.
     THE WITNESS:  WELL, WE SUPPLY THEM, LIKE I MENTIONED.  IT
IS BASICALLY JUST A FILE BOX WITH THE TOOLS AND IMPLEMENTS THEY
NEED TO COLLECT THESE THINGS, AND IF THEY WERE TO RUN OUT,
PARTICULARLY, SAY, THE CLOTH SWATCHES OR IF THEY LOSE THEIR
TWEEZERS OR IF THEY LOSE THEIR SCISSORS, THEY CALL US  UP AND ASK
US FOR NEW ONES.
     Q     BY MR. BLASIER:  NOW, DID I UNDERSTAND YOU TO SAY
THAT NINETY PERCENT OF HOMICIDES IT IS DETECTIVES THAT PROCESS
THE SCENE RATHER THAN A CRIMINALIST?
     A     THESE ARE VERY ROUGH NUMBERS.  MY GUESS IS THAT WE
PROBABLY RESPOND TO SOMEWHERE BETWEEN 1- AND 20 PERCENT OF THEM,
YES.
     Q     AND WHOSE DECISION IS IT WHETHER A CRIMINALIST IS
GOING TO RESPOND OR THE POLICE ARE GOING TO HANDLE THE SCENE
THEMSELVES?
     A     IT IS THE DETECTIVE THAT IS ASSIGNED THAT CASE.
     Q     DO YOU KNOW WHAT THE CRITERIA IS FOR THAT DECISION?
     A     I DON'T THINK THERE IS ANY DEFINED CRITERIA FOR IT.
IT IS KIND OF UP TO THE DETECTIVE.
           IF THEY FEEL THAT THERE IS EVIDENCE THERE THAT THEY
WANT ASSISTANCE IN COLLECTING, THEN THEY CALL THE CRIME LAB.
     Q     NOW, WITHIN SID AT THE TIME OF THIS CASE ON JUNE 13TH
YOUR POSITION WAS WHAT?
     A     I WAS -- MY POSITION WAS AS A SUPERVISING CRIMINALIST
AND THE UNITS THAT I SUPERVISED WAS SEROLOGY, OUR TRACE UNIT, THE
FIELD UNIT, THE FORENSIC PHOTOGRAPHER AND OUR CHEMICAL PROCESSING
UNIT.

      Q     WERE YOU THE SUPERVISOR FOR DENNIS FUNG AND ANDREA
MAZZOLA DURING THE TIME THEY PROCESSED THE CRIME SCENE IN THIS
CASE?
     A     NOT CORRECTLY, NO.  THEY BOTH WORKED IN DIFFERENT
UNITS.  I SUPPOSE INDIRECTLY IN THAT FIELD SERVICES AT THAT
POINT, AT LEAST DURING THE DAYTIME, WERE PART OF MY
RESPONSIBILITY, BUT NOT DIRECTLY, NO.
     Q     WHO WAS THEIR DIRECT SUPERVISOR?
     A     WELL, IN THE CASE DENNIS FUNG, HIS SUPERVISOR IS
DORENE MUSIC AT THE FIREARMS UNIT AND FOR ANDREA MAZZOLA HER
SUPERVISOR IS BERNIE SANCHEZ IN TOXICOLOGY.
     Q     BUT WHEN THEY GET CALLED OUT TO A SCENE, DO THEY
STILL REPORT TO THE SAME SUPERVISORS OR IS IT ONE PERSON WHO IS
KNOWLEDGEABLE ABOUT CRIME SCENE INVESTIGATIONS THAT THEY REPORT
TO AS TO THAT ASPECT OF THEIR JOB?
     A     WELL, AS A RULE THEY HAVE SOME AUTONOMY OUT THERE.
IF THEY NEEDED SOME ASSISTANCE, NORMALLY AT THAT POINT THEY ARE
ADVISED TO CALL ONE OF THE ASSISTANT DIRECTORS OR THE DIRECTOR OF
THE LABORATORY.
     Q     AND IS IT PAIR TO SAY IT IS PRETTY MUCH UP TO THEM
WHETHER THEY CALL FOR ADDITIONAL ASSISTANCE OR NOT?
     A     AS TO WHETHER OR NOT THEY SAY THEY NEED ADDITIONAL
ASSISTANCE, YES.

      Q     SO THERE IS NO ONE THAT IS DIRECTLY OVERSEEING THIS
TO CHECK WITH THEM TO SEE IF THEY NEED HELP; IT IS PRETTY MUCH
JUST IN RESPONSE TO A REQUEST BY THEM?
     A     AS A RULE, YES.  MANY TIMES THE FIELD CALLS COME IN
IN THE MIDDLE OF THE NIGHT AND AS A SUPERVISOR I MAY NOT EVEN
KNOW IT OCCURRED UNTIL THE NEXT DAY AFTER THE PERSON HAS GONE,
DONE THEIR WORK AND GOTTEN BACK TO THE LABORATORY.
     Q     NOW, STEVE JOHNSON, WHO IS HE?
     A     HE IS ANOTHER ASSISTANT DIRECTOR OF THE LABORATORY.
     Q     AND HE WAS PRESENT AT THE CRIME SCENES ON JUNE 13TH,
WAS HE NOT?
     A     YES, HE WAS.
     Q     WERE YOU PRESENT AT THOSE SCENES?
     A     NO, I WAS NOT.
     Q     WHEN STEVE JOHNSON WAS PRESENT WHAT WAS HIS FUNCTION?
     MR. GOLDBERG:  CALLS FOR SPECULATION.  NO PERSONAL
KNOWLEDGE, BEYOND THE SCOPE.
     Q     BY MR. BLASIER:  IF YOU KNOW?
     THE COURT:  OVERRULED.
     Q     BY MR. BLASIER:  IF YOU KNOW?
     A     HE WAS RESPONDING ASSISTANT DIRECTOR ALONG WITH THE
CAPTAIN OF OUR DIVISION.  BOTH OF THEM WERE OUT THERE TO SEE HOW
THING WERE GOING TO DO A QUICK OVERVIEW OF THE SCENE AND PROVIDE
ASSISTANCE IF  NECESSARY.
           IF NOT, TO RETURN BACK TO THE LABORATORY.
     Q     NOW, YOU INDICATED THAT THE CAPTAIN OF YOUR DIVISION,
THE PERSON THAT IS OVER THE LAB DIRECTOR, IS A POLICE CAPTAIN,
CORRECT?
     A     THAT'S CORRECT.
     Q     DO THE PEOPLE THAT WORK FOR SID CARRY BADGES?
     A     WE ARE ISSUED SCIENTIFIC INVESTIGATION DIVISION
BADGES, YES.
     Q     AND BUT THE CRIMINALISTS ARE CONSIDERED CIVILIAN
EMPLOYEES OF THE POLICE DEPARTMENT?
     A     YES.
     Q     WHAT WAS MICHELE KESTLER'S POSITION AS OF JUNE 13TH?
     MR. GOLDBERG:  NOT RELEVANT, BEYOND THE SCOPE.
     THE COURT:  OVERRULED.
     THE WITNESS:  ON JUNE 13TH SHE WAS ONE OF THE ASSISTANT
DIRECTORS OF THE LABORATORY.  AT THAT TIME WE DID NOT HAVE A
DIRECTOR.  THAT SPOT WAS EMPTY.
           SHE AND MR. JOHNSON SHARED THE RESPONSIBILITY FOR
ADMINISTRATION OF THE LABORATORY.
     Q     BY MR. BLASIER:  AND SHE IS NOW THE DIRECTOR OF THE
LAB?
     A     THAT'S CORRECT.
     Q     SHE IS MARRIED TO A ROBBERY/HOMICIDE DETECTIVE, IS
SHE NOT?
     A     YES, SHE IS.
     Q     DOES SHE WORK FAIRLY CLOSELY WITH DETECTIVES IN THE
POLICE DEPARTMENT, TO YOUR KNOWLEDGE?
     MR. GOLDBERG:  IRRELEVANT.
     THE COURT:  OVERRULED.
     THE WITNESS:  WELL, TO SOME EXTENT WE ALL DO.
           I DON'T THINK SHE DOES ANY MORE THAN THE REST OF US,
OTHER THAN THE FACT SHE IS MARRIED TO ONE.
     Q     BY MR. BLASIER:  DO YOU KNOW WHETHER SHE SOCIALIZES
WITH DETECTIVES IN ROBBERY/HOMICIDE?
     THE COURT:  WE ARE GETTING BEYOND THE SCOPE OF THE DIRECT
HERE, COUNSEL.
     Q     BY MR. BLASIER:  NOW, YOU INDICATED ON DIRECT THAT
YOU WERE IN CHARGE OF MANAGING ITEMS IN THIS CASE.
           DO YOU REMEMBER THAT TESTIMONY?
     A     I BELIEVE SO, YES.
     Q     WHAT DID YOU MEAN BY THAT?
     A     WELL, ONE OF THE ROLES THAT I'VE HAD IS IN
COORDINATING AN AWFUL LOT OF THE ACTIVITIES, WHEN IT COMES IN,
TRACKING WHAT HAPPENS IN ANALYSIS IN RELATION TO THIS CASE.
           EVERY TIME THAT A REQUEST FOR ANALYSIS HAVE GONE
THROUGH ME, REQUESTS TO HAVE THE EVIDENCE SUBMITTED OUTSIDE HAVE
GONE THROUGH ME IF I HAVE BEEN AVAILABLE.

            THE TIMES WHERE WE HAVE SET UP VIEWINGS FOR THE
DEFENSE, I HAVE BEEN MAINLY INVOLVED IN THAT, MAKING SURE THE
ITEMS WERE AVAILABLE AND THAT THE AREAS WERE AVAILABLE AND THAT
TYPE OF THING.  JUST GENERAL COORDINATION.
     Q     AND HAVE YOU HAD THAT FUNCTION SINCE THE BEGINNING OF
THE CASE?
     A     PRETTY MUCH, YES.
     Q     HAS IT BEEN YOUR RESPONSIBILITY TO TRACK ALL OF THE
ITEMS OF EVIDENCE THAT HAVE BEEN COLLECTED FROM THE 13TH ONWARD?
     A     WHAT DO YOU MEAN BY "TRACK"?
     Q     KEEP TRACK OF WHERE THEY ARE?
     A     NO, IT IS NOT.
     Q     HAS IT BEEN YOUR JOB TO DETERMINE WHAT ITEMS OF
EVIDENCE ARE TO BE ANALYZED AND WHAT AREN'T TO BE ANALYZED?
     A     WELL, LIKE I MENTIONED, MOST OF THE REQUESTS GO
THROUGH ME.  AS A -- A CONTACT POINT FOR THE DETECTIVES OR THE
D.A.'S OFFICE, THEY WOULD CALL ME UP TO PUT IN THEIR REQUEST
SPECIFYING WHAT TYPE OF ANALYSIS WAS REQUESTED TO BE DONE.
           I WOULD THEN PREPARE A REQUEST AND FORWARD IT ON TO
THE APPROPRIATE PERSON.
     Q     NOW, HAVE YOU BEEN MONITORING, SINCE JUNE 13TH, THE
MEDIA COVERAGE ABOUT THIS CASE?
     A     OFF AND ON, YES.

      Q     AND HAVE YOU BEEN FOLLOWING THE COURT PROCEEDINGS?
     A     OFF AND ON.
     Q     WHEN YOU SAY "OFF AND ON," WHAT DO YOU MEAN?
     A     WELL, I WOULD WATCH SOME AND THERE GOT TO BE A POINT
AWHILE BACK WHERE I FIGURED IT WAS PROBABLY BEST NOT TO.  IT WAS
CONSUMING TOO MUCH OF MY TIME DURING THE DAY.  I TENDED TO BE
PAYING MORE ATTENTION TO IT ONCE PEOPLE WITHIN OUR LABORATORY
WERE INVOLVED.
     Q     AT WHAT POINT DID YOU STOP WATCHING TELEVISION?
     A     WELL, DURING THE DAYTIME THAT WOULD BE DURING THE
DETECTIVE'S TESTIMONY.
     Q     NOW, DID YOU WATCH THE TESTIMONY OF DENNIS FUNG?
     A     AS MUCH AS I DID.  I STILL AM WORKING, SO I WOULD BE
IN AND OUT OF MY OFFICE AND I WOULD MISS SEGMENTS OF IT.
     Q     DID YOU TRY TO WATCH THE TESTIMONY OF ANDREA MAZZOLA?
     A     SAME THING, AS MUCH AS POSSIBLE.
     Q     AND THAT WAS WITH A TELEVISION IN YOUR OFFICE?
     A     YES.
     Q     DID YOU DISCUSS THEIR TESTIMONIES WITH THEM IN THE
EVENINGS AFTER THEY TESTIFIED?
     A     UMM --
     Q     LET ME START WITH DENNIS FUNG.
     A     FROM THE TIME THAT MR. FUNG STARTED TESTIFYING UNTIL
HE WAS DONE I ONLY -- I LEFT MESSAGES ON HIS ANSWERING MACHINE
TWICE, DIDN'T TALK DIRECTLY WITH HIM, AND I MET WITH HIM ONE
EVENING AND WE WENT OUT TO DINNER AND THAT WAS IT.
     Q     DURING ANDREA MAZZOLA'S TESTIMONY DID YOU HAVE ANY
CONVERSATIONS OR MEET WITH HER WHEN SHE WASN'T TESTIFYING?
     A     I BELIEVE THERE WAS ONE MEETING THAT WE HAD; IT WAS
MYSELF, MICHELE KESTLER AND COLLIN YAMAUCHI, AND MISS MAZZOLA IN
MISS KESTLER'S OFFICE.
     Q     WHEN WAS THAT?
     A     OH, I DON'T KNOW THE EXACT DATE.  IT WAS SOMETIME I
BELIEVE EARLY ON IN HER TESTIMONY.
     Q     AND WHAT WAS THE SUBJECT MATTER OF THAT MEETING?
     A     WE WERE JUST TALKING GENERALLY ABOUT STYLE OF
TESTIMONY.  HOW TO FEEL COMFORTABLE ON THE STAND.  POSING
QUESTIONS TO HER AS FAR AS POTENTIAL THINGS THAT SHE MIGHT BE
ASKED ABOUT.
     Q     SO YOU TALKED ABOUT SPECIFIC ISSUES THAT MIGHT COME
UP AS PART OF HER TESTIMONY?
     A     WE DIDN'T SO MUCH TALK ABOUT IT, JUST SUGGEST AREAS
THAT SHE MAY WANT TO BE AWARE OF AS FAR AS POTENTIAL QUESTIONS
THAT MAY BE APPLIED TO HER.

      Q     WHAT SORTS OF AREAS DID YOU SUGGEST TO HER MIGHT
COME UP?
     A     UMM --
     MR. GOLDBERG:  THIS IS BEYOND THE SCOPE, NOT RELEVANT.
     THE COURT:  SUSTAINED.
     Q     BY MR. BLASIER:  DID MICHELE KESTLER PARTICIPATE IN
THAT MEETING?
     MR. GOLDBERG:  IRRELEVANT, BEYOND THE SCOPE.
     THE COURT:  SUSTAINED.

           (DISCUSSION HELD OFF THE RECORD
            BETWEEN DEFENSE COUNSEL.)

     Q     BY MR. BLASIER:  WAS THERE ANY SPECIFIC DISCUSSION OF
ITEM 17, MR. SIMPSON'S BLOOD VIAL, AT THAT MEETING?
     MR. GOLDBERG:  OBJECTION, IRRELEVANT, BEYOND THE SCOPE.
     THE COURT:  OVERRULED.
     THE WITNESS:  OH, I DON'T REMEMBER THAT ITEM -- IF THAT
ITEM SPECIFICALLY CAME UP.  IT MIGHT HAVE.
     Q     BY MR. BLASIER:  WERE YOU AWARE THAT THAT WAS A
SIGNIFICANT ISSUE OR HAD BEEN RAISED AS A SIGNIFICANT ISSUE BY
THE DEFENSE BY THIS TIME?
     A     YES.
     Q     AND WAS THE PURPOSE OF THAT MEETING TO DISCUSS THAT
ISSUE, AMONG OTHERS?
     A     NO, IT WASN'T.
     Q     YOU HAVE NO RECOLLECTION OF WHETHER YOU DISCUSSED
THAT OR NOT WITH HER?
     A     WELL I DON'T REMEMBER IF WE DISCUSSED THAT SPECIFIC
ITEM.  LIKE I SAID, WE WERE TALKING GENERALLY ABOUT STYLE AND
JUST HOW TO TESTIFY, FEELING COMFORTABLE ABOUT TESTIFYING.
     Q     WHEN YOU SAY "HOW TO TESTIFY," WHAT DO YOU MEAN?
     A     JUST --
     MR. GOLDBERG:  THIS IS STILL BEYOND THE SCOPE AND
IRRELEVANT.
     THE COURT:  MILDLY.  ONE ANSWER.
           GO AHEAD AND ANSWER THE QUESTION, THEN WE ARE GOING
TO QUIT FOR THE DAY.
     THE WITNESS:  THE CONCEPT OF TRYING TO BE COMFORTABLE, TO
MAKE EYE CONTACT, THAT TYPE OF THING, TO DEAL WITH THE ATTORNEYS
AND THE JURY, THE WHOLE PROCESS OF BEING IN A COURTROOM AND
TESTIFYING.
     THE COURT:  ALL RIGHT.  ALL RIGHT.
           LADIES AND GENTLEMEN, WE ARE GOING TO TAKE OUR RECESS
FOR THE AFTERNOON.
           PLEASE REMEMBER ALL OF MY ADMONITIONS TO YOU.
           DON'T DISCUSS THE CASE AMONGST YOURSELVES, DON'T FORM
ANY OPINIONS ABOUT THE CASE, DO NOT CONDUCT ANY DELIBERATIONS
UNTIL THE MATTER HAS BEEN SUBMITTED TO YOU, DO NOT ALLOW ANYBODY
TO  COMMUNICATE WITH YOU WITH REGARD TO THE CASE.
           WE WILL SEE YOU BACK HERE TOMORROW MORNING AT NINE
O'CLOCK.
           WE WILL STAND IN RECESS FOR FIVE MINUTES AND THEN I
WOULD LIKE TO SEE COUNSEL AGAIN.
           THANK YOU.
           ALL RIGHT.  MR. MATHESON, TOMORROW MORNING AT 8:45.

           (RECESS.)

             (AT 4:30 P.M. THE JURY WAS
            EXCUSED AND THE FOLLOWING
            PROCEEDINGS WERE HELD IN
            OPEN COURT:)

     THE COURT:  ALL RIGHT.  BACK ON THE RECORD.
           AS OF TOMORROW MORNING AT 8:30, I NEED THE POLICE
REPORTS REGARDING THE RECOVERY OF ITEM --
     MR. SCHECK:  118.
     MS. CLARK:  WE HAVE IT NOW.
     THE COURT:  LET ME SEE THEM SO I CAN READ IT TONIGHT AND
YOU WILL PRODUCE THAT ITEM IN COURT TOMORROW MORNING?
     MS. MARTINEZ:  YOUR HONOR, I ALREADY TURNED IT OVER TO --
     MS. CLARK:  NO, NO, THE ITEM ITSELF.
     MS. MARTINEZ:  YES.
     THE COURT:  THE ITEM ITSELF WILL BE HERE TOMORROW?
     MS. CLARK:  YES, YOUR HONOR.
     THE COURT:  OKAY.
           ANY EXHIBITS THAT WE NEED TO EXCHANGE, LOOK AT, TO
PASS ON?  IF YOU RECALL THE COURT'S ORDER, NO NEW EXHIBITS UNTIL
I HAVE SEEN IT THE NIGHT BEFORE, ET CETERA, ET CETERA.
     MR. GOLDBERG:  WELL, IT APPEARS THAT THERE ARE A NUMBER OF
THINGS IN THE EXHIBITS THAT I JUST GOT THIS AFTERNOON THAT ARE
OBJECTED TO.
           I DON'T WANT TO GO THROUGH IT IN DETAIL BECAUSE MR.
MATHESON IS HERE AND THE COURT HAS SAID THAT I CAN'T DISCUSS IT
WITH HIM.
     THE COURT:  ALL RIGHT.
           MR. MATHESON, DO YOU NEED -- DO YOU NEED MR. MATHESON
ANY MORE THIS AFTERNOON?
     MR. GOLDBERG:  I DON'T THINK SO.
     THE COURT:  ALL RIGHT.  MR. MATHESON, WHY DON'T YOU EXCUSE
US.
     THE WITNESS:  THANK YOU.

           (MR. MATHESON EXITS THE COURTROOM.)

     THE COURT:  ALL RIGHT.
     MR. GOLDBERG:  AS TO THE COURT'S ORDER THAT WE NOT SHOW OR
DISCUSS THE MATERIALS TO THE WITNESS, MR. MATHESON, I WOULD ALSO
LIKE THE COURT TO PERHAPS REVISIT THAT IN LIGHT OF WHAT THE
MATERIALS ARE, BECAUSE MANY OF THEM DO NOT AT ALL APPEAR TO BE
IMPEACHMENT, THEY ARE NOT IMPEACHMENT, THEY ARE JUST THINGS THAT
THE DEFENSE WANTS TO ASK HIM ABOUT.
           AND SOME OF THEM IT IS VERY DIFFICULT TO FIGURE OUT
EXACTLY WHAT THEY MEAN.
     THE COURT:  WELL, LET'S TAKE IT FROM THE TOP. WHAT ARE
THEY?
     MR. GOLDBERG:  THEY DON'T HAVE NUMBERS ON THEM, SO I WILL
TAKE THEM IN THAT -- THE ORDER WHICH I WAS HANDED THEM.
           ONE OF THEM APPEARS TO BE A BLOCK TYPE DIAGRAM
SHOWING THE ELECTROPHORESIS PLATES ON ITEMS 84-A AND B.  I CAN'T
TELL EXACTLY WHAT THIS IS SUPPOSED TO BE, WHETHER -- THIS IS THE
FULL SIZE OR THIS IS A BOARD?
     MR. BLASIER:  NO, THOSE ARE WHAT ARE CALLED POWER POINT
SLIDES THAT ARE PROJECTED OVER THE COMPUTER SYSTEM.  THERE ARE
SIX OF THOSE PER PAGE. ACTUALLY EACH ONE TAKES UP THE WHOLE
SCREEN.
           THOSE ARE SCANNED PICTURES THAT WE HAVE BEEN PROVIDED
BY THE PROSECUTION FOR THE ELECTROPHORETOGRAMS FOR THE
FINGERNAILS AND SHOW OTHER ITEMS.
     MR. GOLDBERG:  THERE IS ALSO A BLOCKED DIAGRAM AS WELL, AND
I CAN'T REALLY READ THOSE ELECTROPHORETOGRAMS.
           THEY MAY BE, AS COUNSEL SAYS I'M SURE THEY ARE
PICTURES OF WHAT WE ALREADY PROVIDED, BUT I CAN'T SEE THAT BASED
ON WHAT I HAVE BEEN HANDED.
     THE COURT:  ALL RIGHT.
           DO WE HAVE THOSE AVAILABLE -- DOES MR. HARRIS HAVE
THOSE AVAILABLE ON HIS COMPUTER?
     MR. BLASIER:  YES.
     MR. HARRIS:  I DID.

           (BRIEF PAUSE.)


            (DISCUSSION HELD OFF THE RECORD
            BETWEEN DEFENSE COUNSEL.)

     THE COURT:  MR. HARRIS, HOW LONG OR FAR AWAY ARE THEY?
     MR. HARRIS:  THEY ARE RIGHT HERE.  I JUST DISCONNECTED THE
SYSTEM.
     THE COURT:  OKAY.  HOW LONG WILL IT TAKE YOU TO BOOT IT
BACK UP.
     MR. HARRIS:  ABOUT TEN MINUTES.
     THE COURT:  I'M SORRY?
     MR. HARRIS:  ABOUT TEN MINUTES TO GET THEM ON.
     MR. BLASIER:  I HAVE THEM ON MY COMPUTER.  MY SCREEN IS A
LITTLE SMALL, BUT I WOULD BE HAPPY TO BRING IT BACK IN CHAMBERS
AND SHOW EVERYBODY.
     THE COURT:  MR. GOLDBERG.
     MR. GOLDBERG:  WELL, PERHAPS WE NEED TO DO THAT BECAUSE I
WOULD LIKE TO VERIFY THAT, BUT IN ADDITION, THE DIAGRAM ALSO
CONTAINS WHAT APPEAR TO BE SOME BLOCK DIAGRAMS.
           THIS WOULD REQUIRE MR. MATHESON TO TAKE A CLOSE LOOK
AT IT IN ORDER TO COMPARE IT TO THE ACTUAL ELECTROPHORETOGRAM TO
SEE WHETHER THE BLOCKED DIAGRAM IS MORE OR LESS ACCURATE, SO I
DON'T SEE ANY REASON THAT THAT WOULD HAVE TO BE DONE ON THE
WITNESS STAND.
           AND I REALLY CAN'T ADDRESS THIS IN FURTHER DETAIL
MYSELF BECAUSE I DON'T HAVE THE LEVEL OF EXPERTISE THAT IS
NECESSARY TO FIGURE OUT EXACTLY  WHAT IS GOING ON HERE IN THE
BLOCK DIAGRAMS.
     THE COURT:  ALL RIGHT.
           WHAT ELSE IS THERE BESIDES THE DIAGRAMS AND THE
PHOTOGRAPHS OF THE ELECTROPHORETIC PLATES?
     MR. GOLDBERG:  ON THAT PARTICULAR ONE?
     THE COURT:  YES.  WHAT ELSE?
     MR. GOLDBERG:  THAT IS A FULL DESCRIPTION OF IT AND THE
ISSUES THAT PERTAIN TO THAT ITEM, AS I UNDERSTAND IT, BUT
UNDERSTAND THAT I HAVE NEVER ASKED MR. MATHESON ABOUT THE BLOCK
DIAGRAM.
     THE COURT:  IS THAT ALL THERE IS?
     MR. GOLDBERG:  (NO AUDIBLE RESPONSE.)
     THE COURT:  PHOTOGRAPHS AND THESE DIAGRAMS?
     MR. GOLDBERG:  IT LOOKS LIKE THERE ARE TWO PHOTOGRAPHS AT
THE TOP AND FOUR DIAGRAMS UNDERNEATH IT.
     THE COURT:  ALL RIGHT.
           YOU SEEM TO HAVE SEVERAL SHEETS.  IS THAT WHAT THEY
ARE?
     MR. GOLDBERG:  NO, THEY ARE A VARIETY OF DIFFERENT THINGS.
     THE COURT:  ALL RIGHT.  WHAT ELSE?
     MR. BLASIER:  LET ME HELP.  THOSE ARE ALL PART OF THE SAME
GROUP, THE SAME PRESENTATION.
     MR. GOLDBERG:  WELL, I'M DEALING WITH THE EAP ONES FIRST
AND THEN SOME OF THEM THEM DEAL WITH A DIFFERENT PHASE OF BLOCK
DIAGRAMS.

            IT SAYS, "WHEN BA DEGRADES BANDS DISAPPEAR FROM TOP
DOWN."
           MY UNDERSTANDING THAT THAT IS NOT TRUE BASED UPON MY
OWN READING OF THE SCIENTIFIC LITERATURE AND MY DISCUSSIONS WITH
MR. MATHESON.
           AND THEN THERE ARE SOME CHARTS HERE THAT SAYS THAT A
DEGRADED BA ONLY HAS ONE B BAND AS OPPOSED TO TWO B BANDS, AND
I'M ONLY AWARE OF A FOOTNOTE IN ONE ARTICLE THAT SOMEWHAT
SUPPORTS THIS VIEW.
           BUT THIS IS THE KIND OF THING AGAIN WHERE IN ORDER TO
BE ABLE TO INTELLIGENTLY ANSWER THIS ISSUE MR. MATHESON MIGHT
WANT TO GO BACK AND LOOK AT THAT ONE FOOTNOTE AND ALSO SOME OF
THE OTHER ARTICLES AND ALSO DETERMINE WHETHER OR NOT THESE BLOCK
DIAGRAMS ARE CORRECT.
     MR. BLASIER:  YOUR HONOR --
     MR. GOLDBERG:  I'M NOT REALLY QUALIFIED TO DO THAT.
     MR. BLASIER:  I WILL SUGGEST -- I WILL GIVE MR. MATHESON
EVERY ARTICLE THAT I INTEND TO REFER TO.  I WILL GIVE THAT TO YOU
NOW SO THAT HE CAN REFER TO THEM FOR TOMORROW.
     THE COURT:  ALL RIGHT.
     MR. GOLDBERG:  WHAT HE IS SUGGESTING MAY NOT BE
SCIENTIFICALLY CORRECT, AND I WOULD OBJECT TO THE DEFENSE PUTTING
SOMETHING UP ON THE SCREEN FOR WHICH THERE WILL NEVER BE MY
FOUNDATION LAID, NOT THROUGH  MR. MATHESON OR ANY DEFENSE EXPERT.
     THE COURT:  WELL, COUNSEL IS OFFERING TO GIVE THIS TO YOU
AT THIS POINT.
           WHAT IS THE IDENTITY OF THE ARTICLES, MR. BLASIER?
     MR. BLASIER:  THESE ARE ALL ARTICLES ON EAP SYSTEMS.  DO
YOU WANT ME TO IDENTIFY THEM ON THE RECORD?
     THE COURT:  JUST SO WE KNOW WHAT YOU ARE GIVING.
     MR. BLASIER:  ONE IS DR. GEORGE SENSABAUGH. THE TITLE IS
"THE UTILIZATION OF POLYMORPHIC ENZYMES IN FORENSIC SCIENCE."
           THERE IS A SECOND ARTICLE BY DR. SENSABAUGH.
"ISOENZYMES IN FORENSIC SCIENCE."
           THERE IS AN ARTICLE BY BRIAN WRAXALL AND ELIZABETH
EMES, E-M-E-S, "ERYTHROCITE ACID PHOSPHATASE IN BLOOD STAINS."
           THERE IS A TECHNICAL NOTE BY D.V. YESHION,
Y-E-S-H-I-O-N, TITLED "THERMAL DEGRADATION OF ERYTHROCYTE ACID
PHOSPHATASE ISOENZYMES IN CASE SAMPLE."
     THE COURT:  I READ THAT.
     MR. BLASIER:  AND FINALLY, I BELIEVE, IS AN ARTICLE BY JILL
LUFFMAN AND HARRY HARRIS TITLED "A COMPARISON OF SOME PROPERTIES
OF HUMAN RED CELL ACID PHOSPHATASE IN DIFFERENT PHENOTYPES."

      THE COURT:  ALL RIGHT.  ALL RIGHT.
           MR. BLASIER, WHAT ELSE BESIDES THE PHOTOGRAPHS AND
THE BLOCK CHARTS?  WHAT ELSE -- WHAT OTHER EXHIBITS ARE YOU GOING
TO BE USING?
     MR. BLASIER:  I HAD ONE OTHER SERIES OF CHARTS, OR I'M
SORRY, SERIES OF SLIDES TO DEMONSTRATE HOW MANY SWATCHES YOU CAN
MAKE FROM A MILLILITER OF BLOOD AND THE THIRD ONE IS --
     MR. GOLDBERG:  WELL, CAN I CONTINUE GOING THROUGH THESE,
YOUR HONOR?
     THE COURT:  I'M JUST ASKING, SINCE MR. BLASIER KNOWS WHAT
THEY ARE AND YOU DON'T APPEAR TO KNOW PRECISELY WHAT THEY ARE
BECAUSE OF WHAT YOU HAVE, I THOUGHT IT WOULD BE MORE PRECISE FOR
ME TO ASK MR. BLASIER WHAT THEY ARE.

           (DISCUSSION HELD OFF THE RECORD
            BETWEEN THE DEPUTY DISTRICT
            ATTORNEYS.)

     MR. BLASIER:  AND THE THIRD ONE IS SOME SLIDES THAT I WISH
TO GO THROUGH WITH MR. MATHESON ON SECURITY AT SID.  IT HAS A
COUPLE OF PICTURES THAT I THINK HAVE ALREADY BEEN INTRODUCED.

           (DISCUSSION HELD OFF THE RECORD
            BETWEEN DEFENSE COUNSEL.)

      MR. BLASIER:  I ALSO MAY BE USING SOME OF THE BOARDS THAT
WERE USED IN THE OPENING STATEMENT.  I PROBABLY WILL BE, BUT THEY
HAVE SEEN THOSE CERTAINLY.
     THE COURT:  ALL RIGHT.
     MR. GOLDBERG:  OKAY.  YOUR.
            HONOR, DID THE COURT WANT ME TO CONTINUE WITH THE
EAP -- WELL, I MEAN, BASICALLY THE OVERRIDING OBJECTION TO ALL OF
THE EAP TYPE SLIDES IS THAT IN ORDER TO SHOW THESE HE IS GOING TO
HAVE TO HAVE SOME FOUNDATION FOR IT, AND IF NO ONE HAS TALKED TO
MR. MATHESON ABOUT THIS TO DETERMINE WHETHER HE IS GOING TO
SUPPORT IT AND THERE IS NO DEFENSE WITNESS OBVIOUSLY THAT IS
GOING TO TESTIFY IN THE PEOPLE'S CASE TO SUPPORT IT, THEN THESE
SHOULD NEVER COME IN.
           AND MANY OF THEM DO CONTAIN STATEMENTS THAT APPEAR TO
BE ARGUMENTATIVE, THAT APPEAR TO BE INCONSISTENT WITH MY
UNDERSTANDING OF THE SCIENTIFIC LITERATURE AND ALSO WHAT MR.
MATHESON'S VIEWS ARE.
     THE COURT:  SO YOU ARE OBJECTING TO SOME OF THE TITLES?
     MR. GOLDBERG:  WELL, THAT IS A GENERIC OBJECTION THAT
RELATES TO ALL OF THE EAP MATERIALS.
           AND THEN I HAD SPECIFIC OBJECTIONS ON THE FIRST ONE
WHICH I DESCRIBED AS BEING THE ONE WITH THE ELECTROPHORETOGRAM
PHOTOGRAPHS.  I HAVE AN OBJECTION TO THE SECOND DIAGRAM THAT
SAYS, "WHEN A BA DEGRADES BANDS DISAPPEAR FROM THE TOP DOWN" AS
NOT REFLECTING MY UNDERSTANDING OF THE WAY IT WORKS AND AS BEING
ARGUMENTATIVE.
           THE SECOND DIAGRAM IS SIMILAR TO THAT. IT SEEMS TO BE
AN ILLUSTRATION OF THE PRINCIPLE -- EXCUSE ME -- THE THIRD
DIAGRAM APPEARS TO BE AN ILLUSTRATION OF THE PRINCIPLE IN THE
SECOND DIAGRAM.
     THE COURT:  ALL RIGHT.
           LET'S DO THIS, COUNSEL.  I HAVE A MEETING AT 5:30 I
HAVE TO ATTEND.
           I'M GOING TO ORDER ALL COUNSEL WHO ARE INVOLVED IN
THIS, MR. GOLDBERG AND MR. BLASIER I'M, GOING TO ORDER YOU BOTH
TO BE HERE AT EIGHT O'CLOCK TOMORROW MORNING WITH MR. HARRIS AND
LET'S FIRE THESE THINGS UP, LET'S LOOK AT THEM IN REAL SIZE AND
SEE WHAT IS THERE.
           ALL RIGHT.
           AND MR. -- I ASSUME, MR. GOLDBERG, YOU HAVE SOME
EXPERTS ASSISTING THE PROSECUTION, OTHER THAN MR. MATHESON, THAT
YOU CAN CONSULT WITH WITH REGARDS TO THESE ITEMS OVER THE EVENING
HOUR.
     MR. GOLDBERG:  WELL, WE DO, BUT UNFORTUNATELY SOME OF THAT
-- SOME OF THEM MAY NOT BE IN TOWN, SO IF WE WERE TO CONSULT WITH
ONE OF OUR EXPERTS WHO IS A SEROLOGIST, THAT WOULD BE DIFFICULT
TO DO BETWEEN NOW AND 8:00 A.M. THE COURT SAID?
     THE COURT:  8:00 A.M.
           ALL RIGHT.
           THEN MR. HARRIS, WE WILL FIRE THOSE UP AND WELL TAKE
A LOOK AT THEM AND WE WILL GO THROUGH  THEM ONE AT A TIME.
     MR. HARRIS:  YES, YOUR HONOR.
     MR. GOLDBERG:  IS THE PROSECUTION STILL UNDER ORDERS NOT TO
DISCUSS THESE OR SHOW THESE WITH MR. MATHESON?
     MR. BLASIER:  YOUR HONOR, IN LIGHT OF THE
FACT -- IN FACT, I WANT THEM TO GO OVER THEM WITH MR. MATHESON.
     THE COURT:  ALL RIGHT.  ALL RIGHT.

           (DISCUSSION HELD OFF THE RECORD
            BETWEEN DEFENSE COUNSEL.)

     THE COURT:  SEE YOU TOMORROW MORNING AT EIGHT O'CLOCK.
     MR. SCHECK:  YOUR HONOR, ONE BRIEF --
     THE COURT:  THAT DOES NOT INCLUDE THE COURT REPORTER.
     MR. SCHECK:  MAKE YOUR DAY LESS FUN TOMORROW I HOPE.
     THE COURT:  DON'T FORGET AT FOUR O'CLOCK WE HAVE THREE
MOTIONS.
     MR. SCHECK:  YES.  I SUPPLIED A SHORTENED LETTER MEMORANDUM
IN RESPONSE TO THE PROSECUTION'S PARODY RESPONSE AND I HAVE BEEN
DEALING MR. HARMON, THAT -- WITH RESPECT TO HIS MOTION, ALL THAT
WE HAVE ARE TWO DECLARATIONS, ONE OF WHICH I HAVE FINALLY BEEN
ABLE TO TRACK DOWN FROM DR. REITERS, WHO HAD  BEEN ILL, THAT I
HAVE GIVEN TO THEM, AND I WILL FILE WITH THE COURT.
           IT IS ONE PAGE, FIVE PARAGRAPHS, AND THE OTHER ONE
I'M SEEKING, I KNOW WHAT SUBSTANCE IS -- MR. SLAFKA WHO I THINK
IS THE -- WE BELIEVE MUST BE THE INDIVIDUAL WHO SPOKE WITH AGENT
MARKS AT THIS MEETING IN SEATTLE WHO IS NAMED IN MR. HARMON'S
RESPONSE.
           MY SUGGESTION TO HIM, AND HE IS FREE TO TAKE IT IF HE
WANTS, IS THAT THERE ARE CONFLICTS, FACTUAL CONFLICTS, AND I
DON'T PARTICULARLY SEE THE NEED, UNTIL HE GETS AN OPPORTUNITY TO
TALK WITH THESE INDIVIDUALS AND GET DECLARATIONS FROM THEM, IF
THEY WANT TO SETTLE THE RECORD TO DEAL WITH IT TOMORROW.
           I KNOW WE HAVE ANOTHER DAY WHEN MR. DEAN UELMEN IS
COMING DOWN, THE 9TH.
           IN LIGHT OF THE COURT'S RULING THIS MORNING, WITH
RESPECT TO CONSUMPTION, YOU KNOW, I HAVE CONCERNS ABOUT THE
ISSUE, BUT I DON'T THINK IT IS OF PRESSING NEED, GIVEN THE WAY WE
ARE GOING TO HANDLE THAT, SO THAT IS JUST I THINK A FRIENDLY
INVITATION TO HIM TO SETTLE THE RECORD ON PAPER AND TO TRY TO
KEEP IT TIGHT.  HE IS FREE TO ACCEPT IT OR NOT.
     THE COURT:  MR. HARMON.
     MR. HARMON:  WELL, YOU KNOW, JUDGE, I THINK THIS IS REAL
CURIOUS.  REMEMBER WHEN THEY FILED THIS THERE WAS A BIG RUSH TO
GET THIS SOLVED.  REMEMBER  THAT?
           I THINK THEY FILED IT ON A THURSDAY AND MR. NEUFELD
GOT UP AND SAID THIS IS REALLY URGENT, WE NEED TO GET THIS
RESOLVED, SO I SPENT THE WEEKEND FILING THE RESPONSE.  WE FILED
ON IT THAT TUESDAY MORNING AND THEN IT WAS SET AND THEN OTHER
THINGS CAME UP.
     THE COURT:  SO THE SHORT ANSWER IS YOU DECLINE THE
INVITATION AND YOU ARE WILLING TO GO FORWARD TOMORROW?
     MR. HARMON:  WELL, I JUST FIND IT FASCINATING THAT THESE
DECLARATIONS JUST SUDDENLY SHOW UP ON THE EVE OF THE HEARING AND
THEN ONE OF THEM IS LOST SOMEWHERE IN THE STRATOSPHERE AND THE
HEARING HAS BEEN SET FOR TOMORROW AFTERNOON.
           YOU KNOW, I WANT TO GET THIS BLACK CLOUD OFF OF MY
HEAD THAT THEY HAVE PLANTED OVER THERE, BUT THIS IS VERY TYPICAL,
AS I REFERRED TO IN MY RESPONSE, TO THE WAY THEY OPERATE, SO --
     THE COURT:  ALL RIGHT.  I TAKE THAT AS A NO.
     MR. SCHECK:  I GUESS HE IS SAYING NO.
     THE COURT:  I TAKE THAT AS A NO.
     MR. SCHECK:  WE TRIED.
     THE COURT:  ALL RIGHT.
     MR. SCHECK:  I TRIED.
     THE COURT:  WE WILL TAKE A BRIEF RECESS AT FOUR O'CLOCK
TOMORROW AND THEN WE WILL LAUNCH INTO HALF HOUR'S WORTH OF
MOTIONS.
           ALL RIGHT.  SEE YOU ALL TOMORROW.
           AND MR. BLASIER AND MR. GOLDBERG, EIGHT O'CLOCK
TOMORROW.

           (AT 4:50 P.M. AN ADJOURNMENT
            WAS TAKEN UNTIL, WEDNESDAY,
            MAY 3, 1995, 8:00 A.M.)

        SUPERIOR COURT OF THE STATE OF CALIFORNIA
          FOR THE COUNTY OF LOS ANGELES
DEPARTMENT NO. 103           HON. LANCE A. ITO, JUDGE



THE PEOPLE OF THE STATE OF CALIFORNIA, )
                                      )
                           PLAINTIFF, )
                                      )
                                      )
            VS.                       ) NO. BA097211
                                      )
ORENTHAL JAMES SIMPSON,                )
                                      )
                                      )
                           DEFENDANT. )


       REPORTER'S TRANSCRIPT OF PROCEEDINGS

               TUESDAY, MAY 2, 1995

                   VOLUME 137

       PAGES 25236 THROUGH 25501, INCLUSIVE






APPEARANCES:          (SEE PAGE 2)












                   JANET M. MOXHAM, CSR #4588
                   CHRISTINE M. OLSON, CSR #2378

  OFFICIAL REPORTERS

 APPEARANCES:


FOR THE PEOPLE:     GIL GARCETTI, DISTRICT ATTORNEY
                   BY:  MARCIA R. CLARK, WILLIAM W.
                   HODGMAN, CHRISTOPHER A. DARDEN,
                   CHERI A. LEWIS, ROCKNE P. HARMON,
                   GEORGE W. CLARKE, SCOTT M. GORDON
                   LYDIA C. BODIN, HANK M. GOLDBERG,
                   ALAN YOCHELSON AND DARRELL S.
                   MAVIS, BRIAN R. KELBERG, AND
                   KENNETH E. LYNCH, DEPUTIES
                   18-000 CRIMINAL COURTS BUILDING
                   210 WEST TEMPLE STREET
                   LOS ANGELES, CALIFORNIA 90012

FOR THE DEFENDANT:  ROBERT L. SHAPIRO, ESQUIRE
                   SARA L. CAPLAN, ESQUIRE
                   2121 AVENUE OF THE STARS
                   19TH FLOOR
                   LOS ANGELES, CALIFORNIA 90067

                   JOHNNIE L. COCHRAN, JR., ESQUIRE
                   BY:  CARL E. DOUGLAS, ESQUIRE
                   SHAWN SNIDER CHAPMAN, ESQUIRE
                   4929 WILSHIRE BOULEVARD
                   SUITE 1010
                   LOS ANGELES, CALIFORNIA 90010

                   GERALD F. UELMEN, ESQUIRE
                   ROBERT KARDASHIAN, ESQUIRE
                   ALAN DERSHOWITZ, ESQUIRE
                   F. LEE BAILEY, ESQUIRE
                   BARRY SCHECK, ESQUIRE
                   PETER NEUFELD, ESQUIRE
                   ROBERT D. BLASIER, ESQUIRE
                   WILLIAM C. THOMPSON, ESQUIRE


                     I N D E X



INDEX FOR VOLUME 137              PAGES 25236 - 25501

-----------------------------------------------------


DAY              DATE           SESSION   PAGE   VOL.


TUESDAY      MAY 2, 1995          A.M.   25236   137
                                 P.M.   25358   137

 LEGEND:

MS. CLARK - MC
MR. HODGMAN - H
MR. DARDEN  D
MS. LEWIS - L
MS. KAHN - K
MR. GOLDBERG - GB
MR. GORDON - G
MR. SHAPIRO - S
MR. COCHRAN - C
MR. DOUGLAS - CD
MR. BAILEY - B
MS. CHAPMAN - SC
MS. BLASIER- BB
MR. UELMEN - U
MR. SCHECK - BS
MR. NEUFELD - N
-----------------------------------------------------

         CHRONOLOGICAL INDEX OF WITNESSES


PEOPLE'S
WITNESSES       DIRECT  CROSS  REDIRECT  RECROSS  VOL.


MATHESON, GREGORY                                 137   (RESUMED)

 24241GB
 (RESUMED)    25365GB 25454BB

-----------------------------------------------------

         ALPHABETICAL INDEX OF WITNESSES


WITNESSES       DIRECT  CROSS  REDIRECT  RECROSS  VOL.


MATHESON, GREGORY                                 137   (RESUMED)

 24241GB
 (RESUMED)    25365GB 25454BB


                       EXHIBITS


PEOPLE'S                      FOR              IN EXHIBIT

      IDENTIFICATION      EVIDENCE
                         PAGE   VOL.       PAGE  VOL.


210 - POSTERBOARD        25237   137
     ENTITLED "DEFENSE TESTING" WITH 8 PHOTOGRAPHS
     DEPICTING THE OUTSIDE PACKAGE AND ITEMS 47, 50
     AND 78

211-A - PHOTOGRAPH OF    25242   137
     ITEM NO. 60

211-B - PHOTOGRAPH OF    25242   137
     ITEM NO. 59

211-C - PHOTOGRAPH OF    25242   137
     ITEM NO. 17

212 - 1-PAGE DOCUMENT    25246   137
     ENTITLED "SEROLOGY ITEM DESCRIPTION NOTES"

213 - 1-PAGE DOCUMENT    25264   137
     ENTITLED "ROCKINGHAM INSIDE AND ADJACENT"

214-A - PHOTOGRAPH OF    25268   137
     A SOCK WITH A RULER AND VARIOUS WRITING

214-B - PHOTOGRAPH OF    25268   137
     A SOCK WITH A RULER AND VARIOUS WRITING

215 - POSTERBOARD        25304   137

216 - 2-PAGE DOCUMENT    25332   137
     ENTITLED "ANALYZED EVIDENCE REPORT" L-77
     AND L-78, DATED JUNE 28, 1994

217 - POSTERBOARD        25353   137
     ENTITLED "BLOCK DIAGRAM SHOWING EAP PHENOTYPES"
218 - 1-PAGE DOCUMENT    25378   137
     PAGE 3 OF ANLAYZED EVIDENCE REPORT DATED
     OCTOBER 18, 1994

219 - 1-PAGE DOCUMENT    25383   137
     ENTITLED "ELECTROPHORESIS WORKSHEET"

220 - POSTERBOARD        25396   137
     ENTITLED "NAIL CLIPPINGS, SCRAPINGS -
     NICOLE BROWN"

221-A - GLASS VIAL       25422   137
     WITH SUBSTANCE

                       EXHIBITS
                    (CONTINUED)


PEOPLE'S                      FOR              IN EXHIBIT

      IDENTIFICATION      EVIDENCE
                         PAGE   VOL.       PAGE  VOL.


221-B - GLASS VIAL       25422   137
     WITH SUBSTANCE

222 - 1-PAGE DOCUMENT    25440   137
     ENTITLED "SEROLOGY DESCRIPTION NOTES"

223 - PHOTOGRAPH OF      25443   137
     THE BOTTOM RIGHT SHOE OF VICTIM RONALD GOLDMAN
     WITH RED MARKINGS AND THE INITIALS "G.M."




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