President Clinton greets Monica Lewinsky

TESTIMONY IN THE PAULA JONES CASE DEPOSITION

TESTIMONY BEFORE THE GRAND JURY

ANSWERS TO 81 QUESTIONS FROM HOUSE JUDICIARY COMMITTEE

TELEVISED STATEMENTS CONCERNING THE LEWINSKY SCANDAL

 

Testimony in the Paula Jones Case Deposition (1/17/1998)

The following are those portions of President Clinton's deposition, conducted on January 17, 1998, in the Paula Jones sexual harassment lawsuit that have been made public. The entire deposition lasted about six hours.

MR. FISHER: Yes, Your Honor. What I'm trying to do is avoid having to ask the president a number of very salacious questions and to make this as discreet as possible. This definition, I think the Court will find, is taken directly from Rule 413, which I believe President Clinton signed into law, with the exception that I have narrowed subpart one to a particular section, which would be covered by Rule 413, and I have that section here to give the president so that there is no question what is intended. This will eliminate confusion, not cause it.

MR. [ROBERT] BENNETT [the president's attorney]: Your Honor, I have no objection where the appropriate predicates are made for them to ask the president, did you know X, yes or no, what happened, what did you do, what didn't you do. We are – we acknowledge that some embarrassing questions will be asked, but then we all will know what we're talking about, but I do not want my client answering questions not understanding exactly what these folks are talking about.

Now, Your Honor, I told you that the president has a meeting at four o'clock and we've already wasted twenty minutes, and Mr. Fisher has yet to ask him first factual question.

JUDGE [SUSAN WEBBER] WRIGHT: Well, I'm prepared to rule, and I will not permit this definition to be understood. Quite frankly, there's several reasons. One is that the Court heretofore has not proceeded using these definitions. We have used, we've made numerous rulings or the Court has made numerous rulings in this case without specific reference to these definitions, and so if you want to know the truth, I don't know them very well. I would find it difficult to make rulings, and Mr. Bennett has made clear that he acknowledges that embarrassing questions will be asked, and if this is in fact an effort on, on the part of Plaintiff's Counsel to avoid using sexual terms and avoid going into great detail about what might or might not have occurred, then there's no need to worry about that, you may go into the detail.

MR. BENNETT: If the predicates are met, we have no objection to the detail.

MR. FISHER: Thank you, Your Honor.

JUDGE WRIGHT: It's just going to make it very difficult for me to rule, if you want to know the truth, and I'm not sure Mr. Clinton knows all these definitions, anyway.

Q. Mr. Clinton, do you know a woman named Kathleen Willey?

A. I do.

Q. When did you meet her for the first time?

A. I believe in the presidential campaign of 1992 in Virginia.

Q. She was married to a man named Edward E. Willey Jr., before he passed away, correct?

A. That's right.

Q. And she and her husband donated money to your presidential campaign in 1992, correct?

A. That's correct.

Q. And Kathleen Willey and her husband also did some fund-raising work for your campaign, correct?

A. I believe that's right. I'm not sure, but I think they did.

Q. If she were to describe herself as a Democratic party activist, would you disagree with that characterization of her?

A. No. I believe she was actually working very closely with Gov. Wilder in Virginia in 1992 at the time I was running for president.

Q. All right, sir. On election night in November 1992, did Kathleen Willey and her husband travel to Little Rock, Arkansas?

A. I have no idea.

Q. You don't recall seeing them in Little Rock that night?

A. No. But, you know, we stayed up late and there were hundreds, thousands of people there. I don't know whether they were there or not.

Q. Do you recall that after the election you personally called Kathleen Willey and, to thank her for helping you to be elected president?

A. No, I don't remember that.

Q. After you became president, she got a job working in the White House, correct?

A. I believe she worked in the social office. I seem to remember she started as a volunteer. I'm not sure, but I think she was a volunteer.

Q. All right, sir. Do you recall that she was living in Richmond, Virginia, at that time and commuting all the way to Washington?

A. Yeah, I knew that she and Ed lived in Richmond.

Q. Do you recall approximately when she was working in the White House as a volunteer?

A. No, I don't even – I don't know how many days a week she worked and what hours she worked.

Q. Have you read any part of the deposition testimony given by Kathleen Willey in this case?

A. No, but I have seen a summary of it.

Q. Not ever?

A. Never.

Q. Did she tell you that she and her husband had some large debts to pay?

A. I don't remember that. What I remember is that she was very – she was obviously agitated, and I'd never really had a conversation with her before so I, you know, except in public, I'd see her, and she always seemed sort of shy, you know, upbeat, positive, but this day she was clearly concerned, but I don't remember going into any great detail. What I remember her saying is that her family, that there was some family financial issues she had to deal with, and she needed to earn some money to work there, and I had, I don't remember her going into any great detail about it. I don't think she stayed long enough to go into any great detail, but she was clearly upset.

Q. Do you recall, sir, that she said that one reason she was upset was that her husband was missing?

A. No, I didn't know anything about her husband being missing until I learned that, that he was dead.

Q. Do you recall how many days passed before you learned that he had passed away?

A. I don't. I don't think it was very long, but I don't remember.

Q. She took a leave of absence after her husband died, correct?

A. I don't know what she did. When I heard that he was dead and that he apparently killed himself, I called her and expressed my condolences and said that she could take whatever time she needed. It was a brief call, but I remember that call and I don't know exactly what she did, when she came back, or what the other facts are.

Q. Do you recall telling anyone in the White House that as soon as she did come back, you wanted to meet with her?

A. No, but I, I might well have said something like that, I mean, when something that traumatic happens in someone's family, I might have wanted to say something, I just had one of my speech writers' wife just had a stroke. When he came back to work, I said something to him. I might have done it, but I don't remember.

Q. So if someone in the White House testified that you told them you wanted to see Kathleen Willey as soon as she returned from her bereavement, you wouldn't find that implausible testimony?

A. It might well have happened. I just don't remember.

Q. All right. Having read a summary of her testimony, are you aware that she has testified that you kissed her in the hallway between the Oval Office and the private kitchen?

A. I am aware of that.

Q. And you're aware that she testified that you took her hand and put it on your penis?

A. I'm aware of that.

Q. All right, and you deny that testimony?

A. I emphatically deny it. It did not happen.

Q. Do you know why she would tell a story like that if it weren't true?

A. No, sir, I don't. I don't know. She'd been through a lot, and apparently the, the financial difficulties were even greater than she thought they were at the time she talked to me. Her husband killed himself, she's been through a terrible time. I have – I can't say. All I can tell you is, in the first place, when she came to see me she was clearly upset. I did to her what I have done to scores and scores of men and women who have worked for me or been my friends over the years. I embraced her, I put my arms around her, I may have even kissed her on the forehead. There was nothing sexual about it. I was trying to help her calm down and trying to reassure her. She was in difficult condition. But I have no idea why she said what she did, or whether she now believes that actually happened. She's been through a terrible, terrible time in her life, and I have nothing else to say. I don't want to speculate about it.

Q. Has she ever asked you to pay her money in return for her not disclosing this story?

A. Not to my knowledge.

Q. Do you recall at any time in that meeting with Kathleen Willey saying to her, "I wanted to do that for a long time"?

A. No, sir. Let me remind you, Kathleen Willey asked for this meeting with me. I didn't ask for the meeting with her. I didn't say anything like that.

Q. Do you recall meeting with her again in the Oval Office after she returned from her bereavement?

A. I remember that, it seems to me that she came in there once with a friend of hers who was sick, who had cancer, and we had a picture taken. I think you have a copy of that picture. She, she may have come in and said goodbye briefly and had another picture taken when she left, but that's all I remember.

Q. All right. Do you recall any conversation with her about obtaining a paying job after she returned from her absence?

A. I don't.

Q. I'm talking about the absence caused by her husband's death?

A. I understand. No, I don't. I don't know if one occurred. I don't remember one.

Q. Do you recall, though, that at some point she did receive a job that was a paid position at the White House?

A. Yes, I believe that she went to work in the counsel's office.

Q. What was the process by which she received that job?

A. I don't know the answer to that. After she came to see me, and she was, as I said, clearly quite agitated, when she walked out I said to someone, maybe it was Nancy Hernreich was there who knew her –

MR. BENNETT: Keep your voice up, Mr. President.

A. Maybe it was Nancy Hernreich who was there and who knew her, perhaps it was someone else, that we ought to see if we could do something for her, and that's all I heard about it. I don't think I was notified when she got the job at the counsel's office, and I'm not aware of what she did there exactly, but I know that she did get a job in the counsel's office, which she held for some time.

Q. Who in the White House would be responsible for receiving applications for that job and making the decision who would receive it?

A. I'm not sure. The – Bob Nash runs the appointments operation, but I'm not sure that it would have gone through him. It might have gone to the person, might have gone to someone in the administrative line, like a deputy chief of staff or someone like that. I really don't know. Perhaps we can find out for you, but I just don't know.

Q. Is Mr. Nash's title Director of Presidential Personnel?

A. I don't think so. I think his title is Director of Appointments. I honestly don't know what his direct title is, but when I deal with him, we're dealing with appointments to boards and commissions and things like that.

Q. All right.

A. Ambassadorships, Cabinet, subcabinet.

Q. Now, you appointed Kathleen Willey to travel to Copenhagen to serve on the official delegation of the United States of America at a world summit for social development, true?

A. She went as a White House appointee. I'm not sure I knew in advance of her going that she was on the delegation. I don't believe I did. But I don't have any reason to know one way or the other. I'm not sure I knew who was on that delegation.

Q. She did in fact attend that world summit in March of 1995, correct?

A. I don't know if she did, but it, it, if that's what the record reflects, then she did.

Q. And then –

A. I have no direct knowledge of that. I don't remember who went for the United States.

Q. Was she appointed to serve on the official delegation of the United States of America at a convention on biological diversity in Jakarta, Indonesia?

A. I don't have any direct knowledge of that. Since, in preparing for this deposition, I have been informed that she was, but I don't believe that I knew about it at the time she went.

Q. Do you know who made the decision to place her on that delegation?

A. I don't. She had – was this after she had left the White House?

Q. Yes, sir.

A. She had friends in the White House who may well have recommended her for it. I don't believe that I did, but I just, I don't know anything about that.

Q. Can you shed any light on the process by which she was selected to serve on the delegation?

A. No. I'm sure there's someone in the White House who put that delegation together who could do so, but I can't. I don't know.

Q. If you wanted to find out the answer to that question, who would you go ask?

A. I would ask either the, probably my deputy chief of staff, John Podesta, to find out. If it was a foreign trip, perhaps the, Mr. Nash. Katie McGinney, I don't know. But I have no idea how that particular delegation was put together.

Q. Are you aware that she was appointed to a position on the Board of Governors of the United Service Organizations Inc., also known as the USO?

A. I am now. When I was told about her, I do not remember appointing her, but that was a direct presidential appointment, so I assume at some point that I actually checked a piece of paper which had her name on it, perhaps some others, but I didn't remember it at the time until I learned it.

Q. That position on the USO Board of Governors has a three-year term, does it not?

A. I don't know. I make hundreds of those appointments and all those recommendations are put together by Mr. Nash. If I wanted to know why he was – literally in 90 percent, perhaps more, of the cases of all presidential appointments, they're sent to me on a piece of paper which says here's the appointment, here's the name of the person, and there's a brief description of the position and who has recommended the person and then accept or reject, and 90 percent of the time I just get the files and I look at the position and I check it off and go on, unless it's something that I know something about or care a great deal about. I just trust the staff to handle it, so I would have no idea why she was recommended or why she was appointed.

Q. Well, you would not check off someone's name approving the appointment if you had some reason to question the trustworthiness of the individual, would you?

A. No.

Q. And to your own knowledge, did Kathleen Willey have a reputation while working in the White House with respect to her character for truthfulness?

A. No. I only know, the only thing that, the only conversation I ever had with her that amounted to anything was this conversation which lasted about 10 minutes, maybe a little more, and I didn't doubt that she was telling the truth about what she was talking about, but I didn't know her well enough to draw a final conclusion about whether she was generally truthful or not.

Q. Was that the first conversation that you ever had with her?

A. I think it was the first – I mean I had talked to her in passing, you know. She was, as I said, she was in Virginia when I was there in the campaign, and I'd had conversations with her, but that's the first time I'd ever actually sat and talked with her, to the best of my knowledge. She was around when we did the presidential debate in Richmond. She was around that, you know, working in that, and I would talk to her, and she was always very friendly and very nice, but that conversation, I remember this conversation very vividly because she was so agitated and she seemed to be in very difficult straits.

Q. But you don't remember any earlier conversation other than just casual conversation?

A. Yeah, I'm sure I had casual conversation with her. I knew who she was and she was always there when we were there in Virginia.

Q. Let me hand you what has been marked Deposition Exhibit 5.

MR. FISHER: I'm afraid I only have one extra copy of this one, but if you'll send it back to me, you can look at that copy.

MR. BENNETT: Do you have a copy for the Judge?

MR. FISHER: No, but I'll send that one down after I ask only one or two questions. If you have an objection so that she needs to see it, I'll pass that down.

MR. BENNETT: I could make a suggestions. If you have a series of documents you're going to be questioning about, out of courtesy to the other lawyers and the Court, I would be happy to take those and reproduce them so there's enough copies for everyone.

MR. FISHER: I think there are only one or two letters for which I only have one copy.

JUDGE WRIGHT: Why don't we take him up on his offer and make a copy for the Court and one for Mr. Ruff and I'd, I don't know who else. Mr. Bristow might like to have a copy.

MR. BENNETT: Could you give me, maybe you could go on to another area or some direct questions to the president, and give me everything that you want copied, and I'll have several copies made.

JUDGE WRIGHT: Actually you can give them to Barry Ward, if you don't want Mr. Bennett to see them until you present them, and so you don't mind if Barry takes them?

MR. BENNETT: No, Your Honor, I'm just trying to expedite things.

JUDGE WRIGHT: Sure.

MR. FISHER: The things that I have only one copy of are things that were produced just in the last day or so, and with travel arrangements here and everything, I had a hard time coordinating that.

THE WITNESS: I know what this document is.

MR. BENNETT: Wait until he asks you a question.

MR. FISHER: At the next break I'll do that.

JUDGE WRIGHT: All right.

MR. BENNETT: Okay, fine. Okay. What's your question to the president?

MR. FISHER: Did you have an objection about this particular –

MR. BENNETT: No, I don't have an objection.

Q. Is this a copy of a sexual harrassment policy that you signed when you were the governor of the state of Arkansas?

A. It is. I signed it in 1987, and I'm fairly sure that I was, we were the first or one of the very first states to actually have a clearly defined sexual harassment policy.

MR. FISHER: Objection, nonresponsive beginning with the words, "I'm fairly sure."

Q. Mr. President, the criteria there under Roman numeral III were actually federal guidelines that you were adopting as the policy in the state, correct?

A. Yes.

MR. BENNETT: Well, Mr. President, read, if he's going to ask you about little pieces of that, read the document, please.

A. Roman numeral III, it says that the criteria as specified by the federal guidelines is, so assuming that, that the staff person I had do this up accurately, that's correct.

Q. And after you became president, did you ever come to believe that the federal guidelines were any different after you became president than they were at the time you signed this policy?

MR. [Bill] BRISTOW [attorney for Clinton co-defendant Danny Ferguson]: Your Honor, I'm going to object to this. Is this a question of law, is this like a, some sort of law school exam? It's supposed to be to find factual evidence or factual evidence that will lead to the discovery of other relevant factual evidence. To ask this witness, even though he is a lawyer, do you think that the federal guidelines or the federal law is the same as this state law, that's unfair. I object.

JUDGE WRIGHT: Overruled. The president has testified that he signed this, he was familiar with it, and the case concerns alleged activity when he was governor, and this is a cause of action under Section 1983 and 1985 and that is state action, and I think it is relevant what the governor knew about the state's sexual harassment policy, or it could be relevant.

MR. BRISTOW: I'm not objecting to the question about the sexual harassment policy. I understood the question to be that he wants to compare present federal law with the state law that was in Arkansas when he was governor, and I think that is an academic exercise. It's not a discovery issue.

JUDGE WRIGHT: I misunderstood the question, then.

MR. BENNETT: Your Honor, my view of this is, if Mr. Fisher wants to use his time with the president of the United States to ask these kinds of questions, I personally have no objection. But at three o'clock, I don't want to hear that we have ten major integral areas that you haven't gone into.

JUDGE WRIGHT: All right, Mr., Mr. Fisher, state the question again. I just, I misunderstood it, apparently.

MR. FISHER: The question, Your Honor, is whether he ever came to the understanding that any of these guidelines had changed.

JUDGE WRIGHT: Well, you may ask, go ahead.

A. I don't think that question every crossed my mind one way or the other. I have no knowledge of, that there has been any change in the federal law. If there has been, if there hasn't been, I have no knowledge of that.

Questions regarding Monica Lewinsky

Q. Now, do you know a woman named Monica Lewinsky?

A. I do.

Q. How do you know her?

A. She worked in the White House for a while, first as an intern, and then in, as the, in the legislative affairs office.

Q. She began – excuse me.

A. So that's how I know her.

Q. Excuse me for interrupting you, sir. Did she begin to work as an intern in the White House in the summer of 1995?

A. I don't know when she started working at the White House.

Q. Do you recall when you met her for the first time?

A. It would be sometime, I'd think, in later 1995.

Q. She began to work in the White House office of legislative affairs around December of 1995, correct?

A. I have no idea.

Q. Do you know how she obtained that job?

A. No.

Q. Did you ever talk to anyone about finding a job for Monica Lewinsky?

A. When she got the job in the legislative affairs office? No.

Q. Before she got that job.

A. No.

Q. Did you ever talk to anyone about the possibility of her obtaining a job in the White House?

A. She, she came there as an intern, and as several of them have, she applied for some job there apparently and got the job. I was not involved in her moving from being an intern to being a full-time employee. I had no involvement in that whatever.

Q. And you never talked to anyone about that?

A. No, I did not.

Q. In April of 1996 she was offered and she accepted a job as assistant to the assistant secretary for public affair at the U.S. Department of Defense; is that correct?

A. I don't know when she went over there.

Q. Is it correct that she did accept that job at some point?

A. I don's know what her specific job was. I know that she moved over to the Department of Defense.

Q. And worked at the Pentagon, correct?

A. Well, she worked for the Department of Defense. I think that's where all their officer are in Washington.

Q. Is it true that when she worked at the White House she met with you several times?

A. I don't know about several times. There was a period when the, when the Republican Congress shut the government down that the whole White House was being run by interns, and she was assigned to work back in the chief of staff's office, and we were all working there, and so I saw her on two or three occasions then, and then when she worked at the White House, I think there was one or two other times when she brought some documents to me.

Q. Well, you also saw here at a number of social functions at the White House, didn't you?

A. Could you be specific? I'm not sure. I mean when we had, when we had like big staff things for, if I had a, like in the summertime, if I had a birthday party and the whole White House staff came, then she must have been there. If we had a Christmas party and the whole White House staff was invited, she must have been there. I don't remember any specific social occasions at the White House, but people who work there when they're invited to these things normally come. It's a – they work long hours, it's hard work, and it's one of the nice things about being able to work there, so I assume she was there, but I don't have any specific recollection of any social events.

JUDGE WRIGHT: I want to interrupt because I want a break. I also wanted to ask about the luncheon break. We're not, we're not too far from 12. I personally don't care when we take it, but has Skadden lawyers arranged for lunch to be brought up to us?

MR. BENNETT: I've arranged for lunch, Your Honor. We can have it – I don't know if it's there right now. We were thinking 12:30, but whatever –

JUDGE WRIGHT: That's great. That's perfect.

MR. BENNETT: And we have a room set aside for you and your law clerk where you can eat privately, and we have a separate room for their side of the table, and our side.

JUDGE WRIGHT: All right, let's take a 10-minute break.

(Short recess)

Q. Mr. President, before the break, we were talking about Monica Lewinsky. At any time were you and Monica Lewinsky alone together in the Oval Office?

A. I don't recall, but as I said, when she worked at the legislative affairs office, they always had somebody there on the weekends. I typically worked some on the weekends. Sometimes they'd bring me things on the weekends. She – it seems to me she brought things to me once or twice on the weekends. In that case, whatever time she would be in there, drop it off, exchange a few words and go, she was there. I don't have any specific recollections of what the issues were, what was going on, but when the Congress is there, we're working all the time, and typically I would do some work on one of the days of the weekends in the afternoon.

Q. So I understand, your testimony is that it was possible, then, that you were alone with her, but you have no specific recollection of that ever happening?

A. Yes, that's correct. It's possible that she, in, while she was working there, brought something to me and that at the time she brought it to me, she was the only person there. That's possible.

Q. Did it ever happen that you and she went down the hallway from the Oval Office to the private kitchen?

MR. BENNETT: Your Honor, excuse me, Mr. President, I need some guidance from the Court at this point. I'm going to object to the innuendo. I'm afraid, as I say, that this will leak. I don't question the predicates here. I question the good faith of counsel, the innuendo in the question. Counsel is fully aware that Ms. Jane Doe 6 has filed, has an affidavit which they are in possession of saying that there is absolutely no sex of any kind in any manner, shape or form, with President Clinton, and yet listening to the innuendo in the questions –

JUDGE WRIGHT: No, just a minute, let me make my ruling. I do not know whether counsel is basing this question an any affidavit, but I will direct Mr. Bennett not to comment on other evidence that might be pertinent and could be arguably coaching the witness at this juncture. Now, I, Mr. Fisher is an officer of this court, and I have to assume that he has a good faith basis for asking the question. If in fact he has no good faith basis for asking this question, he could later be sanctioned. If you would like, I will be happy to review in camera any good faith basis he might have.

MR. BENNETT: Well, Your Honor, with all due respect, I would like to know the proffer. I'm not coaching the witness. In preparation of the witness for this deposition, the witness is fully aware of Ms. Jane Doe 6's affidavit, so I have not told him a single thing he doesn't know, but I think when he asks questions like this where he's sitting on an affidavit from the witness, he should at least have a good faith proffer.

JUDGE WRIGHT: Now, I agree with you that he needs to have a good faith basis for asking the question.

MR. BENNETT: May we ask what it is, Your Honor?

JUDGE WRIGHT: And I'm assuming that he does, and I will be willing to review this in camera if he does not want to reveal it to counsel.

MR. BENNETT: Fine.

MR. FISHER: I would welcome an opportunity to explain to the Court what our good faith basis is in an in camera hearing.

JUDGE WRIGHT: All right.

MR. FISHER: I would prefer that we not take the time to do that now, but I can tell the Court I am very confident there is substantial basis.

JUDGE WRIGHT: All right, I'm going to permit the question. He's an officer of the Court, and as you know, Mr. Bennett, this Court has ruled on prior occasions that a good faith basis can exist notwithstanding the testimony of the witness, of the deponent, and the other party.

MR. BENNETT: Yes, Your Honor, but you understand, and I'm not arguing with you what my concern is, Your Honor, I wouldn't have any trouble with that if I knew that this deposition would be kept under seal. But when he mentions names, when he knows, or at least, you know, hearsay, hearsay, hearsay about something, they check it out, they get an affidavit from the woman, they ask these questions, and the Washington Times will have her name on the front page tomorrow or the day after.

JUDGE WRIGHT: As you know, I'm extremely sympathetic with your position, however this is a discovery deposition.

MR. BENNETT: I understand. That's all right, Your Honor. I'm sorry.

JUDGE WRIGHT: Go ahead.

MR. FISHER: Thank you, Your Honor.

THE WITNESS: What was your question again, sir?

MR. FISHER: I've forgotten, Mr. President, I'm sorry.

JUDGE WRIGHT: Something about Ms. Jane Doe 6 in the hallway.

Q. Do you recall ever walking with Jane Doe 6 Lewinsky down the hallway from the Oval Office to your private kitchen there in the White House?

A. Well, let me try to describe the facts first, because you keep talking about this private kitchen. The private kitchen is staffed by two naval aides. They have total, unrestricted access to my dining room, to that hallway, to coming into the Oval Office. The people who are in the outer office of the Oval Office can also enter at any time.

I was, after I went through a presidential campaign in which the far right tried to convince the American people I had committed murder, run drugs, slept in my mother's bed with four prostitutes, and done numerous other things, I had a high level of paranoia.

There are no curtains on the Oval Office, there are no curtains on my private office, there are no curtains or blinds that can close the windows in my private dining room. The naval aides come and go at will. There is a peephole on the office that George Stephanopoulos first and then Rahm Emanuel occupied that looks back down that corridor. I have done everything I could to avoid the kind of questions you are asking me here today, so to talk about this kitchen as if it is a private kitchen, it's a little cubbyhole, and these guys keep the door open. They come and go at will. Now that's the factual background here.

Now, to go back to your question, my recollection is that, that at some point during the government shutdown, when Ms. Lewinsky was still an intern but was working the chief staff's office because all the employees had to go home, that she was back there with a pizza that she brought to me and to others. I do not believe she was there alone, however. I don't think she was. And my recollection is that on a couple of occasions after that she was there but my secretary Betty Currie was there with her. She and Betty are friends. That's my, that's my recollection. And I have no other recollection of that.

MR. FISHER: While I appreciate all of that information, for the record I'm going to object. It's nonresponsive as to the entire answer up to the point where the deponent said, "Now back to your question."

Q. At any time were you and Monica Lewinsky alone in the hallway between the Oval Office and this kitchen area?

A. I don't believe so, unless we were walking back to the back dining room with the pizzas. I just, I don't remember. I don't believe we were alone in the hallway, no.

Q. Are there doors at both ends of the hallway?

A. They are, and they're always open.

Q. At any time have you and Monica Lewinsky ever been alone together in any room in the White House?

A. I think I testified to that earlier. I think that there is a, it is – I have no specific recollection, but it seems to me that she was on duty on a couple of occasions working for the legislative affairs office and brought me some things to sign, something on the weekend. That's – I have a general memory of that.

Q. Do you remember anything that was said in any of those meetings?

A. No. You know, we just have conversation, I don't remember.

Q. How long has Betty Currie been your secretary?

A. Since I've been president.

Q. Did she also work with you in Arkansas?

A. Not when I was governor. She worked in the transition. She worked for Warren Christopher in the transition, and then she came to work for me.

Q. How is her work schedule arranged? Does she have a certain shift that she works. or do you ask her to work certain hours the following day? Please explain how her schedule is determined.

A. She works, she comes to work early in the morning and normally stays there until I leave at night. She works very long hours, and then when I come in on the weekend, or on Saturday, if I work on Saturday, she's there, and normally if I'm, if I'm working on Sunday and I'm having a schedule of meetings, either she or Nancy Hernreich will be there. One of them is always there on the weekend. Sometimes if I come over just with paperwork and work for a couple of hours, she's not there, but otherwise she's always there when I'm there.

Q. Are there any other individuals who are specifically assigned to be your secretary?

A. No, just Betty. Betty and Nancy Hernreich basically runs the outer office for me. They are my two major assistants, and of course, and there are a couple of other people who work with them, Janice Kearney who keeps my, in effect, diary now of what's going on, who's been – she's been doing that maybe a. . .

Pages 61 to 64 missing

A. I don't know.

Q. Have you ever met with Monica Lewinsky in the White House between the hours of midnight and six a.m.?

A. I certainly don't think so.

Q. Have you ever met –

A. Now, let me just say, when she was working there, during, there may have been a time when we were all – we were up working late. There are lots of, on any given night, when the Congress is in session, there are always several people around until late in the night, but I don't have any memory of that. I just can't say that there could have been a time when that occurred, I just – but I don't remember it.

Q. Certainly if it happened, nothing remarkable would have occurred?

A. No, nothing remarkable. I don't remember it.

Q. It would be extraordinary, wouldn't it, for Betty Currie to be in the White House between midnight and six a.m., wouldn't it?

A. I don't know what the facts were. I mean I don't know. She's an extraordinary woman.

Q. Does that happen all the time, sir, or rarely?

A. Well, I don't know, because normally I'm not there between midnight and six, so I wouldn't know how many times she's there. Those are questions you'd have to ask her. I just can't say.

Q. Has it ever happened that a White House record was created that showed the Monica Lewinsky was meeting with Betty Currie when in fact Monica Lewinsky was meeting with you?

MR. BENNETT: No, Your Honor, I'm going to certainly let the president answer that, but I object to the form of the question because it assumes facts not in evidence, and I again question their good faith in this line of questioning.

JUDGE WRIGHT: I overrule the objection. I will permit it. The nature of many of the responses has been he doesn't recall or he doesn't know, and so he has not outright denied it. This is discovery and I'll permit the question. Go ahead.

A. Would you repeat the question?

Q. Yes sir. Has it ever happened that a White House record was created that reflected that Betty Currie was meeting with Monica Lewinsky when in fact you were meeting with Monica Lewinsky?

A. Not to my knowledge.

Q. Are there records created of your meetings with people in the White House?

A. I believe we have a record of the people that, that see me. We have – I think there's a record of everybody that comes in and out of the White House. Of course the people who work there and have permission to be there can come in and out and move in and out of the offices, and I don't know if there are records of all those meetings or not. For example there are several of my staff people I see many times a day, and I have no idea whether there's a record of every time I see those people.

Q. All right, sir, and I appreciate that, but just to be precise I'm not asking about records of everyone coming into the White House, but I'm asking specifically about records of meetings with you.

A. The answer to that is I don't know. I mean I, Rahm Emanuel comes through that back door into the kitchen and the hallway you talked about three or four times a day, unannounced, unscheduled, sometimes at night, sometimes in the daytime. I have no idea if there's a record of every time he comes to see me. I have no idea if there's a record of every time John Podesta comes down the hall and sticks his head in and talks to me about something. I simply don't know. I don't know the answer to your question.

Q. You suspect, don't you, that there are at least some meetings that you have for which there's no written record made, correct?

A. I don't know the answer to that. They keep a pretty good record of everything I do, I think.

Q. When was the last time you spoke with Monica Lewinsky?

A. I'm trying to remember. Probably sometime before Christmas. She came by to see Betty sometime before Christmas. And she was there talking to her, and I stuck my head out, said hello to her.

Q. Stuck your head out of the Oval Office?

A. Uh-huh, Betty said she was coming by and talked to her, and I said hello to her.

Q. Was that shortly before Christmas or –

A. I'm sorry, I don't remember. Been sometime in December, I think, and I believe – that may not be the last time. I think she came to one of the, one of the Christmas parties.

Q. Did she tell you she had been served with a subpoena in this case?

A. No. I don't know if she had been.

Q. Did anyone other than your attorneys ever tell you that Monica Lewinsky had been served with a subpoena in this case?

A. I don't think so.

Q. Did you ever talk with Monica Lewinsky about the possibility that she might be asked to testify in this case?

A. Bruce Lindsey, I think Bruce Lindsey told me that she was, I think maybe that's the first person told me she was. I want to be as accurate as I can.

MR. BENNETT: Keep your voice up Mr. President.

THE WITNESS: Okay.

A. But he may not have. I don't have a specific memory, but I talked with him about the case on more than one occasion, so he might have said that.

Q. Did he tell you that on the phone or in person?

A. I don't know. I talk to him and see him several times a day, so I don't know. I would have no way of remembering that.

Q. Did you talk to Mr. Lindsey about what action, if any, should be taken as a result of her being served with a subpoena?

A. No.

Q. I believe I was starting to ask you a question a moment ago and we got sidetracked. Have you ever talked to Monica Lewinsky about the possibility that she might be asked to testify in this lawsuit?

A. I'm not sure, and let me tell you why I'm not sure. It seems to me the, the, the – I want to be as accurate as I can here. Seems to me the last time she was there to see Betty before Christmas we were joking about how you-all, with the help of the Rutherford Institute, were going to call every woman I'd ever talked to, and I said, you know –

MR. BENNETT: We can't hear you, Mr. President.

A. And I said that you-all might call every woman I ever talked to and ask them that, and so I said you would qualify, or something like that. I don't, I don't think we ever had more of a conversation than that about it, but I might have mentioned something to her about it, because when I saw how long the witness list was, or I heard about it, before I saw, but actually by the time I saw it her name was in it, but I think that was after all this had happened. I might have said something like that, so I don't want to say for sure I didn't, because I might have said something like that.

Q. Was anyone else present when you said something like that?

A. Betty, Betty was present, for sure. Somebody else might have been there, too, but I said that to a lot of people. I mean that was just something I said.

Q. What, if anything, did Monica Lewinsky say in response?

A. Nothing that I can remember. Whatever she said, I don't remember. Probably just some predictable thing.

Q. Recently you took a trip that included a visit to Bosnia, correct?

A. That's correct.

Q. While you were on that trip, did you talk to Monica Lewinsky?

A. I don't believe she was on that trip.

Q. Did you talk to her on the telephone?

A. No.

Q. While you were on that trip, did you ask anyone to talk to her?

A. I don't believe so, no. Can you be more specific? I don't have any idea. I don't think so, no.

Q. While you were on that trip, did you ask anyone to meet with her?

A. Not to my knowledge.

Q. Excluding conversations that you may have had with Mr. Bennett or any of your attorneys in this case, within the past two weeks has anyone reported to you that they had had a conversation with Monica Lewinsky concerning this lawsuit?

A. I don't believe so. I'm sorry, I just don't believe so.

Q. You know a man named Vernon Jordan?

A. I know him well.

Q. You've known him for a long time.

A. A long time.

Q. Has it ever been reported to you that he met with Monica Lewinsky and talked about this case?

A. I knew that he met with her. I think Betty suggested that he meet with her. Anyway, he met with her. I, I thought that he talked to her about something else. I didn't know that – I thought he had given her some advice about her move to New York. Seems like that's what Betty said.

Q. So Betty, Betty Currie suggested that Vernon Jordan meet with Monica Lewinsky?

A. I don't know that.

Q. I thought you just said that. I'm sorry.

A. No, I think, I think, I think Betty told me that Vernon talked to her, but I, but my impression was that Vernon was talking to her about her moving to New York. I think that's what Betty said to me.

Q. What do you know about her moving to New York?

A. Just that.

Q. Is she going to move to New York?

A. I don't know. She may have already moved to New York. I don't know. My understanding was that her mother moved to New York and that she was going to move to New York and that she was looking for some advice about what she should do when she got there.

Q. Is it your understanding that she was offered a job at the U.N.?

A. I know that she interviewed for one. I don't know if she was offered one or not.

Q. Have You ever talked to Bill Richardson about Monica Lewinsky?

A. No.

Q. What's his title?

A. He's the ambassador to the U.N.

JUDGE WRIGHT: I'm sorry, I didn't hear that.

THE WITNESS: He's the ambassador to the U.N.

Q. Have you ever asked anyone to talk to Bill Richardson about Monica Lewinsky?

A. I believe that, I believe that Monica, what I know about that is I believe Monica asked Betty Currie to ask someone to talk to him, and she, and she talked to him and went to an interview with him. That's what I believe happened.

Q. And the source of that information is who?

A. Betty. I think that's what Betty – I think Betty did that. I think Monica talked to Betty about moving to New York, and I, my recollection is that that was the chain of events.

Q. Did you say or do anything whatsoever to create a possibility of Monica Lewinsky getting a job at the U.N.?

A. To my knowledge, no, although I must say I wouldn't have thought there was anything wrong with it. You know, she was a – she had worked in the White House, she had worked in the Defense Department, and she was moving to New York. She was a friend of Betty. I certainly wouldn't have been opposed to it, based on anything I knew, anyway.

Q. Well, have you ever given any gifts to Monica Lewinsky?

A. I don't recall. Do you know what they were?

Q. A hat pin?

A. I don't, I don't remember. But I certainly, I could have.

Q. A book about Walt Whitman?

A. I give – let me just say, I give people a lot of gifts, and when people are around I give a lot of things I have at the White House away, so I could have given her a gift, but I don't remember a specific gift.

Q. Do you remember giving her a gold brooch?

A. No.

Q. Do you remember giving her an item that had been purchased from The Black Dog store at Martha's Vineyard?

A. I do remember that, because when I went on vacation, Betty said that, asked me if I was going to bring some stuff back from The Black Dog, and she said Monica loved, liked that stuff and would like to have a piece of it, and I did a lot of Christmas shopping from The Black Dog, and I bought a lot of things for a lot of people, and I gave Betty a couple of the pieces, and she gave I think something to Monica and something to some of the other girls who worked in the office. I remember that because Betty mentioned it to me.

Q. What in particular was given to Monica?

A. I don't remember. I got a whole bag full of things that I bought at The Black Dog. I went there, they gave me some things, and I went and purchased a lot at their store, and when I came back I gave a, a big block of it to Betty, and I don't know what she did with it all or who got what.

Q. But while you were in the store you did pick out something for Monica, correct?

A. While I was in the store – first of all, The Black Dog sent me a selection of things. Then I went to the store and I bought some other things, t-shirts, sweatshirts, shirts. Then when I got back home, I took out a thing or two that I wanted to keep, and I took out a thing or two I wanted to give to some other people, and I gave the rest of it to Betty and she distributed it. That's what I remember doing.

Q. Has Monica Lewinsky ever given you any gifts?

A. Once or twice. I think she's given me a book or two.

Q. Did she give you a silver cigar box?

A. No.

Q. Did she give you a tie?

A. Yes, she had given me a tie before. I believe that's right. Now, as I said, let me remind you, normally, when I get these ties, I get ties, you know, together, and they're given to me later, but I believe that she has given me a tie.

Q. Well, Mr. President, it's my understanding that Monica Lewinsky has made statements to people, and I'd like for you –

MR. BRISTOW: Object, object to the form of the question. Counsel shouldn't testify, and when you start out like that, it's obviously counsel testifying. I don't think that's proper.

MR. BENNETT: Let me add to that, Your Honor wouldn't permit me to make reference to this affidavit, and I respect your ruling.

JUDGE WRIGHT: Let me, let me just make my ruling. It is not appropriate for counsel to make comments about, about these things. I don't know whether he was trying to do this to establish a good faith basis for the next question or not, but it is inappropriate for counsel to comment, so I will sustain the objection.

MR. FISHER: I understand.

Q. Did you have an extramarital sexual affair with Monica Lewinsky?

A. No.

Q. If she told someone that she had a sexual affair with you beginning in November of 1995, would that be a lie?

A. It's certainly not the truth. It would not be the truth.

Q. I think I used the term "sexual affair." And so the record is completely clear, have you ever had sexual relations with Monica Lewinsky, as that term is defined in Deposition Exhibit 1, as modified by the Court.

MR. BENNETT: I object because I don't know that he can remember.

JUDGE WRIGHT: Well, it's real short. He can – I will permit the question and you may show the witness definition number one.

A. I have never had sexual relations with Monica Lewinsky. I've never had an affair with her.

Q. Have you ever had a conversation with Vernon Jordan in which Monica Lewinsky was mentioned?

A. I have. He told me that he called – he mentioned in passing to me that he had talked to her, and she had come to him for advice about moving to New York.

Q. She had come to him for advice?

A. Uh-huh. She'd come to him for advice about moving to New York. She had called him and asked if she could come see him, and Betty I think had maybe said something to him about talking to her, and he had given her some advice about moving to New York. That's all I know about that.

Q. Where were you when you had this conversation with Vernon Jordan.

A. I don't have any idea. I talk to Vernon Jordan a lot.

Q. Do you recall whether it was on the phone or in person?

A. No.

Q. What did he say that she had said to him in response?

A. He just said she seemed like a bright, energetic young woman and she had certain interests, and he made some suggestions to her and suggested where she ought to go for interviews. That's all I know about that.

Q. Did you express any approval or disapproval of anything Mr. Jordan had done?

MR. BENNETT: I object. I don't know what that means, Your Honor. That's awfully vague and ambiguous. Could you be more specific?

MR. FISHER: Sure.

Q. At the time that you talked to Vernon Jordan about his conversation with Monica Lewinsky concerning her possible move to New York, did you express any approval or disapproval?

A. I don't remember. I think he was just reporting on the meeting to me. There'd be no reason that I would have disapproved it. She was a young woman who'd worked in the White House and had gone to work in the Defense Department and was moving to New York. I would not have though there was anything wrong with that, with us trying to help her.

Q. Is it your testimony that you had nothing whatsoever to do with causing that conversation to take place between Monica Lewinsky and Vernon Jordan?

MR. BENNETT: I object. That, that misstates the testimony.

MR. FISHER: I'm asking what his testimony is.

MR. BENNETT: Anything to do, I think he's testified, Your Honor. If he want to ask more questions, that's all right, but – JUDGE WRIGHT: I will – you might rephrase the question and ask whether he ever intended to facilitate the conversation or took any action to help Ms. Lewinsky gain access to Vernon Jordan for this purpose, or for any purpose. You might ask that. The president has testified on this matter that he doesn't think it would be improper if he had, so go ahead, you can ask.

Q. Did you do anything, sir, to prompt this conversation to take place between Vernon Jordan and Monica Lewinsky?

A. I can tell you what my memory is. My memory is that Vernon said something to me about her coming in, Betty had called and asked if he would see her and he said she would, he said he would, and then she called him and then he said something to me about it. I'm sure if he said something to me about it I said something positive about it. I wouldn't have said anything negative about it. I didn't have any negative knowledge. I mean there would be no reason for me to be negative about it. Vernon liked to help people. He was always trying to help people.

Q. My question, though, is focused on the time before the conversation occurred, and the question is whether you did anything to cause the conversation to occur.

A. I think in the mean – I'm not sure how you mean the question. I think the way you mean the question, the answer to that is no, I've already testified. What my memory of this is, if you're asking did I set the meeting up, I do not believe that I did. I believe that Betty did that, and she may have mentioned, asked me if I thought it was all right if she did it, and if she did ask me I would have said yes, and so if that happened, then I did something to cause the conversation to occur. If that's what you mean, yes. I didn't think there was anything wrong with it. It seemed like a natural think to do to me. But I don't believe that I actually was the precipitating force. I think that she and Betty were close, and I think Betty did it. That's my memory of it.

Q. Have you ever had a conversation with Vernon Jordan in which Paula Jones was mentioned?

A. I'm sure I have. I don't remember what it would have been, but I'm sure I have. I mean after all this time, I'm sure I have.

MR. BRISTOW: Your Honor, I just think we should note for the record that it is now almost 12:30, and to my knowledge this is the first moment in the deposition that the word "Paula Jones" has been mentioned.

JUDGE WRIGHT: Are you suggesting we take a break?

MR. BRISTOW: I think it's a good time for a break, but I'm also thinking of the fact that we do have some time constraints and – but anyway, I just thought it was an appropriate thing to note.

MR. BENNETT: Your Honor, I hope the sandwiches are there, but I'm happy to break now, but I'd like to get some guidance from the Court on something. If at the completion of, as he has apparently just completed Miss Lewinsky.

MR. FISHER: No, I haven't, but go ahead.

MR. BENNETT: Oh, I'm sorry, well, I'll wait until you finish with Miss Lewinsky.

MR. FISHER: I have just a couple of other things.

MR. BENNETT: I can ask my generic question. Hypothetically, Your Honor, if I have affidavits of women that he's questioning the president about and Your Honor does not want me to emphasize or even mention it for fear of the witness, when they are, when he is finished at the end of the day, may I read to the president certain relevant portions of those affidavits that we have an ask the president if that's, as far as he knows, a true and accurate statement?

JUDGE WRIGHT: You may, because this is that type of deposition.

MR. BENNETT: Thank you.

JUDGE WRIGHT: And I realize that you want to make your record because you're fearful about what might take place.

MR. BENNETT: Thank you, Your Honor, thank you, Your Honor.

JUDGE WRIGHT: Would you like to finish these questions now before we break?

MR. FISHER: I have just a couple more on this particular subject.

JUDGE WRIGHT: All right, all right, let's proceed then.

Q. Mr. President, have you ever paid any money to Monica Lewinsky?

A. No, sir.

Q. Have you ever caused money to be paid to her?

A. Absolutely not.

Q. Have you ever paid off any debt that she owed to some other person?

A. No, sir.

Q. Have you ever caused a debt that she owed to some other person to be repaid?

A. No, sir.

MR. FISHER: That's all I have on that subject.

JUDGE WRIGHT: All right, how much time – I'm suggesting we have lunch for, within the next half-hour and then come back here in half an hour.

MR. BENNETT:Would you like to break now –

THE WITNESS: Mr. Fisher, is there something , let me just – you asked that with such conviction and I answered with such conviction, is there something you want to ask me about this? I don't, I don't even know what you're talking about, I don't think.

MR. FISHER: Sir, I think this will come to light shortly, and you'll understand.

MR. BENNETT: Your Honor, we've had an awful lot of innuendo, and I object to it, and if they have it, let's get to it.

JUDGE WRIGHT: Well, I'm not – we're going to have a break for lunch for a half an hour. I will use this time for Counsel for Ms. Jones to provide me with anything in camera that they might like to with respect to a good faith basis for some of the questions to which Counsel have objected. Again, this is discovery, we're not applying the Rules of Evidence. There must be a good faith basis for the questions, and I have not seen any of the deposition, I mean, excuse me, any of the affidavits to which you're referring. I had not even heard of some of these individuals until Monday when we met to discuss the – and I hate this word – the parameters of the deposition, and so if you would please provide me with an in camera document or document or documents, or you can just tell me in camera off the record what your good faith basis is, then I can rule.

MR. CAMPBELL: Will we do that in your room Judge, here?

JUDGE WRIGHT: You can do that in my room, yeah, it doesn't matter.

MR. BENNETT: Your Honor, that's fine with me. I have no objection to that, but since Your Honor has ruled that I will be permitted to do that, I don't feel that's necessary, and withdraw my request that they do that. What I was worried about is that a record would be finished and we'd just have a lot on innuendo, so I think as long as I'm permitted to do that, then I think it would be –

JUDGE WRIGHT: You may. And keep in mind, also, I don't know just for what purpose this deposition will be used. It's certainly a discovery deposition, that's the initial purpose. It's clear that because the Defendant is the president, and because this Court has actually enormous discretion with respect to the conduct of this case with respect to the Defendant, it would be possible that this might even be used for evidentiary purposes if Mr. Clinton can't be present to testify, and that is another reason I will permit Mr. Bennett to rehabilitate the witness or put anything else on the record that you might think would be appropriate.

MR. BENNETT: That being the case, Your Honor, I would ask that they not meet with you privately. I would never have the ability to question or challenge that. I thought that was a possible solution to a problem where I knew nothing and you might have the opportunity to rule something out, but since you've given me the leeway, it would then be my view that since you are the trial judge that there not be ex parte discussions on evidence, and it was my suggestion, and I, and I admit to that, but given what you just said, I think this is a better way to handle it.

JUDGE WRIGHT: I'd like to give Counsel the benefit of the doubt, and even though I do have very grave concerns about the leak of information under seal in this matter, I can't tie it directly to any Counsel of Ms. Jones, and I have to, I don't believe any of the Counsel here are responsible for these leaks, and if I had reason to believe so, I would take appropriate action.

MR. BENNETT: I would suggest that on Monday you might have more of a factual basis since, since the Rader firm is apparently doing the circuit here in Washington.

MR. CAMPBELL: Your Honor, we object to that side-bar.

JUDGE WRIGHT: Again, we have to assume that all Counsel are playing by the rules set by the Court and until that time, until it's brought to my attention, otherwise I'll just have to rest on that assumption. Let's take a break.

Pages 89 to 103 missing

... down time, that is, if I was waiting between two appearances, or I got there a little early or they were running a little late, and I had something I needed to do, some work I needed to do, there were, over the years, best I can remember, roughly I did, one of three things happened. Either, if I had four or five minutes, I'd just go to the standard pay phones on the second floor of the convention floor and make phone calls. If I had more time, or I needed some desk space or some privacy, sometimes they would give me a little office-like space, or sometimes when conventions were there, they would let me use a, a suite that they had set aside for the convention.

And frequently I remember, when that happened – that didn't happen too many times, five or six times over time, but, you know, there'd be, often be people coming in and out of there, they'd be bringing hors d'oeuvres or something, or people would be coming in and out setting up meetings because they'd set aside for the convention, but it was still nice enough for me, because they always, there was a desk there, and a phone, I could write and make notes, and they never bothered me any when they were coming in and out, so I just didn't, that wasn't – so it is possible that they made available such a space for me, but I do not believe in the whole time I was governor they ever gave me a, a suite that was not already set aside for the use of the convention. At least I wouldn't have known it if they did. That's my belief.

But I was there several time sort of in between times where I had a little drag time and those were the three different things I remember doing during those time. I don't have any specific recollection of what happened on May the 8th, but over a ten year period, that kind of thing happened.

Q. Do you recall ever, at one of the Governor's Quality Conferences, asking a state trooper to make arrangement to have a suite or a room made available to you at the Excelsior Hotel?

A. No.

Q. Do you recall whether any of the Governor's Quality Conferences at the Excelsior Hotel you ever met a woman in a suite or a room other then the room where the conference was taking place?

A. No, I, you know, over the years I met a lot of people at a lot of these meetings. I don't. Let me just say, with regard to your previous question, if, when the Excelsior, if they let me use a room, the trooper went up for it, to the best of my knowledge the only time they ever did that is they had the room set aside already for the use of the convention people, but I don't have any specific recollection of that on May the 8th.

Q. When they did have a room set aside, as you just described, do you recall where in the hotel it was located?

A. Well, they, I don't know that it was the same place. I was – many times I'd be at reception for these convention and they'd, they had them in suites, you know, up near the top of the hotel. I don't know what the room numbers were or where they were on the floors or anything like that.

Q. But do you remember that at least some of them were up on one of the upper levels of the hotel?

A. Yes, I do. I think that's what suites are in the Excelsior. I'm not sure they have them on every floor.

Q. Now, seated to my right two chairs down is Ms. Paula Jones. Do you recall ever having met her before today?

A. No. I've said that many times. I don't.

Q. Do you recall ever having seen her before early 1994 when she first made public her accusations against you?

A. No, I, I actually saw her on television then, just by accident. I just happened to be walking by a television in the office, and I remember I asked Bruce Lindsey to come there. I said Bruce, do we know this lady, who is this person? That was my first surprised reaction.

Q. Before you saw Paula Jones on television, do you have any recollection of ever seeing her before?

A. No, sir, I don't have any memory of it. But you have to remember, I've met well over a hundred thousand people since 1991, maybe over two hundred thousand. Maybe more that that. I don't know.

MR. FISHER: Objection, non-responsive, beginning with the words, "But you have to remember."

Q. Have you ever said to any of the state troopers who were on your security detail when you were governor that any woman had, quote, "that come-hither look," close quote?

A. I might well have done that. That's a phrase I have used. I might well – I don't have a specific recollection of doing it, but it wouldn't surprise me if I'd said that to a trooper.

Q. What does the phrase "that come-hither look" mean?

A. It means either in look or dress a sort of a suggestive appearance from the look or dress.

Q. Sexually suggestive?

A. Yes.

Q. On any of the – strike that.

During any of the Governor's Quality Conferences that you attended, do you recall ever saying to anyone that you needed to go to a suite because you were expecting a call from the White House?

A. No, sir, I don't. I got calls from the White House from time to time. I got other calls. I had other business in Washington from time to time. I took calls in difference places than the governor's office from time to time, but I don't have any specific recollection of it.

Q. Can you think of any reason why you would have received a call from the White House in May of 1991?

A. I don't remember if I did. First of all, I don't know if I did. If I did, I don't know what it was about. If you're asking me can I think of any reason, there were many issues on which I basically represented the Democrats and sometimes the governor of the whole with the Bush administration. But I, I have no specific recollection. I was one of the senior governors in the country at the time, and I worked with them on a lot of things, and I had people call me all the time, but I don't remember what specific issue was going on then.

Q. You don't have a recollection of receiving a call from the White House when you were at the Excelsior Hotel, correct?

A. No, sir, I don't, I don't remember anything about that.

Q. Now, Danny Ferguson was a member of your security detail for several years?

A. Yes, he was.

Q. He was guarding your life and the life of your wife and your daughter, correct?

A. He was on the security detail.

Q. And while you were governor and he was working on your security detail, did you ever form any opinion as to his character for truthfulness?

A. While I was governor, I had no reason – I was around him quite frequently, and I thought his work was entirely satisfactory, and there was no – I had nothing happen while I was governor that would cause me to question his truthfulness, if that's what you're asking.

Q. Has your opinion as to Danny Ferguson's character for truthfulness changed?

A. No.

Q. Did you ever ask Danny Ferguson to pick up a gift you were giving to a woman other than your wife or a relative?

A. I don't recall doing that. It's possible that I did. Sometimes if they were going to be out and around, I'd, might ask them to do something like that, but normally I didn't, but I might have done that.

Q. While you were governor, was there a store in Little Rock names Barbara Ann's?

A. Barbara Jean's.

Q. Barbara Jean's?

A. Yes.

Q. Do you recall –

A. Isn't that right?

MR. BENNETT: Barbara Jean's is correct.

THE WITNESS: I think that's right.

MR. BENNETT: But you should no feel a moral obligation to correct his errors.

THE WITNESS: Go ahead. Go ahead.

Q. Do you recall ever sending any of the state troopers who were on your security detail to Barbara Jean's to pick up a gift that you were going to give to a woman other than your wife or a relative?

A. No, sir, I don't, and I don't remember ever giving a gift to anyone other than a member of my family from that store. I knew the woman who owned it, and it's possible that I did, but I don't remember it.

Q. Her name is what? The woman that owned it?

A. Barbara – I don't know.

JUDGE WRIGHT: I'm not here to testify. I believe it's Barbara Baber.

MR. BENNETT: I object. No, I'm just kidding.

A. I think that's right. In other words I had met her so I knew who she was, so I, I guess what, the reason I said that is, I believe I shopped there rarely, but on occasion, over a ten-year period, but I have no recollection of buying a gift for anyone other than a member my family there.

Q. Did you ever send a state trooper who was a member of your security detail to any store to pick up a gift for a woman other than your wife or a relative?

A. I have no specific recollection of doing that. I wouldn't – it's possible that it happened, but I don't remember.

Q. Now, after you took office as president, did you ever have any telephone conversations with Danny Ferguson?

A. Yes, I did.

Q. How many?

A. I'm not sure. I think two or three. I have some noted there, which I know you've been given, but I'm not –

MR. BENNETT: Just answer the question –

A. I'm not sure.

MR. BENNETT: – Mr. President.

Q. Without consulting your notes, do you have any independent recollection of anything that was said in any of those conversations with Danny Ferguson?

A. I sure do.

Q. Okay. What is that recollection.

A. Well, he called me secretary in Little Rock. Linda Dixon, and asked me to call him, and I was afraid, you know, I thought there was something, he had a personal problem. I didn't have any ideas what he wanted to talk to me about.

MR. BENNETT: Mr. President, excuse me, keep your voice up, please, so the Judge hears you.

A. I didn't have any idea what he wanted to talk to me about, and when I called him he wanted to talk to me about the, what have now become famous as the so-called trooper stories to The American Spectator. And he said, he acknowledged either at some point during these conversations that he had been a part of the, at least had met with one or two reporters and a Republican lawyer in Arkansas. He said that the troopers had been offered seven hundred thousand dollars in hundred thousand dollar a year increments for jobs that they would take as soon as they could leave the state police out of the state of Arkansas, plus whatever other money they could earn in books and incomes up to a million dollars if they would trash me. He further said that they were told in no uncertain terms that what they said about me did not have to be true, it's just that two of them had to tell the same sorry, and if three of them told the story they could get it printed anywhere, whether it was true or not.

He then said that the troopers who talked to them, principally Patterson and Perry, obviously didn't know anything, and that basically, I remember very well, he said there's basically two kinds of lies in these stories, there's stuff we just made up out of whole cloth, and he said then there's the stuff that happened that we twisted to make it look as bad as possible. And he said I'm out of here, I'm not going to do this, and I said well, why don't you say it's not true? He said I can't do that, they'll get to me if I do. I don't know what he meant by that. But that's the summary of what he said. And that's consistent with my experience with The American Spectator types over the last six years, and what I was told would happen if I ran for president.

MR. FISHER: Objection, non-responsive beginning with the words –

JUDGE WRIGHT: Let me, I have not been ruling on your objections because this is a deposition, I didn't think you wanted me to rule, you were just making your record, but since I am here, I will say that this is improper for the witness to go on and comment such as he just did. It's also of course improper for you to make comments, so to that extent that objection would have been sustained, and that's all I'm going to say. Go ahead.

Q. Approximately when did the conversation you just described take place?

A. Well, it would have been, at least the first conversation would have been sometime I guess in –- maybe my notes reflect it, I don't really remember, but sometime in mid-1993, late, summertime 1993, maybe something like that. It was before Ms. Jones made her statement, because there was no discussion of her in it.

Q. Now, the testimony you just gave about what Danny Ferguson said, was that relating the content of one conversation, or was that more than –

A. I don't remember. You, you've got the, you've got the notes there, and they will, they probably reflect whether it was one or two or three conversations.

MR. FISHER: Would you mark that please

(EXHIBIT 8 marked.)

Q. Sir, I am handing you what has been marked as Deposition Exhibit 8. Ignoring the fax information at the top of each page, can you identify the typed words on this document as a transcription of your notes of conversations with Danny Ferguson?

A. That's what they appear to be. Have you got a copy of the, my handwritten notes?

Q. I do, but not with me.

A. That's what it appears to me, I don't remember verbatim what's in my handwritten notes.

Q. Did you look at the transcription before your deposition today?

A. I'm not sure that I did, actually, but I helped to prepare it because there were a couple of words that the people who prepared the transcription couldn't read. Or a couple of words I had trouble reading. My handwriting's not very good, but –

Q. Look through Exhibit 8, if you would, sir, and tell me whether you see anything there that looks like it was not what you wrote?

A. No. This is – it looks very much like – what is typed here seems, is reminiscent of what I wrote in my handwriting. I just don't have the handwriting here and can't be for sure.

Q. How many separate calls are reflected in these notes?

MR. BENNETT: Well, excuse me, Your Honor. We have provided the original of the notes, and if Your Honor even looks at this typed transcription all of the words are not clear. I would suggest they show the original notes to the witness or at least provide both to him before they ask questions.

JUDGE WRIGHT: All right, go on and show him the original notes, but the question with respect to the number of conversations is all right. That's –

A. I believe there were, I believe there were two conversations, although there could have been three, and I honestly don't recall. When I looked at my notes, many, many months later, it appears to me that there were two conversations.

(EXHIBIT 9 marked.)

A. Mr. Ferguson might have a better memory than I do. I don't know what he said about it.

Q. Sir, I'm handing you what has been marked as Deposition Exhibit 9. As you can see it bears the caption of this case and is entitled President Clinton's Responses to the Plaintiff's Third Set of Interrogatories.

A. Yes.

Q. Are your notes attached to the back of this document?

A. Excuse me, let me see. Yes, they are.

Q. Okay. And there are four pages of notes, correct?

A. Yes, that's correct.

Q. These are all in your handwriting?

A. Yes, they are.

Q. Upon examination of these notes, can you tell us how many conversations with Danny Ferguson are reflected here?

A. It – as I said, it appears to me that there are two, but the last – but it is possible, I suppose, that there are three, because I'd had to do a very neat job of enumerating the pages. I believe there are two. I don't know for sure.

Q. Is there any document in your possession that you're aware of that would reveal the date on which each of the conversations took place?

A. Not unless the White House operator or the – not unless we have some White House document that reflected when that, when the call was made. I just don't know if we do, but I know the first one was sometime in the latter half of 1993, and I'm not – and the second one was sometime thereafter, and apparently before the American Spectator story was published.

Q. Who found these notes?

A. I think I had them. I just was sort of scribbling them off and I, and I had them. I put them back somewhere.

Q. Where did you put them?

A. I'm not sure. I think I had them either in a – I'm not sure where they were. I had them put away someplace.

Q. Were they in a file folder?

A. I believe they were.

Q. What was the title or label on the file?

A. I don't think there was a title or label on the file. They were just notes that I made to myself when I was scribbling off in a hurry talking to Danny.

Q. Were there any other documents in the file with these notes?

A. No. I had them separate. These are the only phone conversations I had like this. I gave them to my counsel some time ago, so I just don't remember where I had them at the time I gave them to him.

Q. Where is the file from which the original notes were taken currently located?

A. There wasn't – they were just in a folder. I don't know what happened to the folder. I don't know if they have the folder. I don't know what happened to the folder. There was no file with a name and a big file box or anything. I just put these notes aside.

Q. After you became president, did you have any conversations with Danny Ferguson for which you kept no notes?

A. Not that I recall. I, I believe I ran into him and said hello at the, in Seattle at the, I believe he was with Governor Tucker in Seattle at the Asian Pacific leaders meeting, at least he might have been, whoever was there, whatever troopers were there with him, with the governor, I stopped and said hi to them, but that was it, that was the extent of it, so if he was one of those troopers, then I did say that. I didn't keep a note of that. I don't believe there was any other conversation for which I kept no note. If I did have one, I don't remember it.

Q. On that occasion in Seattle, did you talk to Danny Ferguson about the lawsuit?

A. No, sir. I didn't.

Q. Did you talk to Danny Ferguson about Paula Jones?

A. No. I don't have any recollection of that. I think that was before the Paula Jones matter came out. I believe it was. I don't remember, but I don't, I don't have any recollection of talking to Danny Ferguson about any of this. I think I just said – if he was there I think I just said hello to whatever the security people that were there with the governor.

Q. Did you talk to Danny Ferguson about stories being told by any other state troopers who had been on your security detail?

A. In Seattle?

Q. Yeah.

A. I don't believe so, no sir.

Q. So that possible conversation in Seattle and the conversations reflected in your notes here, which are part of Deposition Exhibit 9, those would be all the conversations you remember having with Danny Ferguson since you became president, correct?

A. To the best of my memory. I would not – but I could well have talked to him another time, I'm just telling you what my memory is. I've had several thousand phone calls. I'm giving you the best of my memory.

Q. Do you recall Danny Ferguson ever telling you that he had given an interview to a reporter with the Los Angeles Times?

A. I recall Danny Ferguson saying that he was, he met with a lawyer and three other troopers, and I don't remember whether he said that the reporters were there or not. You see that there's an L.A. Times reporter mentioned in the second phone call there. I don't know if I can tell from the notes whether he actually met with him or not.

Q. Which page of the notes are you looking at now?

A. Page, third – the first page of the second column.

Q. In the transcription, which of the four pages is that?

A. The third.

Q. Okay, You're talking about the reference to the L.A. Times reporter Bill Remmel (sic)?

A. Yes.

Q. Did Danny Ferguson ever say to you that he, Danny Ferguson, had made untrue statements to the L.A. Times reporter?

A. He said exactly what those notes reflect. And you can draw whatever inference from them you want. He said exactly what those notes reflect. As I, if you look at page one, I said he was hedging on how much he said but clearly shared rumors, made up stuff, talked about how they were angry because I didn't give them jobs.

MR. BENNETT: Keep your voice up, Mr. President.

A. And had some other rumors. He said he and his wife were trying to stop the rumors. He said he went to the first meeting to see what they were doing and he played along with them, that's what he said to me. I said it's not true, he says he knows but he wants to stay out of it. And I'm just, I just wrote down here what he said. Then he said that he was threatened by the – that he felt threatened and under pressure, and then he said that the L.A. Times reporter threatened him. That's all, you know, I have no memory independent of these notes that I took here.

Q. All right. Now, on the first page where you wrote, and I quote, "hedging on how much he said but clearly shared rumors, made stuff up," end quote, did you understand that it was Danny Ferguson who made stuff up?

A. I understood he said to me that they made stuff up. It was clear to me that he had at least gone to the meeting and at least in silence gone along with whatever was done in the beginning, which he later acknowledged doing, and all I can tell you is what he told me there. He said, he said they were encouraged to be as negative as possible, they were told they didn't have to tell the truth, they were told all they had to do was to get two or more people to agree, and if they got three people to say the same thing, anybody in the world would print it, didn't matter if it was true or not, and there was a lot of money in it for them if they did it, that's what he told me, and then he said he just, he didn't, didn't want to be a part of it, didn't want the money, wanted out, wished it had never happened, but he didn't feel like he could ever contradict anything, which I gather meant that he had participated. That's all I know.

Q. Did he ever tell you that he had talked to a reporter named David Brock?

A. David Brock's name is mentioned here. He never – he wasn't specific with me about what he said to Brock or what he said to Remmel (sic) or what he sat in the room and listened to others say and didn't contradict. He was never specific about that.

Q. Now, Buddy Young was a state trooper who was assigned to your security detail at some point, correct?

A. He was the head of governor's security.

Q. And after you became president, you appointed him to a position in the federal government, correct?

A. He was appointed regional director of the Federal Emergency Management Agency, and most of those regional directorships are presidential appointments, so I assume that was a White House appointment. I'm not positive, but I assume it was. Most regional jobs are with most departments.

Q. Before the appointment, did he ever express an interest to you in receiving a federal job?

A. Yes, he said he could take retirement from the state police, and he was ready to do so, that he'd put in his time and he would like to get out.

Q. Did he say that to you before or after you took office as president?

A. I believe after I – I believe it was before I took office. I was actually surprised. I think Buddy Young was the youngest captain in the state police and a very able office. He probably could have become the commander of the state police.

MR. FISHER: Objection, non-responsive beginning with the words, "I was actually very surprised."

JUDGE WRIGHT: Okay, sustained.

Q. Do you have any notes of any conversations with Buddy Young?

A. No sir, I don't. I don't believe I do. I've attempted to look for any other relevant notes that might be relevant to my Counsel or your request for discovery. I don't find any. I don't believe I do.

Q. Do you have any notes of any conversation with any state trooper other than Danny Ferguson?

MR. BENNETT: About – I mean, objection. It's too broad. I mean, he dealt with state troopers all the time.

JUDGE WRIGHT: Let me clarify this. Are you talking about during his term as president?

MR. FISHER: Let me put a time limitation on that, Your Honor.

JUDGE WRIGHT: All right.

Q. After you became president, do you recall taking notes of any conversation that you may have had with a state trooper other than Danny Ferguson?

A. No.

Q. Have you looked to see whether you have any such notes?

A. I don't think I have any other notes. I've tried to find any notes that would be responsive to your request for production. We've given you some other notes that I have. I don't, I don't think I have anymore. And I have no recollection of taking any.

Q. After you became president, did you ever ask Buddy Young to talk to any of the state troopers who had been on your security detail when you were governor?

A. I, I believe, actually I think I did. No, wait a minute, after I became president?

Q. Yes.

A. Back up. I had a conversation with Buddy Young in which I asked him if he knew anything about this purported – this meeting that Danny Ferguson described with himself and the other three troopers, the two reporters, Cliff Jackson, and another Republican lawyer. I don't recall asking him to speak to any of them. I think I was more interested in asking if he knew anything about it or what it precipitated, and I had a conversation like that.

Q. After that conversation, did Buddy Young ...

Pages 89 to 104 missing

... husband, was our ambassador to Switzerland, and during that time she undertook some appointment I gave her during, and it may have been a paid appointment, she may have been. If you could ask me a question or give me more information, maybe I could give you a better answer. I'm just not sure whether it was an appointed position without pay or a paid position.

Q. If I could remember the position, I would do that sir, but it slips my mind at the moment. Did you appoint her to that position?

A. Well, she was appointed during my presidency, and I'm sure under my authority. I don't remember making the decision or, initially, but I'm sire someone recommended it and I went along with it.

Q. Now, have you ever spent the night at a home owned by Jane Doe 7?

A. Yes, I have.

Q. Was that in Jackson Hole, Wyoming?

A. No.

Q. Where was it located?

A. It was located in San Diego, California.

Q. And was that while you were president of the United States?

A. Yes.

Q. Was it before or after her appointment to the position that I can't remember?

A. I don't remember. My family and I actually stayed at her home for several days on vacation a couple years ago. I don't remember whether it was before or after, and then there was at least one other occasion when I spent the night there. I don't remember when it was or whether it was before or after.

Q. Did you ever stay in the home of Jane Doe 7 when your wife was not with you?

A. I believe I did once. I believe, I believe I did. I do not remember for sure. I believe I stayed there once when she was not with me.

Q. On – excuse me for interrupting.

A. I think Bruce Lindsey was with me.

Q. On that occasion did you have sexual relations with Jane Doe 7?

A. Absolutely not.

Q. Have you ever at any time or any location had sexual relations with Jane Doe 7?

A. Never.

Q. Did you ever attend a party at the Hotel del Coronado which was attended by Jane Doe 7?

A. She and her husband owed the hotel, and I went to several events there, and I think they were there for most of the events I attended.

Q. On any of those occasions were you in one of the rooms of the hotel alone with her?

A. I don't believe so.

Q. And when you were governor of the state of Arkansas, you appointed Jane Doe 2 to the position of Judge on the Arkansas Court of Appeals correct?

A. I did, yes.

Q. And she decided cases on the Court of Appeals for two years, correct?

A. That's correct. It was a newly created Court, and I appointed her to a position on it.

Q. Do you recall when that appointment was made?

A. No.

Q. Now, if she testified that while you were governor you visited her home on more than one occasion when her husband was not there, would that testimony be true?

A. Yes.

Q. How many times did you visit the home of Jane Doe 2 when her husband was not there?

A. I'm not sure. Probably, I don't know, four or five, over a ten-year period, maybe a few more, maybe a few less, I don't know, several times.

Q. And on those occasions, on any of those occasions, were you alone in the house with Jane Doe 2, or were there other people there in the house with you?

A. No those, are – I answered the question you asked me, on those occasions she was there and I was alone.

Q. Were you driven to her house by a state trooper?

A. Yes.

Q. On any occasions did the state trooper come into the house with you?

A. I don't remember. Usually when state troopers drove me places like the homes, they didn't go in with me.

Q. Okay. What would they typically do?

A. Stay outside, look around, see what was going to happen. They normally didn't go inside with me.

Q. Did you ever send them off to run errands on those occasions when you were in the house alone with Jane Doe 2?

A. I don't believe so. I don't remember doing that.

Q. What was the purpose of these visits to Jane Doe 2's house when her husband was not there?

A. The fact that her husband was not there was incidental. She was a friend of mine, and I would go by and see her from time to time. I hadn't been visiting with her in a long time. Sometimes I saw him when she wasn't there. He was a friend of mine, too.

Q. So the purpose was purely social?

A. That's right.

Q. Did you ever –

A. I say the purpose was purely social, there may have been times when we discussed political issues or some other issues. I don't know that they were purely social, but they were personal.

Q. Were any of the visits that you had with Jane Doe 2 at her home when no one else was in the home with you at night?

A. You know, I don't remember going there at night. I may have. I couldn't say that I didn't. I believe the vast majority were in the daylight hours. But I can't say that I was never there at night when they weren't both there. I just don't remember.

Q. Did you ever have sexual relations with Jane Doe 2?

A. No.

Q. At any location?

A. No.

Q. What were her qualifications to serve as a Judge in the Court of Appeals?

A. She was an intelligent, hard-working person who was a good friend and supporter of mine. And I thought she would make a good judge. The evidence is that she did, I think.

MR. FISHER: Objection, non responsive beginning with the words, "The evidence is."

JUDGE WRIGHT: I'll sustain. Go ahead.

Q. Had she ever argued even a single case in the Court of Appeals before you appointed her?

A. I don't think there was a Court of Appeals before I appointed her, so the answer to that would be no, but that would put her in the same boat with every other judge. The Court of Appeals was a newly appointed court. The judges were to be elected but I had to appoint the first batch so it could sit and begin to decide cases, and then there was a system for electing them. After that they were all elected. That's the way they are now, except when a vacancy occurs, and the governor appoints just for the remainder of the term.

Q. Isn't it a fact that you appointed her to fill the unexpired term of another judge who was moving on to the Arkansas Supreme Court?

A. That could be. That could be. I didn't remember. I was thinking I did it at the beginning of the term, but you're probably, but you're right about that. I'm sorry. I'd forgotten about that.

Q. Do you recall an occasion when you and Jane Doe 2 drove together from the airport to the governor's mansion in her Jaguar?

A. Yes, I remember that.

Q. And she let you drive the Jaguar, correct?

A. She did.

Q. Was there a state trooper in another car driving ahead of you?

A. Well, there must have been. I remember the circumstances of that day quite well, and so I, there would have been a trooper with me all day, so if, if I got to drive the Jaguar, which I wanted to do –

MR. BENNETT: Keep your voice up.

A. If I got to drive the Jaguar, which I wanted to do, then the trooper would have been either behind or just ahead of me, that's what they always did. I didn't drive much like that, but it was too good an opportunity to pass up. I'd never driven a Jaguar before.

Q. You said you remembered the circumstances of that day very well. What do you remember happening on that day?

A. A good friend of hers and mine, Rudy Moore, who was my first chief of staff, son was killed in a tragic car accident in his senior year of high school. I wanted to fly up and see him, and she wanted to go with him, and they were very close, and my recollection is it was on that trip when we got back to Little Rock after going up to see him that either she said do you want to drive the Jaguar or I said can I do it. We were both really profoundly sad, and we both cared a lot about the guy and about his son, and it was a very sad day. I remember it very well.

Q. Did you fly together in a, an airplane?

A. That's correct. She, she flew with me up there.

Q. Is that a commercial aircraft or a chartered plane?

A. I think it was a private airplane. I think it was one we, that we either chartered or borrowed to go up there. I don't believe it was one of the state planes. It could have been. I don't remember which plane it was, to be honest with you.

Q. Do you recall who was on the plane with you?

A. No, there would have been a trooper on the plane. There might have been other people on the plane as well. There were – Rudy had other, a lot of other friends in Little Rock. I just don't remember whether anyone else went.

Q. Do you know a woman named Jane Doe 1?

A. I do.

Q. Do you recall her visiting you at the governor's mansion between the time that you were elected president and the time that you moved to Washington to take office?

A. I do.

Q. On how many occasions in that time span did she visit with you at the governor's mansion?

A. I believe she was there twice. I believe she was there twice.

Q. Was one of those occasions the early morning of the day that you left to go to Washington?

A. I don't – well, I don't know. She came by early in the morning, either the day I left or the day before that, sometime around then. She wanted to come by and say goodbye, and she had to go somewhere else. She came by early, I was up. I don't remember, I honestly don't remember what exact day it was, but it was close to the time I left.

Q. Do you recall that Danny Ferguson was with you when she arrived?

A. I don't have an independent recollection of that. I know what the testimony was, but I don't actually have an independent memory of that.

Q. Where did you meet with her on that day?

A. I believe in the basement, which we were sort of using as the all-purpose office at the time, and which was full to the gills of all kinds of things that were being sent in from all over America, but it was kind of an around-the-clock office for us.

Q. Was that basement room sometimes referred to as the game room>

A. Perhaps.

Q. And while you were talking to Jane Doe 1, was anyone else in the game room with you?

A. No. I don't believe anybody was there.

Q. Was Danny Ferguson outside the game room in an adjoining room?

A. I don't, I don't know where he was. I've already said I don't remember having an independent recollection who was there that day.

Q. Okay. You said you remembered you thought two occasions when you were president-elect that she visited you at the governor's mansion. When was the first of them?

A. I don't remember exactly when it was, but I just have a vague memory that she came once before Christmas, and I gave her some gifts for her children and herself. I believe that's right. I just – I've been trying to think. I think, I'm almost positive there were only two times, and I believe those, I think those were the two occasions. I'm quite sure she was there early in the morning shortly before I left, and I believe she was there one other time, and I believe, but I'm not sure, that's why she was there. That's all I know about that.

Q. Okay. On the first of these two occasions, what time of day did you meet?

A. I don't remember.

Q. Do you remember if it was dark outside?

A. No.

Q. Where did you meet with her on that occasion?

A. I don't remember.

Q. Do you remember whether anyone else was with you when you met with her?

A. No, but – I don't remember, I don't remember. I, I assume not, but I don't remember really. I don't know.

MR. BENNETT: Don't assume, Mr. President.

Q. Did you ever meet with Jane Doe 1 at her apartment? And I'm not just asking about the time when you were president-elect, but any time when you were governor?

A. I have been to her place.

Q. It was located at the Riviera Apartments; is that correct?

A. I don't believe that's right.

Q. What were the apartments called where she lived?

A. I don't remember.

Q. When you visited her place, as you put it, were you accompanied by a state trooper?

A. I don't remember. I'm not sure I was.

Q. Were you governor at the time?

Pages 145 to 160 missing

... to the time when you decided to run for president in the 1992 election, did you take any action to try to suppress any rumors about any particular women who allegedly had had sexual relationships with you?

MR. BENNETT: Now, when you say – excuse me – when he said – objection to the form. When you say "suppress," do you mean him personally? Do you mean him personally?

MR. FISHER: I asked whether he took any action.

MR. BENNETT: Okay, whether he personally took any action. Okay, thank you.

A. Could you could you ask the question again because –

Q. Yes, sir.

A. – I want to give you a completely accurate answer. I want to make sure I understand the question.

Q. Between the time when you decided not to run for president in the '88 election and the time when you decided to run for president in the '92 election, did you take any action to try to suppress any rumors about women who allegedly had had extramarital affairs with you?

A. I believe the accurate answer is that because of what happened in the 1990 governor's race I took action to try to prevent erroneous rumors from becoming public news.

Q. Alright, sir. What action did you take?

A. Well, if I could begin at the beginning. A man named Larry Nichols worked for the state of Arkansas, and while working there he developed quite a grudge against me because he made six hundred long distance phone calls to various right-wing groups with which he was associated, and when it came out his boss thought the taxpayers shouldn't pay for it and dismissed him. He was not reinstated. He claimed that what he was doing was in the public interest. I won't go through the details.

He subsequently directed his anger at me and alleged that I had had affairs with a number of women, so the first action I took that I remember was, he did this on the steps of the Capitol one day in 1980, '90. A few minutes after this press conference he had, I drove up to the Capitol and a reporter confronted me with it. I said to the reporter, this is the first I have ever heard of it, why don't you call the women and ask them if it's true before you run the story. That's the first action I took. I don't know if that qualifies as suppression, but it, back then, you know, if you denied something like that, it didn't get in the press. So that was the first thing that happened.

And then, then a lot of that, that was, as far as I know, that's about as far as it went in 1990. And then some of those were recycled again in the '92 campaign.

Q. During the 1992 campaign, did you give Betsey Wright the responsibility to deal with rumors about alleged extramarital affairs involving you?

A. Along with the other charges that were made against me.

Q. Okay.

A. Which I, some of which I enumerated earlier in my testimony. Someone had to, someone who knew me, at least, had to deal with any charges that came up and had to find the best way to respond to them.

THE WITNESS: Actually, Judge, could I have a five-minute beak? I'd really like to go to the restroom.

JUDGE WRIGHT: Yes, you may. We'll be in recess for five minutes.

(Short Recess)

(Exhibits 10 – 13 marked.)

JUDGE WRIGHT: All right, Mr. Fisher, you may resume.

MR. FISHER: Thank you, Your Honor.

Q. Sir, I'm handing you what has been marked as Deposition Exhibit 10. Do you recognize that as a copy of your responses to the Plaintiff's First Set of Interrogatories in this lawsuit?

MR. [MITCHELL S.] ETTINGER [associate of Mr. Bennett]: Mr. Fisher, do you have an extra copy?

MR. FISHER: I slid two over there.

A. Yes, sir. I do. I recognize this. It, it appears to be signed by Mr. Bennett.

Q. Would you please just read over the response to the interrogatory number one, which is only three lines long, and tell me whether it's still true and correct.

A. It is still true and correct.

Q. All right, thank you, sir. Now, would you please turn to the last page of Deposition Exhibit 10?

A. Yes, sir.

Q. Is that a copy of a verification, which you signed?

A. It is.

Q. I'd like to direct your attention to the words, four lines down, "to the best of my knowledge...

Pages 165 to 176 missing
Q. I was going to ask you that same question. There was not a date on the copy produced to us.

A. I don't know. Let me say, at some point I remember running into Gennifer Flowers when she moved back to Arkansas. She had been away for several years, and I, I ran into her. I didn't know she was back, and she, at some time thereafter she wrote me another letter. I know there were two letters. I don't know which one this is. I'm not – I don't want to mislead you. I just, I don't know which one this is.

Q. Let me show you another one that might help you.

A. Okay.

Q. I'm now handing you, sir Deposition Exhibit 12. Is this another letter from Gennifer Flowers to you?

A. Yes. Now this says, this one has a stamp on it, and a name. The stamp says February 25, 1991.

Q. So this would have been received after she returned to Arkansas from Dallas?

A. That's correct. This one did. But I think the other one was written some years before that, as I, as I remember.

Q. All right. Let's talk about Exhibit 12, the one that has a date on it.

A. And the, the answer to your – well, you asked me a questions about 11, didn't you?

MR. BENNETT: Mr. President let him ask the question.

A. Go ahead.

Q. What if anything did you do in response to Deposition Exhibit 12?

A. Well, there is a note up here in the left-hand corner, though it is not in my handwriting, that says Gaddy on it. Judy Gaddy, and it says Judy has not been very successful in the job hunting area, that's that this letter says. That indicates to me she's already been in touch with her. This letter was just forwarded to her. Judy, Judy Gaddy worked in the governor's office and that was her job, helping people get jobs.

Q. What, if anything, did you do in response to this letter?

A. Well, the letter itself, the copy I have doesn't indicate that I did anything. I have no recollection of doing anything except giving it to Judy Gaddy to see if she could do something to help Gennifer Flowers. She handled many cases like this where people had some difficulties and needed some help.

Q. Eventually Gennifer Flowers was hired to work as a state employee for the Arkansas Board of Review Appeals Tribunal, correct?

A. That was – some months after this, that's right. I believe that's right. I think several months after that she did get a state job. Which was a few months after this and a few years after the first letter.

Q. At the time Don Barnes was the Chairman of the Board of Review, correct?

A. I don't remember that. It certainly may be right. I don't remember who the Chairman of the Board of Review was at that time.

Q. Did you ever talk to Don Barnes about Gennifer Flowers?

A. I don't remember doing so, sir.

Q. Randall Wright was the head of the Appeals Tribunal; do you recall?

A. No, I know him. I didn't remember that he was head of the Appeals Tribunal.

Q. Did you ever talk to Randall Wright about Gennifer Flowers?

A. No, sir, I don't believe I did.

Q. You mentioned Judy Gaddy because she's mentioned in Deposition Exhibit 12, correct?

A. Excuse me. Yes, her name's up there in the left.

Q. Okay, and you think she's the person to whom you gave this letter from Gennifer Flowers after you received it?

A. I do. You asked me about this handwriting on 11, I think it's probably her handwriting, but I can't be positive.

Q. Okay.

A. She handled these matters for me, all these kinds of request.

Q. And her husband was name Bill Gaddy, correct?

A. That's correct.

Q. He also held a state employment position, right?

A. Yes, he did.

Q. What was his position in 1991?

A. I don't know what his position was in 1991. He held more than one position when I was governor. If you think you know, and you tell me I'll be grateful to know. I don't remember what his position was in 1991, because he had more that one job when I was governor.

Q. Did you ever talk to Bill Gaddy about Gennifer Flowers getting a job?

A. I don't believe I did, no sir.

Q. After she received the job, did you ever talk about Gennifer Flowers with anyone who was associated with the Board of Review Appeals Tribunal?

A. I do not remember doing so.

Q. Are you aware that a State Grievance Review Committee investigated a complaint concerning the hiring of Gennifer Flowers?

A. I have, I have a memory that there was some, that there was a complaint filed against her. I don't remember that is was about her hiring. I remember there was a complaint filed against her.

Q. Generally, outside of the context of Gennifer Flower, what was a State Grievance Review Committee?

A. I believe it was a committee set up to review the complaints of one state, of a state employee who believed that he or she had been subject to unfair treatment of some kind, and it was sort of the first resort for someone who felt that they had not been miss – that they had not been treated properly in connection with their work.

Q. In the case of Gennifer Flower, an employee named Charlotte Perry filed a grievance with the Grievance Review Committee; is that right?

A. I don't have a specific memory of it. She – there was a grievance. I remember, I have a general memory that there was a grievance.

Q. Do you recall that the committee found the procedure used to hire Gennifer Flowers was, quote, "improper," close quote?

MR. BENNETT: I'm sorry, was proper or improper?

MR. FISHER: Improper.

A. No, I don't recall that.

Q. Do you recall that the Grievance Review Committee found that Ms. Perry had been quote, "unjustly," close quote, eliminated for consideration for the job that was awarded to Gennifer Flowers?

A. No, I don't remember that.

Q. After the state grievance review committee made its findings with regard to the procedure under which Gennifer Flowers was hired, did you do anything in response to that finding?

A. I don't believe so.

Q. Do you remember talking to anyone about the finding?

A. I don't remember doing so. I don't – no. sir, I don't remember. I can't deny that I did, I just – have no memory of that at all.

Q. Did you take any action to try to reverse the decision of the Grievance Review Committee?

A. Not that I remember. Did she have other options? I don't remember what she did. I don't remember what the facts were. I have no recollection of it at all.

Q. Did you ever travel outside of Little Rock, Arkansas with Gennifer Flowers?

A. Not that I recall.

Q. Do you recall going to Los Angeles, California with her?

A. No, sir. When was this? I don't recall.

MR. BENNETT: Don't assume that it happened.

A. I don't believe I ever took a trip outside of Arkansas with Gennifer Flowers.

Q. Did you ever talk to Dolly Kyle, whose name is now Dolly Kyle Browning, about Gennifer Flowers?

A. Yes, I did.

Q. Did you tell Dolly Kyle that you had a sexual relationship with Gennifer Flowers?

A. No, quite the reverse. I told her that I did not have one. I told her that – specifically what I said to Dolly Kyle, and I have, I took notes on that, was that her story was not true, the story she had told was not true.

Q. And when did that conversation with Dolly Kyle take place?

A. It took place at my high school reunion, which was sometime in the summer of 1994 or the late spring of 1994.

Q. I'm handing you what's been marked as Deposition Exhibit 13. Is this Exhibit a copy of notes that you made of something that happened at that high school reunion?

A. It is.

Q. Toward the bottom of the second page, it looks like the handwriting changes. Is that the handwriting of Marsha Scott?

A. It is.

Q. And then after the first three pages, there's a typed transcription of the notes; is that right?

A. Yes, yes.

Q. Have you ever checked the transcription to see if it's correct?

A. I read it over rather quickly. I think it is generally correct. I mean, if you have a specific question I'll double-check it before I answer a specific question. I think is generally correct.

Q. How much time elapsed between the time of the reunion and the time when you made these notes?

A. Oh, a few days. I did it as soon as I got back to Washington, shortly after I got back to Washington. I was in Arkansas that night, that day obviously, and the next day, and then part of another day, and so it was a few days later that I did that.

Q. Did you ask Marsha Scott to make some notes as well?

A. No, I asked her, I said, I said, I asked her to listen to the conversation when it started, and she stood very close so she could hear everything, and then as soon as the conversation was over, I asked her if she had heard it, and I thanked her, and then I made these notes and I asked her if, if they were consistent with my memory, and she said yes, except I think that the, the conversation went on a little longer then you said, which I think is reflected in her comment. Also that's how this happened.

Q. Were the original notes made by Marsha Scott on the same page as your notes as is indicated by the second page of this exhibit?

A. I, I believe so, sir. I believe that's right.

Q. So you wrote your notes first and then she made hers?

A. That's correct. I asked her to read it and see if that was an accurate and complete account of the conversation, and she said she thought it was a very good account of the conversation, except she felt that it had gone on a little longer than my notes indicated, and so she indicated that in her comments.

Q. What was significant about this event that made you want to write these notes about it when you got back to Washington?

A. Well, I think she was – first of all, she was very upset. Secondly, she was mad at me for not calling her back in 1992 when she was the subject of a potential tabloid story, and she thought it manifested a lack of trust in her. Thirdly, she was made about the Gennifer Flowers story, and I told her it wasn't true, and she said other people thought it was true, and Gennifer Flowers got a hundred fifty thousand dollars, and she needed money too, now.

And then she told me about this book she was going to write, said if anybody ever asked her, she would say it was a fantasy, and I pointed out on two or three occasions how we had been friends since she was a young girl, and how I'd always tried to be her friend, and she basically said she didn't want me to be her friend and she was mad at me because I'd never been her lover, especially since she thoughts I was no Gennifer Flowers' lover, and when I told her Gennifer Flowers' story was bogus and that many, many problems with it had already been proven – it's very hand to prove your innocence in a case like this, but that we'd done it – you know, she just was very angry. That's basically what these notes reflect. And I go through, I litanize here what we said and how I tried to be a friend to her.

Q. Did she threaten to take some action such that you thought you would need these notes to protect you?

A. No, she didn't threaten to take any action but I knew she'd been through a really tough time, and, and she said that she was virtually desperate for money, her marriage had dissolved under very difficult circumstances, and she had been a title lawyer making quite a bit of money in Texas when the real estate market collapsed, and there was a lot of lawyers lost their jobs that were doing that kind of work, and I just thought for my protection when I saw the kind of look she had in her eyes and the way she was behaving I should ask Marsha to listen to it and then we should make notes after it was over. I wasn't paranoid like this until things like this occurred.

Q. Where were the notes kept?

A. I kept them in a, in a briefcase that was always either under my desk in the White House or in my little private office. That's where they were.

Q. Were they in a file folder?

A. They were. Nothing else, and they were in a file folder.

Q. With anything else?

A. No nothing else was in there.

MR. BENNETT: Your Honor, may I ask how much longer Counsel plans to be? We had indicated a four o'clock meeting, I mean, there's a little bit of flexibility there.

JUDGE WRIGHT: You may certainly ask. I'm not, you know, I'm not making any ruling or saying anything until you-all ask, you know, so –

MR. BENNETT: I'm not asking you to, Judge. Do you have any sense –

MR. FISHER: Your Honor, it might be good if you would give me a couple of minutes, and we can probably make some decisions to cut out a portion of this.

MR. BENNETT: Well, could we take a break then, Your Honor, for five minutes?

JUDGE WRIGHT: Would a break be helpful to you?

MR. FISHER: I think it would.

JUDGE WRIGHT: All right, we'll take another five minute break. That will be fine. We're in recess for five minutes.

(Short recess.)

JUDGE WRIGHT: Have you been able to make some decisions, Mr. Fisher?

MR. FISHER: Yes, Your Honor, we can be done in ten minutes.

JUDGE WRIGHT: You want to await Mr. Ettinger's return?

MR. BENNETT: I think we can proceed, Your Honor.

JUDGE WRIGHT: All right, let's proceed.

MR. FISHER: We're back on the record?

JUDGE WRIGHT: Yes, sir.

Q. Did you ever have sexual relations with Gennifer Flowers?

MR. BRISTOW: Your Honor, I want to object to that on the basis that there has not been proper predicate laid in that regard. The questioning up to this point in time indicates that the only mention of state employment came as testified to by the deponent. Your Honor has probably had access to the testimony of Gennifer Flowers, who, putting it like this, her allegations, even if believed, indicates that nothing in the nature of a sexual relationship was occurring or occurred after the time that she received any state employment, so the nexus that Your Honor has been requiring in, or the predicate, is just simply not there, and they've had ample opportunity to, you know, to develop that nexus or that predicate today, but they have not done so, and putting it like this, asking whether or not something occurred back in the early seventies or early eighties within the state employment is, we're talking about 1991, and Your Honor has previously made a ruling about the scope, '86 forward, it's just one of those areas that they should not be allowed to pursue.

JUDGE WRIGHT: All right and I'm sure Mr. Bennett agrees with you; is that correct Mr.Bennett?

MR. BENNETT: I'll join in, Your Honor.

JUDGE WRIGHT: All right. The objection is overruled. The Plaintiff's counsel may ask consistent with the Court's prior rulings. Go ahead.

MR. BENNETT: You may ask the question.

A. The answer to your question, if sexual relations are defined as –

MR. BENNETT: No, Mr. President

THE WITNESS: What?

MR. BENNETT: Go ahead.

A. That's right, that was upheld by the court. The answer to your question, if the definition is section one there in the first piece of evidence you gave me, is yes.

Q. On how many occasions?

A. Once.

Q. In what year?

A. 1977.

Q. Did you ever make sexual advances to Gennifer Flowers after that occasion which did not culminate in sexual relations?

A. No.

Q. Did she make sexual advances to you which did not culminate in sexual relations?

A. Yes. Once.

Q. When was that?

A. I don't remember. Sometime after she came back, she invited me to come and see her.

Q. Did you ever visit her at her apartment?

A. I don't believe so. Let me say, I saw her in the Quapaw Tower. I've said this before, and let me explain how this happened that I saw her. I never knew she was back in Arkansas. Contrary to her protestations, I never saw her in Texas, I never knew what she was doing there, I never had any contact with her except once in a while she'd come back to Arkansas and call and say hello and how are you.

I was going into the Quapaw Tower one night to see, I had three very, very close friends, three of my closest friends lived there, and I ran into Gennifer Flowers, and she told me she was back in town and that she was singing, and her mother was ill, and she wanted to be near her mother in southern Missouri, and I, I believe this was in the lobby of the Quapaw tower, but it could have been on the floor where her apartment was, and if so, I could have stuck my head in there for a minute or two, but I don't believe so. I'm pretty sure it was in the lobby.

Q. Is it your testimony then that that's the only occasion on which you ever saw Gennifer Flower at the Quapaw Apartments?

A. Yes. Now I believe that I might have heard her sing once during the years she was back in Arkansas, and I don't remember whether she was singing there at the place in the Quapaw Tower, or whether I heard her sing somewhere else. I just had this vague memory that I also heard her sing once, and it might have been there.

Q. But in an apartment –

A. That's correct.

Q. – or the hallway leading to the apartment –

A. That is my testimony.

Q. – there was only one time you saw her?

A. That's correct.

Q. Move up in time to when you learned that some of the state troopers who had been your security detail were making public statements and talking to reporters. Did you ask Betsey Wright to go talk to Danny Ferguson?

A. After Danny Ferguson reached out to me, I might have done that. I can't remember, because Betsey Wright knew the most about all these issues, so I might well have done that. I don't remember exactly what I asked her to do, but I might, I might well have contacted her and asked her for advice on this since she had dealt with it in the campaign.

Q. Did you talk to her about having Danny Ferguson appear in a news conference?

A. Perhaps I did. I don't recall.

Q. Did she –

A. There's some reference to that in the notes that I, that you and I went over a few moments ago.

Q. Did she ever report back to you that she had asked Danny Ferguson to appear in a news conference?

A. I don't remember. I discussed that directly with Danny Ferguson. I mean I discussed his, possibility of his making a public statement directly.

Q. And did he agree to do so?

A. No.

Q. Did he say why he would not do so?

A. Yes. He said, he said, "I feel threatened, they say they will get me if I say anything about this, and I'm just going to try to do what Ronnie Anderson says and keep my mouth shut."

From that I infer that he had gone along in hopes of getting the money and then thought better of it and didn't want to be embarrassed for the contradictory statement.

Q. While you were governor was there ever a time when you would leave the governor's mansion by yourself in a car or truck owned by one of the state troopers?

A. I don't believe I ever did that.

Q. Do you recall a time when the security guards there at the governor's mansion changed their procedure for keeping logs of who had come to the governor's mansion?

A. No.

Q. That was very awkwardly worded, I apologize. For a time there was a log made of every person who came to the governor's mansion while you were governor, right?

A. I, I don't know.

Q. Okay. Do you recall any discussion about changing the procedure for keeping track of who comes to the governor's mansion?

A. I don't remember. I don't remember how they kept records, who kept them, who, where they were – what the repository was.

Q. Do you recall any discussion of the, of the change in the practice of keeping all of the old phone logs that would reflect all the calls made to the governor's mansion?

A. No, I don't. Now, could you ask that question again?

Q. Do you recall any discussions, sir, about changing the procedure with regard to keeping phone logs of phone calls made to the governor's mansion?

A. Phone calls made to the governor's mansion. No, sir, I don't, I don't recall that.

Q. Do you recall travelling to Denver, Colorado, with L.D. Brown and staying in the Brown Palace Hotel?

A. When was that?

Q. I don't know.

A. I have no idea if L.D. Brown was there. I went to the Brown Palace in 1980 to the Governor's Conference. The Governor's Conference was held in Denver in 1980, and I remember being in the Brown Palace. I'm sorry, I don't remember if I actually stayed there, if that's where we stayed, I remember being there.

Q. Do you recall a trip to Portland, Maine, with L.D. Brown?

A. I have no idea if L.D. Brown was there. I was in Portland, Maine, at the Governor's Conference in 1993 with my family, 19 – excuse me, 1983. 1983.

Q. All right. There was a state trooper with you, you just don't remember if it was L.D. Brown?

A. There probably were two. Normally, normally I think two of them went when I went to the Governor's Conference because there was more work to do.

Q. Let's go back to the trip to Denver. Do you recall during that trip ever asking a state trooper to get the name and phone number of a woman that you had seen?

A. Absolutely not.

Q. And same questions for the trip to Portland, Maine, did you ever ask a trooper to get the name and phone number of a woman that you saw?

A. Absolutely I did not. Are you asking me about L.D. Brown?

Q. Any trooper that accompanied you on that trip to Portland, Maine.

A. Well, I did not do that, but L.D. Brown did a lot of things, it was well known, for himself, that he tried to lay off on to other people, and I think his reputation is legendary enough that if you talk to enough people involved in security they will tell you the same thing.

Q. Do you know a woman named Cathy Ford?

A. Cathy Ford? There's a woman named Cathy Ford who use to work for me.

Q. Did you ever ask her to talk to L.D. Brown about keeping quiet concerning anything?

A. Not, not that I remember. I might have asked somebody to ask L.D. Brown not to lie, but that would be a fruitless request.

Q. Did you ever have a conversation with Dolly Kyle in which she told you that she had come to the conclusion that she had a sexual addiction?

A. I do not believe so.

(Off-the-record discussion.)

MR. FISHER: At this time,Your Honor, we have no further questions.

JUDGE WRIGHT: Very well. Mr. Bristow?

MR. BENNETT: Could I see Mr. Bristow? Could we take a minute, please?

JUDGE WRIGHT: You may.

MR. BRISTOW: Can we go off the record, Your Honor?

JUDGE WRIGHT: You can go off the record. We'll take a brief recess. I think they're probably trying to cut the time.

(Short recess.)

Cross Examination by Bill Bristow

Q. Mr. President, I am Bill Bristow, and I represent Danny Ferguson. I have a very brief number of questions for you. As you know, the Plaintiff in this case has alleged that Danny Ferguson and yourself entered into some form of an agreement or a conspiracy to violate the rights of Paula Corbin Jones, and I want to ask you to tell me, and the jury may get to hear this testimony, I want you to tell us in terms, very clear terms, whether you and Mr. Ferguson ever had some sort of an agreement or a conspiracy with regard to violating the rights of Paula, Paula Corbin Jones.

A. No, sir, we did not.

Q. You have, you have indicated that you don't have any recollection of meeting Mrs. Jones on this particular day, but if you and Mr. Ferguson had arrived at some sort of conversation, some sort of an agreement, some sort of a conspiracy, that would be something you would remember, would it not, Mr. President?

A. Well, of course, but I didn't do that.

Q. And the point is, are you able to categorically say that there was never any sort of agreement, never any sort of conspiracy between yourself and Mr. Ferguson with regard to his bringing Paula Jones to meet you or anything like that?

A. Yes.

Q. All right. Now, Mr. President, when you were governor of Arkansas, or even as attorney general, before you ran for president, from time to time when you would be at official functions, did you not find that people wanted to meet you and to be able to be in your presence just, just to meet you? Did you not find that to be common?

A. Yes sir, it was quite common.

Q. And as someone who was in the political arena, actually the fact that people had feelings about you where they would express the right of express the desire to meet you as a person who was holding elective office, was that something you would consider a good thing, that people would want to, to meet you?

A. Yes, sir, I did.

Q. And insofar as those requests would be made, if you were in a position to allow someone to talk to you to fulfill that request to meet you, did you try to do that from time to time?

A. I did that many times.

Q. And not even talking about the number of people that you would have met since you began running for president, but in your time as governor of Arkansas up through May of 1991, would you imagine that there are literally hundreds and thousands of people that you met from time to time who they may remember a meeting with you, but you were, as the governor, were just simply being nice and talking to people that had expressed a desire to meet you?

A. I would think there were several people who would, many people who would remember that they met me, shook my hand, talked to me for a few minutes, that I might not remember, yes.

Q. And a member of your security detail, a state trooper such as Mr. Ferguson, if a constituent of the state of Arkansas, if a, a taxpayer, a voter of the state of Arkansas expressed a desire to meet you, to make your acquaintance, would you not want Mr. Ferguson to bring that to your attention, or any other member of your security detail, if a prospective voter or a taxpayer had made such a request?

A. Yes, or a child, or anybody from the state, or course I would.

MR. BRISTOW: Mr. President, that's all the questions I have, thank you.

Cross-examination by Robert Bennett

Q. Mr. President, all right, you recall earlier today that Mr. Fisher asked you several questions about Miss Lewinsky?

A. Yes, sir, I do.

Q. And do you recall there was a discussion about an affidavit of Miss Lewinsky, generally?

A. Yes, sir, I remember that.

Q. I'm going to read you certain portions of Miss Lewinsky's affidavit, Miss Lewinsky, also known as Jane Doe Number 6, says as follows: "In the course of my employment at the White House I met President Clinton several times. I also saw the president at a number of social functions held at the White House. When I worked as an intern, he appeared at occasional functions attended by me and several other interns. The correspondence I drafted while I worked at the Office of Legislative Affairs was seen and edited by supervisors who either had the president's signature affixed by mechanism or, I believe, had the president sign the correspondence itself."

Is that an accurate and true statement, to the best of your knowledge?

Q. It's an accurate and true statement about how the correspondence is handled in the Congressional Affairs Division. I can't – I know of no reason why the rest of it's not accurate.

MR. FISHER: Your Honor, excuse me –

A. I don't know directly whether it's all accurate.

MR. FISHER: Just wanted to make clear, Your Honor, that since this is a discovery deposition, that hearsay objections are reserved and need not be made.

MR. BENNETT: I agree with that.

JUDGE WRIGHT: Absolutely, and that's the reason I was trying to say when I came back from lunch that even though I'm permitting Mr. Bennett to do this, if this is ever used at trail, the Rules of Evidence would apply, and as stated before, the Rules of Evidence don't apply in this discovery deposition. Go ahead.


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