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RANIA D. SUKKARY vs. TAMIR E.

SUKKARY
Transcript of Proceedings on 11/07/2014

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1 SUPERIOR COURT OF THE STATE OF CALIFORNIA


2 IN AND FOR THE COUNTY OF SACRAMENTO
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_________________________________
)
RANIA D. SUKKARY, )
)
Petitioner, )
)
vs. )CASE NO: 14DV02324
)
TAMIR E. SUKKARY, )
)
Respondent. )
_________________________________)

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14 REPORTER'S TRANSCRIPT OF PROCEEDINGS
15 RESTRAINING ORDER CONTESTED HEARING
16 FRIDAY, NOVEMBER 7, 2014
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24 REPORTED BY: NICHOLE THUT, CSR, RPR
CSR #13655
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A P P E A R A N C E S
FOR THE PETITIONER: CRIMMIGRATION, INC.
Attorneys At Law
2921 Fulton Avenue
Sacramento, CA 95821
PHONE: (916) 877-5577
FAX: 1-866-828-7898
BY: SAHREEN MANZAR, ESQ.

FOR THE RESPONDENT: LAW OFFICE OF MICHELLE STOWELL


Attorney at Law
455 University Avenue
Suite #370
Sacramento, CA 95825
PHONE: (916) 993-4999
FAX: (916) 993-4992
BY: MICHELLE STOWELL, ESQ.

ALSO



PRESENT:



HONORABLE PETER J. MCBRIEN


Commissioner
3341 Power Inn Road
Department 125
Sacramento, CA 95826

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1 INDEX OF EXAMINATION
2 PETITIONER'S WITNESS: PAGE:
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Pages 2..5

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Rania Sukkary
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Further Direct Examintion by Ms. Manzar ............5
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Cross-Examination by Ms. Stowell ...................8
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Redirect Examination by Ms. Manzar ................30
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RESPONDENT'S WITNESS: PAGE:
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Tamir Sukkary
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Direct Examination by Ms. Stowell .................33
Cross-Examination by Ms. Manzar ...................55
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EXHIBIT INDEX
EXHIBIT IDENTIFIED MARKED ADMITTED 14
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PETITIONER'S EXHIBITS:
Exhibit L 7
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RESPONDENT'S EXHIBITS:
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Exhibit 3 11
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Exhibit 5 10
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Exhibit 6 14 15
Exhibit 7 20 21
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Exhibit 9 23 24
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Exhibit 10 17
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FRIDAY, NOVEMBER 7, 2014


-oOo The above-entitled matter came on regularly this
date in the Superior Court of California, County of
Sacramento, before Honorable PETER J. MCBRIEN,
Commissioner, presiding.
The Petitioner, RANIA SUKKARY, was represented by
SAHREEN MANZAR.
The Respondent, TAMIR SUKKARY, was represented by
MICHELLE STOWELL.
NICHOLE THUT, CSR, Certified Shorthand Reporter,
was present and acting.
The following proceedings were had and taken, to
wit:
PROCEEDINGS
-oOo THE COURT: I believe we're probably ready for
cross-examination.
Are you finished?
MS. MANZAR: I'm sorry, Your Honor, no, I'm not
done with - THE COURT: I'm sorry?
MS. MANZAR: Sorry, Your Honor. I'm not -- we
weren't done on direct examination yet.
THE COURT: Counsel, in chambers, please.
Page 5

(Recess taken.)
THE COURT: If you would resume the stand. You
are still under oath for this proceeding.
DIRECT EXAMINATION (Continued)
Q. BY MS. MANZAR: Good afternoon, Ms. Sukkary.
A. Yes.
Q. Ms. Sukkary, how did you come to know about the
restraining order application process?
A. When I met with the police, and when I did the
order about my husband, Tamir Sukkary, the police
officer told me about the restraining order.
Q. When did you file the restraining order,
Ms. Sukkary?
A. I applied for the restraining order 22,
August, 2014.
Q. Were you able to file it on August 22nd, 2014,
Ms. Sukkary?
A. No.
Q. Why couldn't you file it that day?
A. Because I mentioned the name of the two girls
that -- Selma Sukkary and Emira[verbatim] Sukkary, and I
have nobody -- I have no -- I'm not adopting those kids.
So I have to remove them from the application.
Q. After you -- when did you file the restraining
order in this courthouse, Ms. Sukkary?

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A. I applied in August 27, 2014.


Q. Were you able to serve the defendant in time,
Ms. Sukkary, for your hearing?
A. No, I didn't have enough time so I could
apply -- give it to him.
Q. How was -A. So I didn't have time to -- to serve him.
Q. How was the Respondent served with the temporary
restraining order, Ms. Sukkary?
A. I came to the court, came in in September 17th,
2014, and he was in court because when the judge asked
him how nobody serve you and you came over because he
applied for the divorce paper. Then that's why they
inform him he have restraining order against him.
Q. Has he tried to contact you since you filed the
restraining order, Ms. Sukkary?
A. No. When he was notified, he didn't get in
touch with me.
Q. Has he ever tried to contact you in any means of
communication, Ms. Sukkary?
MS. STOWELL: Objection. It's vague and
ambiguous.
THE COURT: Sustained.
MS. MANZAR: All right. Your Honor, I move to
admit what's been marked as Plaintiff's Exhibit L for

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identification. I've spoken to opposing counsel about


it.
THE COURT: Any objection?
MS. STOWELL: No. I have no objection to it. I
would just like the Court to know that the restraining
order was filed or served on September 17th and what's
being asked to be admitted is dated September 8th, 2014.
THE COURT: Okay. It will be admitted.
(Petitioner's Exhibit L admitted into evidence.)
MS. MANZAR: Thank you. Your Honor, may I
please approach the witness?
THE COURT: You can.
Q. BY MS. MANZAR: Ms. Sukkary?
A. Yeah.
Q. Whose e-mail address is that on the document?
A. My husband, Tamir Sukkary.
Q. And what was he asking you for?
A. First e-mail, he asked me about my address. The
second e-mail he told me that he paid to Kaiser $100 for
the emergency room.
Q. Did you give him your address, Ms. Sukkary?
A. No. No, I did not give it to him.
Q. Why?
A. Because I'm scared of him and I don't want to
let him know where I'm living and I don't want him to

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follow me and cause me more problem.


Q. Why do you feel that you need the restraining
order, Ms. Sukkary?
A. Because I need the restraining order because my
husband, Tamir Sukkary, he cause me so many violence.
House violence. And physical -- physical, also, abuse.
And also -- cause me also psychological abuse. And
sexual also abuse. And economy abuse.
MS. MANZAR: No more questions, Your Honor.
THE COURT: Cross?
CROSS-EXAMINATION
Q. BY MS. STOWELL: Isn't it true, that you studied
for your Canadian citizen exam in English?
A. Yes.
Q. And you took your citizen exam in Canada in
English, correct?
A. Yes.
Q. And you took your California driver's license
exam in English, correct?
A. Yes.
Q. And when you volunteered at UC Davis you spoke
in English, correct?
A. Yes.
Q. And currently you have a teaching job at the
SALAM center where you will be teaching in English,

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correct?
A. Not much in English. Mostly in Arabic.
Q. Are your students English speakers?
A. The student speak two languages: English and
Arabic.
Q. Have you been divorced previously?
A. Yes.
Q. And you have one child from that marriage,
correct?
A. Yes.
Q. You have family in Canada, don't you?
A. Some of them.
Q. You have three brothers, correct?
A. No. Not three.
Q. How many?
A. Two.
Q. Two. Okay.
When you were in Canada, you worked for the
Saudi government, correct?
A. That's correct.
Q. Okay. And I imagine that was a good job, wasn't
it?
A. Yes.
Q. You first allege that Tamir physically abused
you in November of 2012, correct?

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A. Yes.
Q. And that he continued to physically abuse you
throughout your marriage to him, correct?
A. Correct.
MS. STOWELL: Okay. Let the record show that I
am showing Petitioner Respondent's Exhibit 5. May I
approach, Your Honor?
THE COURT: You may.
Q. BY MS. STOWELL: Do you recognize that document?
A. Yes.
Q. What is that document?
A. This is the ticket, this is the ticket I went to
Canada, and I used it first time I went to Canada after
my marriage.
Q. Is this a true and correct copy of that, your
itinerary?
A. Yes.
MS. STOWELL: Okay. I ask that it be moved into
evidence.
THE COURT: Any objection?
MS. MANZAR: No, Your Honor.
THE COURT: Received.
(Respondent's Exhibit 5 admitted into evidence.)
Q. BY MS. STOWELL: So you took a trip to Canada
between April 17th, 2014, to April 12th, 2013, by

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yourself, correct?
A. You're talking about April 2012?
Q. I'm sorry, April 2012 -- well, I think it's
April 2013.
A. But you just said -- you just said 2012.
Q. No, I'm sorry.
A. I meant 2013, my mistake.
Q. If you could answer it audibly.
A. Yes.
Q. And after you went to Canada by yourself, you
returned to the marital residence, correct?
A. Yes.
MS. STOWELL: Okay. I would like to show
Petitioner's -- Petitioner Respondent's Exhibit
4[verbatim].
If I could have that marked.
(Respondent's Exhibit 3 marked for identification.)
Q. BY MS. STOWELL: Do you recognize that document?
A. Yes.
Q. What is that document?
A. This is a ticket to show that I went to Canada
to get my citizenship.
Q. Okay. And this is a true and correct
representation of the ticket?
A. Yes.

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Q. So you took a trip from Canada from December


15th to December 18th, 2013, correct?
THE INTERPRETER: December 15th?
MS. STOWELL: 13th through 18th, 2013.
THE WITNESS: Yes. That's correct.
Q. BY MS. STOWELL: Tamir did not accompany you on
this trip, correct?
A. No.
Q. And after this trip you returned to the marital
residence, correct?
A. Yes.
Q. Now, you allege that in late January of 2014
Tamir hit you on the foot, correct?
THE INTERPRETER: 2014, you said?
MS. STOWELL: 2014.
THE WITNESS: No.
Q. BY MS. STOWELL: Previously with the picture
that you presented it shows a date in January of 2014.
So are you saying that picture is not correct?
A. I understand from you you said June 2014.
Q. No. January 2014.
A. That's correct.
Q. Okay. So just to repeat, you allege that in
late January 2014 Tamir hit you on your foot, correct?
A. Yes.

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Q. Okay. And you took a picture of this injury


after it happened, correct?
A. Correct.
Q. And it's a pretty substantial injury, correct?
A. Yes.
MS. STOWELL: Okay. If I could ask next to have
marked as Exhibit 3...
No, I think actually what I just had marked was
incorrect. The one that you have in front of you is
Exhibit -- it's Exhibit 3. And I mismarked it. It
should have been Exhibit 3.
Q. BY MS. STOWELL: So on Exhibit 3, is it true
that you took a trip to Canada between January 29th to
February 6th, 2014, by yourself?
A. That's correct.
Q. And that is after the injury Tamir inflicted on
your foot, correct?
A. That's correct.
Q. Okay. And you returned to the family residence
after that incident, after your trip, correct?
A. Correct.
Q. And Tamir did not accompany you on this trip,
correct?
A. No.
Q. Okay. It's correct, though, that he did not

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accompany you?
A. That's -- yes.
Q. You went to a doctor's office on July 10th,
2014, correct?
A. Correct.
MS. STOWELL: Okay. I'd ask this to be marked
as Exhibit 6. It's Respondent's Exhibit 6.
(Respondent's Exhibit 6 marked for identification.)
MS. STOWELL: May I approach, Your Honor?
THE COURT: You may.
Q. BY MS. STOWELL: Okay. Do you recognize this
document?
A. Yes.
Q. What is that document?
A. This is medical report for me. First of all, my
doctor -- my doctor's name is Rakhshi Kahn. She gave me
a sample test -- examination about -- and I don't have
the typical stenosis disease.
Q. Is that a true and correct copy of your medical
record?
A. Correct.
MS. STOWELL: Okay. I ask that this be admitted
into evidence as Respondent's Exhibit 6.
THE COURT: Any objection?
MS. MANZAR: No, Your Honor.

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THE COURT: It will be received.


(Respondent's Exhibit 6 admitted into evidence.)
Q. BY MS. STOWELL: All right. If you could,
please -- or actually I will read it and have it
translated into Arabic.
You read English, correct?
A. Yes.
Q. So does this record reflect the following:
"Spoke with patient regarding fear to go home.
She states husband had never hit her or physically
abused her at this time but fears he may at some point.
Husband is verbally abusive and puts her down. Mostly
happens at night and patient unsure what to do."
Is that correct? Is that what that document
says?
A. Yes, but I didn't tell my doctor all the truth.
Q. Okay. But that's what your medical records say,
correct?
A. That's correct.
Q. Okay.
A. But I want to say something.
Q. You need to answer the questions as I ask them,
please.
A. Okay. Go ahead.
Q. In July of 2014, at that medical appointment,

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you did not bring up that you had a bruise on your foot
that occurred in January, correct?
A. Correct.
Q. Okay. And isn't it true that around this time
in early July of 2014 that Tamir and his mother
suggested that you get a physical separation from each
other, correct?
A. Correct -- wrong.
Q. Isn't it true, though, that if your marriage is
of a short duration that your status in the United
States could be compromised?
A. About what?
Q. That it's possible that you would not be able to
stay in the United States.
A. No.
Q. Okay. So is it true that you didn't want to
share with your doctor the physical abuse, correct?
A. Because I didn't tell the doctor because my
husband in July 6, 2014, he threatened me that he will
call the police and will claim that I stole his car.
Q. But yet in the medical record you felt
comfortable enough to share with your doctor that you
were concerned about verbal abuse, correct?
A. Correct. Yes. But I didn't tell him -- tell
the doctor everything because I was scared, and I don't

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want to put my husband in jail.


Q. If you could please answer the questions that I
ask.
THE WITNESS: Okay.
Q. BY MS. STOWELL: Now, you allege that on August
10th that your husband kicked you on the feet and legs
and shins, correct?
I have your deposition transcript. If you like
we can refresh your recollection.
A. Okay.
MS. STOWELL: Okay. Your Honor, this is
Respondent's Exhibit 10. It's a sealed transcript. And
if I may approach, Your Honor, would you like me to
lodge it with the Court?
THE COURT: Sure. Thank you.
(Respondent's Exhibit 10 identified for the record.)
MS. STOWELL: If I can draw your attention to
page 61 starting on line 18. And I will read it and if
you can follow along with me.
Your Honor, do you want me to give her a copy of
the deposition?
THE COURT: Do you wish to have a copy so you
can follow in English?
THE WITNESS: Yes.
MS. STOWELL: Okay. This is Exhibit 10, and

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it's the transcript that the Court has.


THE COURT: I have an extra copy here.
MS. MANZAR: I do as well.
THE COURT: Okay.
MS. STOWELL: And Your Honor, I ask that the
deposition be moved into evidence.
THE COURT: Is that premature?
MS. STOWELL: I know it's premature. I just
thought I would get it done with.
Q. BY MS. STOWELL: If I could have you -- on page
61, line 18:
"He started kicking me with his feet on my knees
and legs."
He kicked you -- then the question on line 21:
"So he kicked you on your knees and legs and
shin. Which knee?
"Both two of them."
Okay. And then next page.
A. Okay. Which page?
Q. The next page, 62:
"Where was -- where were the bruises on your
knees and legs?"
I am going down to line 7:
"The bruise was only under the knee, but I had
sore, especially sore on my hip, at the shin but more

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bruises under the knees."


Okay. Okay. If I can then show you page 66,
beginning line 8 -- now, is that true, is that a
representation of what you said at your deposition?
A. Yes, but I want to say something.
Q. Right now the question before you is: Is that a
correct statement as to what you said at your
deposition?
A. This is in -Q. This is August 10th.
A. It's August 10th, yes.
Q. And if I could draw your attention to -- to page
66. Let me see. Okay. We will just leave it at that.
So you had bruises on your legs under the knees,
correct?
A. Correct.
Q. Okay. All right. And these were pretty
significant bruises on your legs, correct?
A. Yes.
Q. But yet you didn't take pictures of these
bruises until the 24th of August, correct?
A. Correct.
Q. And wasn't the bruising so bad that it was -you could see it 14 days later when you actually took
the picture, correct?

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A. Correct.
MS. STOWELL: Okay. I have Petitioner -- or
Respondent's Exhibit 7. And if I may approach?
THE COURT: You may.
(Respondent's Exhibit 7 identified for the record.)
Q. BY MS. STOWELL: Do you recognize that document?
Do you recognize this document?
A. Yes.
Q. And what is this document?
A. This is a medical report also with my doctor.
Q. Okay. And this is a medical report from August
14th, correct?
A. Correct.
Q. And you had a physical exam at this medical
appointment, correct?
A. The area where I was complaining.
Q. Okay. And your doctor is a Muslim, correct?
A. Muslim, yes.
Q. And she's a female?
A. Yes.
MS. STOWELL: Your Honor, I ask that Exhibit 7
be moved into evidence.
THE COURT: Any objection?
MS. MANZAR: No.
THE COURT: It will be received.

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(Respondent's Exhibit 7 admitted into evidence.)


Q. BY MS. STOWELL: Let me count the pages. It's
on the second page of the report, it has a number 22 on
the bottom right-hand corner. And I just want you to
make sure that I'm correctly reading this:
"Also notes concern with her current marriage.
No injuries. Notes trying to separate from her current
husband. Notes verbal abuse. Does not feel unsafe
returning to home."
Is that correct? And that's what's written in
your medical record?
A. Correct.
Q. Okay. Isn't it true that on August 10th, the
date that you alleged that Tamir kicked you on the leg
and caused bruising so severe that you could take a
picture of it two weeks later, that his oldest daughter,
Selma, was present in the house?
THE INTERPRETER: Sorry. You said Selma was
home?
MS. STOWELL: Selma.
THE WITNESS: I don't understand. What Selma -she was home? What is the question?
Q. BY MS. STOWELL: On August 10th, 2014, she was
present?
A. No. No, she was not there.

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Q. Okay. You filed a police report on August 20th,


correct?
A. Yes.
Q. The only pictures, the only pictures that you
provided to the police were pictures of a bruise on your
foot that you allege Tamir caused in January 2014,
correct?
A. Correct.
Q. You did not provide them any pictures of
bruising on your legs, correct?
A. Correct.
Q. Okay. Isn't that because there really wasn't
any bruises on your legs on August 20th when you spoke
to the police?
A. No. But there were the bruises.
Q. Okay. And aren't you bringing this action today
because if the Court finds that he's committed domestic
violence against you you'll be permitted to stay in the
country?
A. No.
Q. Okay. So you have no fear that you're going to
be deported?
A. My husband threaten me a lot.
Q. That's not my question. I ask that you please
answer my question.

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Do you have any fear that you will be deported


if this domestic violence action is not found against
Tamir Sukkary?
A. No.
MS. STOWELL: Okay. If I may approach with -this is Respondent's Exhibit 9.
If I may approach the witness?
THE COURT: You may.
(Respondent's Exhibit 9 identified for the record.)
Q. BY MS. STOWELL: Do you recognize this document?
Do you recognize this document?
A. Yes.
Q. Okay. And what is this document?
A. This is the medical report. Doctor specialty
from Kaiser. She is -- she is the doctor family, my
doctor. She sent me to this doctor so she could help
me.
Q. Okay. Is this a true and correct copy of your
medical records?
A. Yes.
MS. STOWELL: Okay. I ask that Respondent's
Exhibit 9 be moved into evidence.
THE COURT: Any objection?
MS. MANZAR: No objection.
THE COURT: It will be received.

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(Respondent's Exhibit 9 admitted into evidence.)


MS. STOWELL: Okay. Thank you.
Q. BY MS. STOWELL: All right. I'm going to read
to you part of the medical record, and I want you to
confirm this is what the medical record says:
"She explained that she's in urgent need of
shelter. Husband kicked her out of the house on
August -- in August 2014. She has been living at
shelters, at friends' houses and motels for the last
month. She reports that she has no place to stay
tonight."
And if we go down just a little bit, it says:
"Husband had originally sponsored her, signed
documents stating that he would financially support her
for ten years. Patient has no source of income at this
time. She is in danger of losing her green card and for
being deported."
Isn't that true that's what your medical record
says?
A. Correct.
Q. During your marriage to Tamir, did you take his
two daughters to Barnes & Noble on the weekends?
A. Yes.
Q. And isn't it true that you, with Tamir and his
children, would go to Barnes & Noble during the evening

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hours on the weekends?


A. Not necessarily.
Q. Did it happen often?
A. It happened several times, yes.
Q. And you've stated that you're scared of Tamir,
correct?
A. Correct.
Q. You're so scared you don't want him to know
where you're living, correct?
A. Correct.
Q. Because you're so scared of him that he might
commit domestic violence against you if you were to come
in contact with him, correct?
A. Correct.
Q. And the restraining order that you received and
that was in effect is just a conduct only order,
correct?
THE INTERPRETER: Could you repeat it again,
please?
MS. STOWELL: Sure.
Q. BY MS. STOWELL: The restraining order that was
in effect is only a conduct order, correct? The Court
has not ordered that he has to stay away from you,
correct?
A. How the Court didn't say stay away from me? No,

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RANIA D. SUKKARY vs. TAMIR E. SUKKARY


Transcript of Proceedings on 11/07/2014
Page 26

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he's supposed to be staying away from me.


Q. That's not what the current order says. In
fact, at our last hearing they explained to you that the
conduct order was only in effect. There was no
stay-away order, correct?
A. Yes.
Q. Okay. Did you go to Barnes & Noble on Saturday
September 27th around 7:30 p.m.?
THE INTERPRETER: 27?
MS. STOWELL: 27th of September.
THE WITNESS: No. September 27?
MS. STOWELL: Correct.
THE WITNESS: Saturday, 27? Saturday, September
27th?
Q. BY MS. STOWELL: Were you at Barnes & Noble near
Tamir's house on September 27th around 7:30 p.m.?
A. It's not -- close to the home, it's not next to
the home.
Q. Okay. Were you at a Barnes & Noble on September
27th at 7:30?
A. I was before 7:30.
Q. Okay. Did you see Tamir and his daughters at
that bookstore that night?
A. No.
Q. All right. Were you at SALAM center school on

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August 28th at eleven a.m.?


A. Yes.
Q. Isn't this the time that Tamir drops his kids
off for Sunday school at the SALAM center?
A. It's not a condition. The schedule for the kids
has been changed.
Q. When you -- you had previously testified that
Tamir dropped -- it was the usual and customary habits
for Tamir to drop the children off at 11:30 on Sunday
and pick them up around 2:30. Are you now retracting
that testimony?
A. No, but -- but I want to clear that not every
Sunday he goes -- not every Sunday or every two Sunday
or three Sunday. It depend on...
Q. But he does -- if the children are attending
Sunday school, Tamir would be dropping them off around
11:30, correct? Eleven -- excuse me, eleven o'clock?
A. If the kids with him. But if the kids is not
with him, he won't come.
Q. Okay. But if he has the kids, which is every
other weekend, he would drop them off around eleven
o'clock on Sundays, correct, for Sunday school?
A. If they are with him, yes.
Q. Okay. Did you see Tamir dropping his girls off
on Sunday, September 28th?

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A. What day?
Q. September 28th.
A. I saw him by himself when he was leaving the
school.
Q. Okay. Did he try to approach you?
A. He was in the car, and he left the school right
away.
Q. Okay. But my question to you, and I would
appreciate if you would answer it: Did he try to
approach you?
A. No, because he already know about the
restraining order.
Q. As you previously have already testified, the
restraining order does not prevent him from talking to
you or coming near you, correct?
A. Me, I understand from the restraining order that
he's not supposed to get in touch with me or to come
close to me or to call me.
Q. No, we had talked to this before in your
previous testimony. The only order that is currently in
effect is a conduct order. So please just answer my
question.
Did Tamir try to approach you at the school on
August 28th, that Sunday?
A. No.

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Q. Okay. Did you see Tamir that same day at Panera


Bread?
A. Yes.
Q. Did he try the approach you at Panera Bread?
A. No.
Q. Okay. When you saw Tamir at Panera Bread, did
you leave immediately?
A. No. He left.
Q. Isn't it true that at Panera Bread you were
sitting at a table that was near his car?
A. I didn't sit next to his car, and I didn't see
his car. But when he left, he got to the car, I saw
him, and he leaving into that car. And the car was
close to the area where I was sitting, yes.
Q. And this is not a car that Tamir has recently
purchased, correct?
A. Correct. No.
Q. So this was a car that he had during your
marriage, correct?
A. That's correct.
Q. In your statement previously, on August 18th,
you stated that you left the house in the car, correct?
A. Correct.
Q. But you chose to come back to the house. You
didn't just leave in the car, correct?

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RANIA D. SUKKARY vs. TAMIR E. SUKKARY


Transcript of Proceedings on 11/07/2014
Page 30

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A. I didn't understand the question.


Q. Okay. You say that you left to get some
groceries on Sunday, August 18th, correct?
A. Correct.
Q. Oh, I'm sorry, Monday. I'm sorry, my fault.
Monday, August 18th. I'm sorry, August 18th was a
Monday.
A. Correct.
Q. And you took the car that day, correct?
A. Correct.
Q. And you came back to the house afterwards?
A. Correct.
Q. Right.
MS. STOWELL: Okay. No further questions.
THE COURT: Any further questions?
MS. MANZAR: Yes, Your Honor.
REDIRECT EXAMINATION
Q. BY MS. MANZAR: Ms. Sukkary?
A. Yes.
Q. On July 10th, 2014, you visited your doctor,
Dr. Kahn, correct?
A. Yes.
Q. Ms. Sukkary, why didn't you tell Dr. Kahn about
the physical abuse that your husband had inflicted
earlier on you on July 10th, 2014?

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A. First of all, I was scared for my husband, and


especially when he -- he threatening me in July 6th,
July 6th, 2014. And I have no -- no family, no friend
to go -- to go and get protection over there. I was
scared. And at the same time, I'm trying to -- I'm
trying to save my marriage, as we agree, me and his
mother when she came to home in June 22nd, 2014. For
that reason, so I try to give him a last chance to my
husband, so if it's possible so we could correct and
solve this marriage.
Q. Ms. Sukkary, had anything happened preceding
July 10th, 2014, that prevented you from reporting that
abuse?
A. Yes.
Q. What happened?
A. My husband called me and threatening me that he
will tell the police that I stole his car. I was
waiting for him in the parking.
And I could show Your Honor, the judge, there is
evidence on that. You want me to come to you?
MS. MANZAR: Please.
MS. STOWELL: Your Honor - THE COURT: It's not being contested.
No, no.
MS. MANZAR: Your Honor, I have Petitioner's J

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and K for identification. Would you please allow me to


play that threatening voice mail that Respondent left on
Petitioner's phone?
MS. STOWELL: I object to the characterization.
Number 2, it was not pled in the initial pleadings.
THE COURT: It was not pled, but it would have
been as a result of the discovery.
MS. MANZAR: Yes.
THE COURT: Have you heard it?
MS. STOWELL: I have not heard it.
THE COURT: You have not heard it? Then I will
sustain the objection based upon the nondisclosure that
you can't present it at trial.
MS. MANZAR: Your Honor, I provided it to
counsel earlier this week. She has a recorded copy.
It's been provided to opposing counsel.
MS. STOWELL: It was not until the trial
started. It was provided the date of - MS. MANZAR: Your Honor - THE COURT: It was privileged information. I
have taken notice pursuant to your request, judicial
notice of this trial. And I've read through the file,
so...
Okay.
MS. STOWELL: Okay.

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THE COURT: So I will sustain the objection.


MS. MANZAR: All right. No further questions,
Your Honor.
THE COURT: Okay.
MS. STOWELL: No further questions, Your Honor.
THE COURT: You may step down. Thank you.
Next witness.
MS. STOWELL: Tamir Sukkary.
THE CLERK: Would you please raise your right
hand.
Do you solemnly state the testimony you're about
to give shall be the truth, the whole truth and nothing
but the truth?
THE WITNESS: I do.
THE CLERK: Please be seated.
Please state your name and spell it for the
record.
THE WITNESS: Tamir Sukkary. First name spelled
T as in Tom, A, M as in Mary, I-R. Last name Sukkary.
S as in Sam, U-K-K-A-R-Y.
THE CLERK: Thank you.
DIRECT EXAMINATION
Q. BY MS. STOWELL: Mr. Sukkary, what country were
you born in?
A. United States of America.

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Transcript of Proceedings on 11/07/2014
Page 34

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Q. And what's your educational background?


A. I have a Master's degree in political science.
Q. Do you have an undergraduate degree?
A. I have a Bachelor's in government with a
concentration in international relations from Sacramento
State University.
Q. Have you ever physically abused your current
wife?
A. No.
Q. Have you ever threatened her with physical
abuse?
A. No.
Q. We've seen pictures of a bruise on Petitioner's
foot that happened in January 2014. Do you know
anything about this injury?
A. Yes. I remember that injury on her foot. And
she got it, to the best of my recollection, from her
trip and fall that she had at Sac City College in
January of this year. I was going there to do some
preparation before the semester began, and she was
behind me after I picked up my mail and she tripped and
fell down the stairs.
Q. So this injury is not as a result of you
punching her foot?
A. Absolutely not.

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Q. You filed for divorce, have you not?


A. I have.
Q. And when did the difficulty in your marriage
began?
A. We had problems in your marriage from day one,
but they got particularly bad in the end of June, early
July.
Q. Okay. Can you explain to us how they got
particularly bad?
A. Yes, I would be happy to.
Unfortunately, the biggest issues we had in our
marriage is that Rania was not able to communicate with
me in a respectful manner. She repeatedly disrespected
me and insulted me in front of my daughters. I asked
her to please stop several times. She did not. It
continued. Some of the insults included she told me to
eat feces -- I'm putting it nicely. She told me to shut
up. She used the F word against me a few times.
And -- she would interrogate my daughters, and
that was very troubling to me. Much of this verbal
abuse and insults occurred in front of my daughters.
And as a loving father, I, like any parent, would want
to protect their kids. And unfortunately, my daughters
were exposed to this way too much. And I tried to have
my mother come over and salvage the marriage.

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Unfortunately, the verbal abuse and disrespect


continued. It just seemed like she wanted to denigrate
me. And at that point, I tried to be patient. I had
Mr. Badaway come over and the abuse continued.
She also, at one point when we had a dispute,
threw a teacup in my direction, and it broke. And there
were other occasions where we were having a dispute and
I would go upstairs in my room -- because whenever that
happens I like to have some alone time and have a
cooling off period -- and she would follow me into the
room, pound on the door several times and yell at me,
ask me to open the door. And my daughter was sleeping
in the room next to me. And finally I would open the
door because I didn't want to wake up either my daughter
or the neighbors with all the yelling and noise. And
then she would stand in front of the door so I could not
exit the door. And, you know, that was the primary
issue.
There were other issues, certainly, but that was
the primary issue that I filed the divorce here in this
court. And I also divorced her Islamically.
Q. Did you ever suggest a way to deal with the
tensions in your marriage to Rania?
A. Yes. Absolutely. I suggested to her that we
have a trial separation period -- I even offered to buy

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her a ticket to go back to Canada -- and just have


cooling off maybe for a couple of months. She was very
concerned about my suggestion. She was upset that this
might impact negatively her immigration status.
Q. And when did you suggest -- at what time -- do
you remember the approximate date that you suggested a
trial separation to Rania?
A. It was in late June.
Q. Okay.
A. And also when my mother came over in late June
the suggestion was made by my mother as well.
Q. Did you ever threaten to turn her into
Immigration?
A. Never.
Q. You've heard Rania talk about the events of
August 10th. There was a radio interview I believe that
you gave to China Radio; is that correct?
A. That's correct.
Q. Okay. Can you tell me what happened?
A. Yes. I had a nice radio interview with China
Radio International on that Sunday evening. And during
that time, Rania was sleeping on the couch all
throughout the interview. When the interview was over,
I walked over to her, I gently tapped her on her calves,
and she said, "Leave me alone, get away from me, don't

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Transcript of Proceedings on 11/07/2014
Page 38

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touch me." She yelled at me. And my daughter Selma was


present. So I wanted to get Selma out of that
environment, so we then left.
Q. Okay. And where did you guys go?
A. We went to Barnes & Noble bookstore.
Q. Okay. So did you kick her?
A. Never.
Q. Did you punch her legs in any way?
A. No.
Q. An event that actually happened prior to that,
to August 10th, was Rania getting her citizenship in
Canada. She's testified that you were upset with her
about getting her Canadian citizenship. Is that true?
A. Not at all. I supported her. During our first
year of the marriage, Rania pretty much sat on our couch
and studied for the Canadian test in English. And she
went to Canada at least four times. I have three of the
tickets that we presented to the Court. And she went on
her own, and this said -- she said this was something
that was important for to her and her son. When I
married her she had a Canadian green card, and she was
in the process of getting her citizenship. I never
interfered at all.
Q. Were you upset that the Canadian citizenship
would require her to say an oath to Queen Elizabeth?

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A. No. That's actually laughable. I teach


political science, American government courses. And I
cover the Constitutional oath that Americans take and
also the Constitutional oath that Canadians take. And
so what I did is I pointed out to her that her oath
would be to Queen Elizabeth, rather than to a
constitution as in the United States. And we kind of
laughed about it and said that would be shirk, you know,
associating partners with God, and that was the end of
the joke. I never mentioned anything about we would be
divorced or anything of that nature. That's wild
allegation.
Q. Do you recall the events of August 11th
regarding your aunt in Egypt?
A. Yes, I do. That was the day that I divorced
Rania Islamically. I woke up in the morning. It was a
Monday morning. I have my oldest daughter, she's in my
custody halftime, 50 percent. She's with me every
Monday and Tuesday and every other weekend. So she was
with me that morning.
And so I woke up. And as soon as I woke up I
had some messages. I had a Facebook message from my
aunt in Egypt indicating to me that the sale of my
father's share of his land had been sold and that there
was some inheritance money for me and she asked that to

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get in touch with me. So I asked Rania to help


coordinate that and connect with my aunt in the Egypt.
And so -- because Rania already had her on her
Skype, on her Viber, on her Tango.
And so then I went to pick up Selma, as I
normally do, from -- in the summertimes from her
grandfather's house and her mother's house where she
lives in south Sacramento. And during that time I was
on the phone with Rania. Rania was frustrated, saying
she was unable to connect with my aunt. So I picked her
up, brought her home -- my daughter, brought her home.
As soon as I entered the house, Rania was
yelling at me and basically very frustrated she wasn't
able to connect with my aunt in Egypt. And I finally
suggested to her that we try Facebook messaging and -and she at that point went into an angry tirade where
she told me to eat feces and shut up and called me the F
word and other things I would rather not repeat here.
And at that point I then asked my daughter, because she
was with me, to go upstairs.
And I very calmly, Rania was sitting at the
dining room table, I walked over to her. I pulled out
my chair, and I very calmly told her three times, "You
are divorced," which is in keeping with Islamic law.
If, by the way, when you divorce someone Islamically,

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you have to be calm because if you're angry your divorce


is invalid. So I took some time to calm down, and I
asked my daughter to go upstairs. I then told her three
times, not ten -- that's the way it's done in Islam -she was divorced. She was shocked. She was completely
upset by this. And then I asked her to make
arrangements to please leave the house, that I had
enough of the verbal abuse and disrespect and insults in
front of my daughters.
And a lot of things I want to add were the
insults towards the mothers of my daughters, and I asked
Rania repeatedly to stop insulting the mothers of both
of my daughters. I have two precious and beautiful
daughters. My oldest is eleven. My youngest turned
five this week while I was here in trial. And I asked
her to stop. And unfortunately, she -- she continued.
And so, you know, she would even make supplication
against the mothers of my daughters. She would call
them low class. She would call them trash in front of
the girls. And this was very damaging to their psyche.
I would never speak ill in front of my daughters of
their mothers. They -- their mothers are good, loving
mothers.
And I never spoke ill of Rania's son. And, in
fact, Rania at one point told me, "Tamir, you will never

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see my son." And that really bothered me because my


daughters are with me much of the time and I allowed
them, allowed her into the home to be a loving
stepmother. And unfortunately, they were subjected to a
lot of psychological trauma as a result of her angry
outbursts.
Q. Did you ever ask Rania for money for court costs
or attorneys fees?
A. Never.
Q. Do you recall what happened on August 16th? It
was a Saturday.
A. Yes, I do. I was -- that weekend I had both of
my daughters. I usually have one -- one, if not both,
every weekend, and that weekend I had both of them. I
was sitting down on the couch in our family dining room
and Rania was in the kitchen preparing some chicken.
And I simply asked her what would she be preparing along
with that chicken. She immediately turned to me with an
angry glare, yelled at the top of her voice, and said,
"What do you think?"
At that point, I basically said, "That's very
disrespectful." My youngest daughter got freaked out.
She was -- came to me, I hugged and consoled her from
Rania's angry yelling and outburst. And at that point I
then -- Rania went upstairs, and I took the girls and we

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went to Barnes & Noble and Panera Bread and spent the
rest of the day out.
Q. Did you eat dinner together?
A. We did not.
Q. Okay.
A. As I said, I tried to get my daughters out of
that environment.
Q. Do you recall the events of August 17th? That
was the Sunday.
A. Yes, I do.
Q. And what happened on August 17th?
A. I woke up and took my daughters to SALAM Weekend
School, as I do every Sunday. I usually have one or
both of my daughters with me. And as soon as I arrived,
I dropped them off. And I waited for a little while and
I met Mr. Khaled Badaway at that time and we went to
have a meal together at Babylon City Market on Watt
Avenue and I stayed with him until about two p.m.
because I told him I had to pick up my daughters at
2:30. That's what I did.
After I picked up my daughters, I went to my
mother's house, which is normally something I did on
Sundays after I pick up the girls from SALAM. I stayed
until 4:00 p.m., which I had to return to Fairfield to
pick up my youngest daughter because her mother lives

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Rohnert Park so we meet in Fairfield, half way between


us. I dropped off my oldest daughter at 6:00 p.m. in
Fairfield and then I returned to Sacramento later that
evening.
Q. So you did not -- or -- or you did not go home
between the time that you dropped your daughters off and
the time that you went to pick them up from SALAM
school?
A. That is absolutely correct. I was deliberately
trying to stay away from Rania, particularly after I
divorced her Islamically.
Q. Did anything happen on August 18th at 1:30 a.m.
in the morning?
A. Nothing at all. I was sleeping.
Q. So to your knowledge, did you have a fight with
Rania at 1:30 in the morning?
A. No. I was sleeping at that time.
Q. If you had had a fight -- or who was in the
house on August 18th?
A. Selma, my oldest daughter.
Q. Okay. Is your -- if you had had a fight with
Rania, would Selma have heard it?
A. Absolutely. Our rooms are very close to one
another. Not only Selma heard it, but the neighbors
heard it as well. I live in a three-story condo. We

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have neighbors right next to us.


Q. Do you recall what happened on August 18th,
Monday?
A. Yes, I do.
Q. And what happened?
A. Monday, August 18th?
Q. I believe that was a Sunday, and you had Selma?
A. No, that was Monday, August 18th.
Q. I'm sorry.
A. Monday, August 18th, was the day we separated.
So I woke up and I noticed that Rania was packing her
belongings so as to leave. And I should add, by the
way, after I divorced her Islamically, again I asked her
to make arrangements to leave the house, and she told me
that she spoke to the shaikh, which was the Muslim
religious leader, who told her that she would need to
wait for three months, it's like a waiting period.
And I basically told her that that doesn't make
any sense because we had not had marital relations for
several months prior to that. And she said, "Well,
that's what I'm going to do," and then suddenly I find
Monday morning she's packing her belongings and leaving
the house. So at that point I -- I told her -- I just
found out she was leaving that day, so I said, "Can you
please give me the keys to the house and the cars."

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Transcript of Proceedings on 11/07/2014
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Both cars are registered in my name.


And she, in the morning, said, "You know, I want
to go get some groceries," and so I said, "Oh, since
you're going to the grocery store, let me give you some
cash," which is what I normally did. She had a
beautiful life. I always gave her money. The only
thing I did not pay for was her four trips to Canada
because that was her thing. She was gone for a couple
of hours or at least an hour, hour and a half, and she
came back and she told me they didn't have any
groceries. And I found that that was really odd. She
said they didn't have the groceries we were looking for.
And I later found out what she was doing, she was making
arrangements for her rental car.
Q. Did you grab the money from her hand?
A. Absolutely not. As soon as she returned to the
house, she dropped the cash right there at the front
entrance, the door through our garage, left it there.
And I asked her, "Where's the change?" And she said,
"It's downstairs," and I went and picked it up from
downstairs.
Nor did I remove the keys from her forcibly.
She left those there, except for the last one, which my
mom took from her when she left.
Q. Did you tell her that you needed to search

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through her bags?


A. Never.
Q. Okay. And did you block her movements in any
way?
A. No.
Q. When did -- we know from testimony that CPS came
out that day. Do you remember wham CPS came?
A. I believe it was about 12:30, 1:00.
Q. And what happened?
A. Ms. Colleen Smith from CPS knocked on the door.
And Rania was there and Selma, my oldest daughter, was
there. This was my first day of the fall semester. And
I was obviously surprised, and she -- she said that,
"I'm Ms. Smith from CPS and I have complaints of verbal
and physical abuse going on in this house. Can I speak
to you?"
I said, "Sure, come on in." She asked me a few
questions. Rania was standing at the top of the stairs
pretty much the whole time, and I answered her
questions.
She said, "May I speak to your daughter?" I
said, "Absolutely." I called for her. She was sitting
on the stairs. She came down the stairs and talked to
her. She was asking Selma questions. This all happened
very fast. And then she talked to Selma for a while.

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And then she said, "I need to speak with Rania


outside privately," and she did. She was out there for
at least 15 minutes with Rania, talking to her. And
then she came back in.
She said, "I would like to speak with you." So
I then walked outside. I spoke with Ms. Smith, and she
expressed concern that Rania might take something -- she
knew Rania was leaving the house, and she actually
expressed concern that Rania might actually take
something that doesn't belong to her. She suggested to
me, "Tamir, you really need to get someone here to kind
of supervise this process." Because I indicated that
this was the first day of the fall semester and I have a
class I'm teaching in Stockton.
And so I had already called my mom that morning
and asked her to do that. I already thought of that.
And my mom basically said, "I'm busy. Unfortunately, I
can't do it." Ms. Smith insisted that she speak with my
mother. I put them on the phone, and she convinced my
mom to come with her husband, Leonard Stolba, my
stepfather, around -- she came over about 4:00, 4:00
p.m. Actually, she came a little earlier than she
normally would. And I was busy preparing for my
classes, Selma was there and she left shortly after my
mom arrived.

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Q. Do you go to Barnes & Noble with your daughter?


A. Every weekend.
Q. And when do you do?
A. Afternoons and evenings.
Q. And what days of the week?
A. Weekends mainly.
Q. And when did the restraining order currently in
place go into effect?
A. When did it go into effect or when did I learn
of it?
Q. When did -- when did you learn of it? Let's
start there.
A. Okay. I learned -- I first learned of the
restraining order on September -- mid September,
September 16th, one day before we were in court on
September 17th.
What happened was I received a letter about a
few days prior from this legal aid company indicating
there was a lawsuit against me here in Sacramento
County. Obviously I was concerned. I then contacted
the court, and the court said, "You have a court date
set for this day." I had not been served, so the clerk
was kind enough to allow me to come in and view the
file. And at that time it was September 16th, one day
before the court meeting, that I learned about the

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Transcript of Proceedings on 11/07/2014
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restraining order.
Q. And what did the restraining order say?
A. It's said it was a conduct order. It said
nothing about the stay-away.
Q. Did it, to your knowledge, say anything about
the fact that you could not speak to Rania?
A. No, it did not.
Q. Okay. Do you recall the events of Saturday,
September 27th?
A. Yes.
Q. Around 7:30?
A. September 27th?
Q. Saturday -A. Yes, yes, absolutely. That was a weekend,
Saturday, and I had Selma with my, my oldest daughter.
And I had spent Friday evening at Barnes & Noble, the
prior evening at Barnes & Noble. And we have a -- Rania
and I have a mutual friend named Zayed Emir[verbatim],
that he's a regular customer there, and I talked to him
on Friday evening. And at the end of the night he said,
"I will see you tomorrow might with your daughter,
right?" And I said, "Yes."
So I returned on Saturday evening, as I said I
would, around 7:30 with Selma. I entered the Barnes &
Noble, and I started walking to the cafe area, which is

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the area where we normally sit down and I could do some


grading and the girls like to read books. It's a nice
environment. And at that point I then spotted Rania,
and I immediately walked over to Zayed[verbatim] because
he saw me too and he was very concerned because he was
sort of aware that there was a separation.
I then immediately took Selma and we exited
Barnes & Noble and we went to the Arden area.
Q. Did you try to speak to Rania?
A. Not at all.
Q. Okay. Do your children attend the SALAM center
Sunday school?
A. Yes, they do.
Q. And what time does that Sunday school start?
A. Eleven a.m.
Q. And what time does it end?
A. 2:30 p.m.
Q. And is Rania aware of this schedule?
A. Absolutely. She went with me several times to
drop off the girls and pick them up.
Q. Did Selma attend Sunday school on Sunday,
September 28th?
A. Yes, she did.
Q. What happened?
A. I pulled in right before 11:00 a.m. to drop

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Selma at the SALAM Weekend School, and I saw Rania


standing behind her rental car going through her stuff
in her trunk. I then immediately told Selma, "Please be
careful. Rania's here. Please stay away from her,
Selma." And then I dropped off Selma. I left. I went
to Panera Bread to eat my lunch and sit down and do a
little bit of grading.
And as I'm finishing up my meal, suddenly I see
Rania come into Panera Bread. Mind you, the Panera
Bread is over Natomas and SALAM school is over across
the street from ARC. So I'm sitting down and I see
Rania come into the restaurant. She's looking all
around. And I quickly -- fortunately, I was finishing
up my lunch. I quickly finished up my lunch and packed
my belongings and I exited out the nearest door. Rania
was seated precisely in front of my -- our then 2010
Honda Fit. And basically I left. I exited. I got in
the car. She was sitting right in front of car. She
was on the phone the whole time, and then I immediately
left.
Q. Did you try to talk to her?
A. No. I had been trying to avoid her.
Q. And what happened next on Sunday, the 27th?
A. I went to pick up Selma, my oldest daughter, at
2:30 p.m. When I got there I noticed that Rania was

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sitting in the classroom talking to -Q. The classroom of your daughter's?


A. Yes.
Q. Okay.
A. And she was sitting in my daughter's classroom
in SALAM Weekend School. She was standing there talking
to Selma's teacher. And I -- you know, by this point,
I'm sort of freaked out because within, you know, a
20-something hour period I've seen her four times now.
Is she following me or what's going on? I thought she
asked for a temporary restraining order, assuming she
would want to be away from me. And of course, I'm very
protective of my daughters.
So I then walked up to Selma where she was on
the east end of the building, the SALAM Weekend School
building. Selma was crying. She was emotionally
disturbed. She was very upset that Rania was there.
I -- I immediately noticed that. I consoled her. I
said, "What's going on, Selma?" She said Rania was
staring at me the whole time we were standing in line
before we went into the classroom.
She also told me Rania was looking for my
youngest daughter, Emira, who was four, and going into
her classroom and talking to her teachers. And she told
me that Rania actually at one point went into the

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RANIA D. SUKKARY vs. TAMIR E. SUKKARY


Transcript of Proceedings on 11/07/2014
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classroom and she also told me that Selma's teacher was


actually aware of all of this because Rania is friends
with Selma's teacher, Fatima, and they had been talking
about this. So there was some really strange questions
being asked to her because at one point Selma was in
class and she said, "I need to go to the bathroom." She
was crying, she was emotionally disturbed by Rania's
presence there. Particularly what freaked her out was
being -- looking for our youngest daughter, my youngest
daughter and her sister.
And so at that point I then took Selma, I walked
over to Saeed Ahmed, who's the principal of SALAM
Weekend School, and I explained to him that Rania had no
kids at SALAM Weekend School and had no business being
there. And -- and he said, "Well, she's actually
talking to Fatima right now, but when she's done I'll go
talk to her." And eventually he did.
Q. Okay. So you saw Rania there again at the SALAM
school?
A. Yes, I did.
Q. Did you approach her?
A. No, not at all.
Q. I imagine you were pretty upset, correct?
A. Yes, I was.
Q. And still you didn't talk to her or motion to

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her in any way?


A. That is correct.
Q. What would you like the Court to do here today?
THE WITNESS: Your Honor, I would like Rania to
be ordered to pay me the $3,000 in legal fees I've had
to pay to respond to these false and wild allegations
against me. I would also like that she be ordered to
pay $4,000, which is a total that I've paid so far for
deposition fees, for subpoenas and other court fees.
And, Your Honor, I would also like that she be
instructed to stay away from me, and my daughters
particularly.
THE COURT: Thank you.
Anything further?
CROSS-EXAMINATION
Q. BY MS. MANZAR: Good afternoon, Mr. Sukkary.
A. Good afternoon.
Q. Is it true that you were married twice before?
A. Yes, it is.
Q. Isn't it true that you divorced your ex-wife in
Arabic before filing civil proceedings for dissolution
of your prior marriage, correct?
A. Which marriage are you referring to?
Q. Your second wife, Ali Shamsuddin.
A. Yes. That's correct.

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Q. So then isn't it true that you divorced her in


Arabic, you gave her the Islamic divorce before filing
civil proceedings for dissolution of marriage? Isn't
that true and correct?
A. Yes.
Q. Isn't it true that you did the exact same mode
of divorce for Ms. Sukkary?
A. Yes.
Q. Rania Sukkary?
A. That's the traditional way of doing it in Islam,
as you know.
Q. Isn't it true that your ex-wife, your second
wife, Ms. Ali Shamsuddin, has alleged domestic violence
allegations against you?
MS. STOWELL: Objection. It's not sustained
by -- by the file and by the filings.
THE COURT: All she's asking is whether she
alleged it.
MS. STOWELL: Okay. All right.
THE COURT: Overruled.
THE WITNESS: No. She did not allege that there
was -- I physically abused her. What she alleged was
that there was sexual -- that Rania and I -- actually
she said father and stepmother -- have exposed her to
sexual acts, number one, and that the kids were being

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physically abused. And CPS came out, did a thorough,


complete investigation, all of the allegations were
unfounded. And, in fact, CPS in Sonoma County is
currently investigating Ali Shamsuddin, my ex-wife, the
mother of my youngest daughter.
Q. BY MS. MANZAR: Isn't it true that Ali
Shamsuddin alleged that you physically abused her over
the marriage?
A. She made that allegation, yes.
Q. Isn't it true that she alleged -- Ms. Ali
Shamsuddin alleged that you sexually molest or sexually
abuse your minor daughters?
A. As I said, the allegation was made both against
me, as well as your client.
Q. Mr. Sukkary - MS. STOWELL: Your Honor, I'm going to object as
this is not in the pleadings and it's not relevant to
this case.
THE COURT: You know, I'm not sure that you want
to really go down this route. You stick with this case.
MS. MANZAR: Right. Thank you. I withdraw
that.
Q. BY MS. MANZAR: When did you file for
dissolution of marriage from Ms. Rania Sukkary,
Mr. Sukkary?

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RANIA D. SUKKARY vs. TAMIR E. SUKKARY


Transcript of Proceedings on 11/07/2014
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A. Why?
Q. When did you file?
A. Oh, I actually served her with the divorce -- my
stepfather served her the divorce documents on September
17th.
Q. Isn't it true that you were in the courthouse
before September 17th to file the dissolution paperwork,
the initial pleadings, Mr. Sukkary?
A. I actually had a paralegal help me with the
process.
Q. So when was that, Mr. Sukkary?
A. That was sometime in early September, I believe.
Q. Isn't it true that that's when you found out
there was a pending restraining order against you, a
temporary restraining order that's been issued by this
courthouse against you, Mr. Sukkary?
A. No, that is not true. As I said, I found out on
September 16th.
Q. You stated that on August 18th, 2014, you found
it odd that Ms. Rania Sukkary came back without any
groceries, correct?
A. Did you say the 18th?
Q. 18th.
A. Yes, that's correct.
Q. Isn't it true you were upset when she came back

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without the groceries?


A. No, that's not true.
Q. Isn't it true that you asked Ms. Rania Sukkary
that as long as she stayed in that house she would have
to the run the household errands, including groceries,
for that day; isn't that right, Mr. Sukkary?
A. No, that is not true.
Q. Directing your attention to September 27th,
2014.
A. Uh-huh.
Q. As you stated, you were at Barnes & Noble.
Isn't it true that Ms. Rania Sukkary was not -- sorry,
strike that.
September 27th, 2014, while you were at Barnes &
Noble, isn't it true that you were not in Ms. Rania
Sukkary's line of vision?
A. That's not true. She was able to see me because
although I wasn't there very long, she was actually
waiting to speak to, again, our mutual friend
Zayed Emir[verbatim], he was getting a drink and that's
when I quickly said hello to -- greeted him and then
exited the building. So, yes, I do believe that she was
aware that I was there.
Q. Directing your attention to Sunday, September
28th, 2014.

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A. Uh-huh.
Q. Panera Bread is a public place, correct?
A. Of course.
Q. You were there before Ms. Rania Sukkary came in?
A. Indeed.
Q. All right. Isn't it true that you saw Ms. Rania
Sukkary while you were driving away from SALAM center,
correct?
A. No. That's not -- that's incorrect. I saw her
when I -- when I got into the parking lot and then I
left and I did not see her when I left.
Q. What time did you leave SALAM center on Sunday,
September 28, 2014, then, Mr. Sukkary?
A. Are you talking about the drop off or the pick
up?
Q. The drop off -- I mean, when did you exit SALAM
center that day?
A. Shortly after 11:00 a.m.
Q. Well, you must have finally exited after your
daughter's school was over, correct?
A. That's why I was asking pick up or drop off.
Q. Drop off.
A. Yeah, so -- so I -- of course, at 2:30 p.m. I
left.
Q. Isn't it true that you saw Ms. Sukkary through

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the window of the building while you were driving out of


SALAM center's parking lot, correct?
A. I saw her through the window of the building?
Q. You stated that you saw Ms. Sukkary, Rania
Sukkary -A. Yes.
Q. -- in the classroom with the teacher, Fatima?
A. On the pick up, yes, I did see her through the
building of the pick up, yes.
THE COURT: What does all this matter? What
does this matter if anyone saw anyone? You're spending
a lot of time on this particular issue.
MS. MANZAR: Sorry, Your Honor. Last question.
Q. BY MS. MANZAR: Ms. Sukkary wasn't present in
the class when your daughter was at SALAM center
attending Sunday school that day, correct, Mr. Sukkary?
A. That's incorrect. She was present.
Q. You did not see her there, did you?
A. What day are you talking about?
Q. September 28th.
A. I saw Rania there, yes, I did, and I -Q. While your daughter was in class?
A. While she was in class.
Q. While Selma was in class?
A. Oh, that. No, I did not see her while she was

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RANIA D. SUKKARY vs. TAMIR E. SUKKARY


Transcript of Proceedings on 11/07/2014
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in class.
MS. MANZAR: No more questions.
MS. STOWELL: Nothing.
THE COURT: You may step down.
I have a question.
THE WITNESS: Sure.
THE COURT: When the CPS worker, Ms. Smith,
interviewed your daughter and you're sitting on the
stairs behind - THE WITNESS: Uh-huh.
THE COURT: -- how far away were you - THE WITNESS: I was - THE COURT: -- from Ms. Smith?
THE WITNESS: Yeah -- oh, from Ms. Smith, at
least ten feet.
THE COURT: Okay. Thank you. That's all.
THE WITNESS: Okay.
MS. STOWELL: Thank you.
THE WITNESS: Am I excused?
THE COURT: You may step down. Thank you.
Any further witnesses?
MS. STOWELL: No.
MS. MANZAR: No.
THE COURT: Either party wish to be heard in
argument?

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MS. STOWELL: I would like to make a closing


statement.
MS. MANZAR: I would like to make a closing
statement as well.
THE COURT: You're the moving party.
MS. MANZAR: Your Honor, my client, Ms. Rania
Sukkary, has been a victim of physical, mental,
financial and emotional abuse in the past two years.
Mr. Sukkary, the Respondent here today, is obviously
well-seasoned, he's well-educated. He's a professor.
Your Honor, I would like to remind the Court
that expert witness Ms. Marguax Helm's testimony is
established. Domestic violence is a phenomenon that
cuts through different demographics of society. In
fact, batterers from sophisticated backgrounds are
actually better able to inflict abuse in subtle ways and
are able to get away with it.
Mr. Sukkary is not only well-seasoned,
well-educated, but he also has substantial amount of
experience with this courtroom and the American legal
system, whereas Ms. Rania Sukkary is very new to this
country.
Your Honor, I would like the Court to take into
consideration that any lack of physical -- any lack of
report of physical abuse by my client, Ms. Sukkary, can

Pages 62..65
Page 64

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be explained by the fact that she is a Muslim woman.


She holds a very traditional background -- very
traditional views of -- of marriage and face-saving and
saving her family's honor, and she did not want to put
her husband through more law trouble, with more trouble
in law enforcement when he was already going through
extensive litigation while they got -- while the parties
were married. And any discrepancies that might have
come up in the police report, Your Honor, could be
explained by the fact that my client, Ms. Sukkary,
does -- while she does speak some English, she has a
heavy accent, and also she never and wouldn't -- she
never intentionally tried to misdirect or misrepresent
her narrative to the offices, which was evident through
my Petitioner -- Petitioner's Exhibit L. That was an
e-mail communication she sent to Officer Bell the
following day after that -- making that report where she
clearly states that this is abuse that my husband
inflicted on me from months ago. And also her statement
in that e-mail shows that her English or the way she
communicates isn't exactly succinct.
Your Honor, the Respondent did bring forth his
mother and his friend as supporting witnesses, and I
hope that their bias is obvious to the Court. One of
the friends actually stated that he doesn't always treat

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him like a friend but also a son. And then


Mr. Badaway's testimony clarified that Mr. Sukkary
wasn't present with him the entire day of one of the
incidents that Respondent is trying to repute, which is,
I believe, September 17th, 2014.
Moreover, Respondent's mother, Ms. Stolba's
testimony, in her testimony she herself stated that
Rania had socialized with Mr. Sukkary's friends, family.
She herself stated that Ms. Rania Sukkary has no friends
or family here in the United States. Your Honor, that's
another reason. There weren't witnesses here who had
direct knowledge of all this abuse that Ms. Sukkary has
faced in the last two years because she did not have any
friends and family that she could confide in.
And even if she reported abuse, a woman in an
abusive relationship or violent situation, Your Honor,
does not know how to step out and then take care of
herself. The issues range from finding shelter to legal
services and sustaining themselves on a daily basis.
Your Honor, my client has suffered physical and
verbal abuse. We have provided pictures of that. She
has suffered from financial abuse and threatened of
getting deported. Which are unfounded . She does not
face that threat. She has been threatened by the
Respondent in the past. She has suffered sexual and

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Transcript of Proceedings on 11/07/2014
Page 66

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financial abuse at the hands of Respondent.


And there's also ongoing harassment. Respondent
did try to find out where Ms. Sukkary was residing. And
she tried to keep that confidential. My client has
reasons to believe that her safety will be jeopardized
without this restraining order. We humbly believe the
Court could grant a permanent restraining order for
Ms. Sukkary. Thank you, Your Honor.
THE COURT: Thank you.
Ms. Stowell?
MS. STOWELL: I have a bit of a cough.
Petitioner in this case alleged that she's a
victim of domestic violence and that she needs a
restraining order for protection. Her testimony,
however, is inconsistent with the facts of this case.
First she told the police that she hit her foot on
August 10th. That's documented by the police report.
She found -- and when she found out, actually by myself,
that the picture was date stamped August 16th, 2014, she
changed her story as to when this alleged abuse
occurred.
Next she alleges that she was severely beaten,
kicked on the legs on August 10th so severe that the
bruising was visible on August 24th, two weeks later.
Yet a physical exam of Petitioner on August 14th showed

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she had no injuries. Similarly, the police report she


filed on August 20th has no mention at all of her
injuries on her legs. She also failed to mention this
bruising to the CPS worker who's out on the house on
August 18th. Why? Because they did not exist. Because
she was not abused.
The light bruising shown in the pictures
happened in some other way. Possibly when she was
moving. And like the foot, she -- she could have taken
a picture of it and had the documentation immediately
after the bruising had occurred if it had, in fact,
happened at the time it was alleged. Her medical file
is filled with doctors notes asking if she experienced
physical violence. She herself admitted her doctor is a
Muslim woman. Who else would she be more comfortable
with? Consistently she answered no. Nor is there any
documentation in her medical record regarding these
alleged injuries that she now claims my client inflicted
on her.
What the medical records show, however, is that
she began making these claims of only verbal abuse after
my client had suggested a trial separation. No physical
exam shows that at any point that she had bruises and
injuries, and, in fact, it says no injuries.
She also stated in her August 27th, 2014

Pages 66..69
Page 68

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declaration that CPS told my client to let her go. We


have the CPS worker who testified that this is yet
another fabrication by Petitioner.
Finally, Petitioner testified that the minor
children were witnesses to the verbal and some of the
physical abuse she's alleged to have occurred. Again,
the CPS social worker who interviewed the children
determined that no abuse, physical or verbal, had
occurred in front of the children, which is in direct
contrast to Petitioner's testimony. There's even more
inconsistencies in her testimony. These are just the
highlights.
This is a case where Petitioner is concerned
about her immigration status, and not her safety. Since
the conduct order was issued, the parties had run into
each other four times outside of court. Certainly, if
Tamir was the kind of person who was prone to violent
outbursts against Petitioner, he would have had one when
he had seen his young daughter upset after Petitioner
was staring at her in class. He didn't speak to
Petitioner because he wants her out of his life and out
of his children's lives and for him to be left in peace.
He's asking today that he be reimbursed for the
costs that have come out of pocket for him for defending
against these baseless accusations: $3,000 in attorneys

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fees and $4,000 in costs for a total of $7,000. Thank


you.
THE COURT: Well, it's interesting, about
20 years ago I had a trial involving CPS, and CPS's
procedures were similar -- not dissimilar, let's say, to
this incident. CPS, as a result of that trial, claimed
they had changed their procedures and improved their
training of their emergency workers. But to allow the
alleged abuser to be within sight or sound of -- of a
witness, I think discounts the CPS worker's testimony.
You know, the one -- the one piece of evidence
that really hasn't been disproved is the bruising on the
shins from August 10th, I think, of 14. And that is
really what this case should have been more about than
whether somebody saw somebody at some cafe or bread
store.
But I am going to grant a five-year restraining
order because I do believe that the Petitioner has been
abused physically in part, but certainly mentally, and I
think she has a right to feel a sense of protection
against a person that she is claiming abused her.
I recognize that, at least as of today, she's a
pretty strong person, and you would think that maybe
that wouldn't have the same impact on a pretty strong
person as on somebody who's much more malleable.

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Transcript of Proceedings on 11/07/2014

Pages 70..71

Page 70

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However, I don't know what she was before any of these


incidents or before any of the counselling she may have
received. I just don't know. But I'm comfortable
issuing the restraining order. I'm uncomfortable in not
issuing the restraining order. So you will each get a
copy of this order after hearing on the restraining
order. Okay. Thank you.
Can we return exhibits?
MS. STOWELL: I'm fine with keeping the
exhibits.
MS. MANZAR: I don't need them back.
THE COURT: Okay.

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CERTIFICATE OF COURT REPORTER


-oOo I, NICHOLE THUT, CSR, hereby certify that I am a
Certified Shorthand Reporter and that I reported
verbatim in shorthand writing the following proceedings
completely and correctly to the best of my ability:
COURT: SUPERIOR COURT OF CALIFORNIA
COUNTY OF SACRAMENTO

(End of proceedings.)
* * * * *

Page 71

COMMISSIONER: HONORABLE PETER J. MCBRIEN


ACTION:





DATE:

RANIA SUKKARY
Petitioner,
vs.
TAMIR SUKKARY,
Respondent.
CASE NO. 14DV02324
FRIDAY, NOVEMBER 7, 2014

I further certify that I have caused said


shorthand writing to be transcribed into typewriting by
Computer-Aided Transcription, and that pages 1 through
70, inclusive, constitute an accurate and complete
portion of transcription of my shorthand writing for the
date specified.
DATED: Wednesday, November 19, 2014

_____________________
NICHOLE THUT, CSR
Official Court Reporter
CSR License No. 13655

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RANIA D. SUKKARY vs. TAMIR E. SUKKARY


Transcript of Proceedings on 11/07/2014
Index: $100..4[verbatim

13th
$

12:4

19:24
69:13

14
$100

7:19
55:5

$3,000

55:8

$4,000

69:1
69:1

2013

12:2,3

42:10
49:15,24
58:18
66:19

4:2,16

6:10
7:6 10:25
43:8,11
49:16
58:5,7
65:5

17th
1

17:12,
16,25

10

14:3
17:6
19:10,11
21:13,23
30:20,25
31:12
37:16
38:11
66:17,23
69:13

10th

17:18
18:11

18

12:2,4
29:21
30:3,6
44:12,19
45:2,6,8,
10 58:19,
22,23 67:5

18th

51:25
60:18

1:00

47:8

1:30

44:12,

27:9,

16

11:00
11:30

12:30
12th

39:13
47:8
10:25

9:25
11:2,3,5

6:1
26:9,11,13

27

26:8,
10,14,16,
20 50:9,12
52:23
59:8,14
67:25

27th

10:25
11:4,7
12:2,4

2
20

4:1
5:15,16
6:1,11 7:7
10:25
12:12,14,
15,18,20,
21,24
13:14 14:4
15:25
16:5,19
21:23 22:6
24:8
30:20,25
31:3,7,12
34:14
58:19
59:9,14,25
60:13 65:5
66:19
67:25

2014

32:5
69:4

28

60:13

27:1,
25 28:2,24
51:22
59:25
61:20

28th

29th

13:13

27:10
43:20
51:17
52:25
60:23

2:30

3
3

11:17
13:7,10,
11,12

22:1,
13 67:2

20th
21

17
11th

52:16

16th

-ooo-

48:3

15th

$7,000

2010
2012

15

19:21
66:24

24th

53:9

20:12
66:25

14th

68:25

20-something

18:14

5:14
21:3

22

5:16
31:7

22nd

43:24
48:21

4:00

4[verbatim

11:15

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RANIA D. SUKKARY vs. TAMIR E. SUKKARY


Transcript of Proceedings on 11/07/2014

5
5

10:6,23

50

39:18
6

27:1
44:12
51:15,25
60:18

a.m.

above-entitled
6

14:7,8,23
15:2 16:19
17:18
18:11

61
62

18:20

66

19:2,13

6:00

44:2

13:14
31:2,3

6th

7
7

4:1 18:23
20:3,5,21
21:1
26:8,
16,20,21
50:11,24

7:30

19:3

8
8th

7:7

4:3
absolutely

34:25
36:24
44:9,23
46:16
47:22
50:14
51:19
8:6,7,
8 10:2
16:17,23
21:8 30:24
31:13
34:11
35:21
36:1,4
41:8 47:15
57:12
63:8,16,25
64:18
65:12,15,
21,22
66:1,20
67:21
68:6,8

abuse

9:24
15:11 34:7
56:22

abused
9

23:6,9,22
24:1

57:1,7
67:6
69:19,21
69:9

abuser
abusive

15:12
65:16

Afternoons

49:4
agree

31:6

ahead

15:24

Ahmed

54:12

aid

64:12

accent

Index: 5..ambiguous

accompany

12:6 13:22
14:1
accusations

68:25

49:18

55:24
56:13
57:4,6,10

Ali

allegation

39:12
57:9,13
allegations

acting

4:12

action

22:16

23:2
acts

9:24
12:12,23
17:5 22:6
56:21

allege

56:25

41:10
45:12

add

alleged

address

7:15,18,21
admit

55:6 56:14
57:2

6:25

admitted

7:7,8,9
10:23
14:22 15:2
24:1 67:14
adopting

5:22
afternoon

5:5 55:16,
17

21:14
56:13,18,
22 57:7,
10,11
66:12,20
67:12,18
68:6 69:9
alleges

66:22
allowed

42:2,3
ambiguous

6:22

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RANIA D. SUKKARY vs. TAMIR E. SUKKARY


Transcript of Proceedings on 11/07/2014
Index: America..beaten

America

Arden

33:25

51:8

20:16
29:14
50:25
51:1,8

area

American

39:2 63:20
Americans

39:3

argument

amount

62:25

63:19

40:16
41:1 42:5,
19,24

angry

application

5:8,23
5:14

applied

6:1,13
6:5

apply

arrangements

41:7 46:14
arrived

43:14
48:25
associating

39:9
assuming

53:11

approach

7:11 10:7
14:9 17:13
20:3 23:5,
7 28:5,10,
23 29:4
54:21
approximate

37:6
10:25
11:2,3,4

April

9:2,
15:5 55:21
56:2

Arabic

ARC

52:11

39:14,
23 40:2,
10,14

aunt

appointment

15:25
20:15

22:1,13
24:8 27:1
28:24
29:21
30:3,6
37:16
38:11
39:13
42:10
43:8,11
44:12,19
45:2,6,8,
10 58:19
66:17,19,
23,24,25
67:2,5,25
69:13

attend

51:11,21

43:18

Avenue

attending

27:15
61:16

52:22

avoid

51:6,
18 54:2
59:23

aware

attention

17:17
19:12
59:8,24

attorneys

42:8 68:25
audibly

11:8

5:15,
16 6:1
17:5
19:10,11,
21 20:11
21:13,23

August

Babylon

70:11
background

34:1 64:2
backgrounds

63:15
19:23
35:6,9

bad

36:4

Badaway

43:16
Badaway's

65:2
bags

47:1

Barnes

24:22,25
26:7,15,19
38:5 49:1
50:16,17,
24 51:8
59:11,14
based

32:12

baseless

68:25
basically

40:13
42:21
45:18
52:17

43:17
basis

65:19

Bachelor's

34:4
29:24
30:11 37:1
46:10 48:4
58:20,25

bathroom

54:6

back

batterers

63:15
beaten

66:22

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Transcript of Proceedings on 11/07/2014
Index: beautiful..chicken

beautiful

41:13 46:6
34:20
35:4 67:21

began

beginning

19:3
Bell

64:16
48:10

belongings

45:12,22
52:15
64:24

biggest

35:11

9:13

24:12
52:7 66:11

block

47:3

books

51:2

bookstore

26:23 38:5
33:24

bothered

42:1
bottom

21:4

29:2,
4,6,9 43:1
52:6,9,10
60:2 69:15

bread

brought

40:11
16:1
18:24 22:5
34:13

bruises

18:21
19:1,14,
18,21
22:13,15
67:23
19:23
21:15
22:10
66:24
67:4,7,11
69:12
building

53:15,16
59:22
61:1,3,9

16:20
41:18,19

54:14
busy

48:17,

23
buy

36:25
C

50:25
69:15

cafe

38:21
care

65:17
52:4

careful

45:25
46:1

cars

31:16

called

40:17
47:22
48:15
calm

57:18,
20 66:12,
15 68:13
69:14

case

41:1,2

calmly

cash

40:21,23
37:24

calves

8:15
9:11,18
10:13,24
11:10,21
12:1 13:13
37:1
38:12,17
46:7

Canada

38:13,16,
21,24

46:5,

17
21:15

caused

22:6
26:25
27:4 51:11
60:7,12,17
61:15

center

center's

61:2
Certified

4:11
chair

40:23

Canadians

chambers

39:4

4:25

business

16:1
64:22
22:16

4:4 8:18

Canadian

bring

bringing

California
call

bruising

bit

born

brothers

bruise

belong

bias

36:6

broke

16:20
28:6
29:10,11,
12,13,15,
18,22,25
30:9 31:17
46:14
52:2,18

car

card

24:16

chance

31:8

change

46:19

27:6
66:20 69:7

changed

characterizati
on 32:4
chicken

42:16,18

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Transcript of Proceedings on 11/07/2014

child

9:8

children

children's

68:22
37:17,

20
chose

29:24

citizen

communicate

classroom

53:1,2,5,
21,24 54:1
61:7
27:12

33:9,
15,21
49:22

clerk

57:14
63:6,25
64:10
65:20 66:4
67:18,22
68:1

client

8:13,15
citizenship

11:22
38:11,13,
22,24
34:18
43:17

City

civil

22:17

48:24

clear

55:21

26:17
28:18
29:14
44:23

close

56:3
closing
claim

16:20

claimed

69:6

claiming

69:21
claims

67:18,21
clarified

65:2
41:19
48:14 54:6
61:15,22,
23,24 62:1

class

35:12

Colleen

communicates

64:21

66:4
confirm

6:20 64:16

connect

40:2,10,14

49:18

consideration

complaining

20:16

comfortable

16:22
67:15 70:3
Commissioner

4:6

complaints

47:14

25:12

67:16
consoled

42:23
53:18

complete

57:2
completely

41:5

constitution

39:7

compromised

16:11

Constitutional

39:3,4

34:5
21:6

16:23 37:3
49:20 51:5
68:13
condition

27:5
condo

63:24
Consistently

concerned

34:18

24:5

company

48:7,9

College

confidential

communication

concern

47:10

confide

65:14

concentration

63:1,3

commit

26:4 28:21
50:3 68:15

committed

classes

24:25
27:9,15
51:11
68:5,7,9

China

68:20

Index: child..contrast

44:25

contact

6:15,19
25:13
contacted

49:20
contested

31:23
continued

5:4 10:2
35:16
36:2,4
41:16

conduct

25:16,22

contrast

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RANIA D. SUKKARY vs. TAMIR E. SUKKARY


Transcript of Proceedings on 11/07/2014 Index: convinced..custody

68:10
convinced

48:19
cooling

36:10 37:2
coordinate

40:2
10:15
14:19
17:20,22
18:2 23:18
32:15 70:6

copy

corner

21:4

correct

8:16,19,22
9:1,9,13,
19,20,25
10:3,4,15
11:1,11,23
12:2,5,7,
10,13,19,
22,24
13:2,3,4,
15,17,18,
20,21,23,
25 14:4,5,
19,21
15:6,14,
18,19
16:2,3,7,
8,17,23,24
19:7,15,
16,18,21,
22,25
20:1,12,
13,15,17

21:10,12
22:2,7,8,
10,11
23:18
24:20
25:6,7,9,
10,13,14,
17,22,24
26:5,12
27:17,22
28:15
29:16,17,
19,20,22,
23,25
30:3,4,8,
9,10,12,21
31:9
37:17,18
44:9 54:23
55:2,22,25
56:4
58:21,24
60:2,8,20
61:2,16
correctly

21:5
42:7
68:24 69:1

costs

37:22
42:15

couch
cough

66:11

4:25
7:1 32:15,
16

counsel

counselling

70:2

count

21:2

country

22:19
33:23
63:22
4:4
49:20 57:3

County
couple

37:2

46:8
courses

courthouse

39:2

4:4,
17,22,25
5:2 6:10,
11,23 7:3,
5,8,12
8:10 10:8,
20,22
14:10,24
15:1
17:14,15,
22 18:1,2,
4,7 20:4,
23,25
22:17
23:8,23,25
25:22,25
30:15
31:23
32:6,9,11,
20 33:1,4,
6 36:21
38:18 42:7
49:15,21,
25 55:3,9,
13 56:17,
20 57:19

court

61:10
62:4,7,11,
13,16,20,
24 63:5,
11,23
64:24
66:7,9
68:16 69:3
70:12
5:25 58:6,
16
courtroom

63:20
39:3

cover

47:6,7,
10,14
57:1,3
62:7 67:4
68:1,2,7
69:4,6,10

CPS

CPS'S

69:4

Cross

8:10

crossexamination

4:18 8:11
55:15
crying

53:16

54:7
CSR

4:11

current

21:6,7
26:2 34:7
custody

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RANIA D. SUKKARY vs. TAMIR E. SUKKARY


Transcript of Proceedings on 11/07/2014 Index: customary..divorce

39:18
customary

61:15,22
62:8 68:19

27:8

daughter's

customer

53:2,5
60:20

50:19
cuts

63:14
D

daily

65:19

damaging

41:20
24:16

danger

4:4
12:18
21:14
32:18 37:6
49:21
66:19

date

dated

7:7

daughter

21:16
36:12,14
38:1 39:17
40:11,19
41:3 42:22
43:25
44:2,20
47:11,21
49:1
50:15,21
52:24
53:23
54:9,10
57:5

daughters

26:22
35:14,19,
21,23
41:9,11,
13,14,18,
21 42:2,13
43:6,12,
14,19,21
44:6 53:13
55:11
57:12
Davis

8:21

5:19
29:1 30:9
35:5 39:15
43:2
45:10,24
47:7,12
48:13
49:15,22,
24 59:6
60:17
61:16,19
64:17 65:3

day

19:24
49:5,18

days
deal

36:22

December

12:1,2,3

declaration

68:1

Directing

59:8,24

defendant

6:2

direction

36:6

defending

discounts

68:24

69:10

degree

34:2,

discovery

32:7

deliberately

44:9

discrepancies

64:8

demographics

disease

63:14

14:18

denigrate

disproved

36:2

69:12

depend

27:14

dispute

36:5,7

deported

22:22 23:1
24:17
65:23
deposition

17:8,21
18:6 19:4,
8 55:9

disrespect

36:1 41:8
disrespected

35:13
disrespectful

42:22
dissimilar

determined

68:8

69:5
dissolution

difficulty

35:3
dining

40:22

42:15
dinner

disturbed

53:17 54:7
43:3

4:24
5:4 33:22
65:12 68:9

direct

55:21 56:3
57:24 58:7

6:13
35:1 36:20
40:25 41:1
56:2,7

divorce

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RANIA D. SUKKARY vs. TAMIR E. SUKKARY


Transcript of Proceedings on 11/07/2014
Index: divorced..evening

58:3,4
divorced

9:6

36:21
39:11,15
40:24 41:5
44:11
45:13
55:20 56:1
15:16
16:17,18,
22,25
20:10,17
23:14,15,
16 30:20
67:14

doctor

doctor's

14:3,16
doctors

67:13
document

7:15 10:9,
11 11:18,
20 14:12,
15:14
20:6,7,9
23:10,11,
13
documentation

67:10,17
documented

66:17

25:12
66:13

64:16,20

36:11,
12,14,16,
17 46:18
47:10
52:15

downstairs

emotionally

53:16 54:7

16:5
35:6 58:12

early
east

17:17
19:12

draw

53:15

40:17
43:3 52:6
8:8

economy

59:20

drink

educational
driver's

34:1

8:18

effect

60:7

driving

61:1
27:9,
21 51:20,
25 60:14,
16,21,22

drop

25:16,22
26:4 28:21
49:8,9
39:14,
23 40:2,14

Egypt

27:1,

eleven

27:8

dropped

43:15
44:2,6
46:17 52:5

17,21
41:14
51:15

27:16,24

38:25 39:6
emergency

drops

27:3

English

8:13,16,
19,22,25
9:2,3,4
15:6 17:23
38:16
64:11,20
entered

40:12
50:24
entire

65:3

entrance

46:18
38:3 43:7
51:3
errands

59:5

7:20 69:8
Emir[verbatim

16:10

50:18
59:20

E
Emira

18,19

64:6

established

duration

e-mail

enforcement

environment
Elizabeth

dropping

35:6
39:9 50:20
51:16
70:15

end

eat

24:14 58:4
22:17 23:2

30:25
32:15
48:22

46:20,21

documents
domestic

63:8

earlier

door

emotional

7:15,

53:23

Emira[verbatim

5:21

63:13
evening

24:25
37:21 44:4
50:16,17,
20,23

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RANIA D. SUKKARY vs. TAMIR E. SUKKARY


Transcript of Proceedings on 11/07/2014

evenings

49:4
event

38:10

37:15
39:13 50:8

events

eventually

54:17
evidence

7:9

10:19,
14:23 15:2
18:6 20:22
21:1 23:22
24:1 31:20
69:11

23 11:14,
17 13:7,
10,11,12
14:7,8,23
15:2
17:12,16,
25 20:3,5,
21 21:1
23:6,9,22
24:1 64:15
70:8,10
exist

67:5

36:17
60:16

exit

family's

64:7

64:4

51:7
52:15,17
59:22
60:19

exited

64:14
ex-wife

55:20
56:12 57:4

experience

56:6

8:13,
15,19
20:14
66:25
67:23

exam

examination

4:24 5:4
30:17
33:22

face

27:17

excused

62:19
6:25
7:9 10:6,

Exhibit

65:24

35:8

explained

24:6 26:3
54:13
64:1,10

Facebook

fear

expressed

48:7,9

fears

65:13

26:3
41:25 50:6
57:3 63:15
64:1,10
67:11,24

fact

66:15
67:3

Fairfield

43:24
44:1,3
34:18
47:12
48:13

fall

family

30:5

15:9
22:21 23:1

39:22
40:15

exposed

56:24

54:3,
16 61:7

Fatima
fault

failed

explain

father's

64:3

experienced

63:12

35:22

39:24

68:3

facts

expert

47:25

56:24

fabrication

63:20
67:13

fast
father

false
excuse

18:2

extra

faced

evident

exact

extensive

face-saving

exhibits

Index: evenings..file

55:6
9:11

13:19
23:15 31:3
42:15
65:8,10,14

15:11

February

13:14
feces

40:17

8:2
21:8 69:20

feel

42:8
55:5,9
69:1

fees

17:6
18:12
62:15

feet

fell

34:22

felt

16:21

female

20:19

44:15,
18,21

fight

5:12,
16,19,24
32:22

file

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RANIA D. SUKKARY vs. TAMIR E. SUKKARY


Transcript of Proceedings on 11/07/2014
Index: filed..happened

49:24
56:16
57:23
58:2,7
67:12
6:15
7:6 35:1
36:20 67:2

filed

55:21

filing

56:2
filings

56:16

69:17
8:1
17:19,23
36:10

follow

12:13,
24 13:17
16:1 22:6
34:14,16,
24 66:16
67:9

36:13
40:14
60:19 68:4
financial

63:8 65:22
66:1
financially

24:14

52:13

freaked

42:22 54:8
4:1
50:16,20

find

finding

friend

45:21
66:3
65:18

finds
fine

22:17
70:9

finished

4:19 52:14
finishing

52:8,13
Fit

52:17

31:3

50:18
59:19
64:23 65:1
54:2

friends

64:25
65:8,9,14
friends'

24:9
front

40:9,13

13:9

grab

46:15
51:2

grading

52:7
grandfather's

40:7
66:7
69:17

grant

24:16
38:21

green
G
garage

46:18

14:16
37:17 46:6
56:2

gently

23:2
45:24
46:11,
58:13,17,
19 66:18

found

Friday

frustrated

gave

46:22
fortunately

finally

35:14,21
36:16
41:9,19,21
46:17
52:16,18
68:9

foot

forcibly

67:13

filled

five-year

37:24

5:20
27:24
41:20
42:25
43:23
51:2,20

girls

6:5
7:21,22
17:20 31:8
33:12
45:25 46:4

give

glare
God

42:19
39:9

5:5
9:21 41:22
55:16,17

good

government

9:19 34:4
39:2

greeted

59:21
groceries

46:3,11,12
58:21
59:1,5
46:4

grocery
guys

38:4
H

27:8

habits

44:1
46:9

half

halftime

39:18
33:10
46:15

hand

hands

66:1

happen

25:3

44:12
happened

13:2 25:4
31:11,15

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RANIA D. SUKKARY vs. TAMIR E. SUKKARY


Transcript of Proceedings on 11/07/2014

34:14
37:19
42:10
43:11
45:2,5
47:9,24
49:17
51:24
52:23
67:8,12
35:10

happy

harassment

66:2
32:9,
10,11
37:15
44:22,24,
25 62:24

heard

26:3

hearing

70:6

4:20,
23 6:24
7:10 8:9
10:7,21
14:9,25
17:11,13,
20 18:5
20:21
30:16
31:19,22,
25 32:14,
19 33:3,5
55:4,10
57:16
61:13
63:6,11,23
64:4,9,22
65:10,16,
20 66:8

honor

47:15 48:8
67:4
household

52:3,19
53:18
67:10

59:5

immigration

houses

24:9

hugged

42:23

humbly

66:6

5:10
7:16 8:5
15:10,12
16:19
17:1,6
21:8 22:23
24:7,13
30:24
31:1,9,16
48:20
64:5,18

husband

4:5
33:19

highlights

hour

53:9

identification

68:12

hours

12:13,
24 15:10
66:16

hit

holds

64:2

21:9,
19,22
26:17,18
31:7 40:11
42:3 44:5

home

25:1

7:1 11:17
14:8 32:1

46:9

38:20
improved

69:7
incident

13:20 69:6
incidents

65:4 70:2
included

8:6
21:17 24:7
26:16
29:22,24
30:11
40:7,12
41:7 43:22
44:19
45:14,23,
25 46:17

income

24:15

inconsistencie
s 68:11
inconsistent

identified
house

important

59:5
I-r

18:25

69:24

including

64:24

hip

37:4

35:16

hope

63:12

Helm's

37:4,13
68:14
impact

Honorable

64:12

heavy

52:17

Honda

Index: happy..inflict

17:16 20:5
23:9
ill

41:21,

incorrect

60:9 61:17
indicating

24
imagine

66:15

9:21

54:23

39:23
49:18
inflict

immediately

29:7 42:18
51:4,7

63:16

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RANIA D. SUKKARY vs. TAMIR E. SUKKARY


Transcript of Proceedings on 11/07/2014

69:3

inflicted

13:16
30:24
64:19
67:18
inform

20 61:12

interfered

issued

68:15

38:23

issues

35:11

international

6:14

34:5 37:21
INTERPRETER

information

32:20
inheritance

39:25

interrogate

32:5

58:8

issuing

70:4,5
itinerary

10:16

21:7 67:1,
3,18,24
13:1,

interview

4,16
34:15,16,
23
insisted

interviewed

62:8 68:7
41:2

invalid

investigating

57:4
investigation

57:2

instructed

involving

55:11

69:4

insulted

35:14
insulting

41:12
insults

35:16,21
41:8,11
intentionally

64:13
interesting

41:4
56:10

Islam

Islamic

40:24 56:2
Islamically

36:21
39:16
40:25
44:11
45:13
issue

jail

17:1

14:16
30:21,23

Kahn

7:19

Kaiser

23:15

36:18,

40:24 70:9
45:25
46:22

keys

January

12:12,18,
21,24
13:13 16:2
22:6
34:14,19
jeopardized

66:5

48:18

keeping

37:16,20,
23

injuries

12:20
31:7 35:6
37:8,10

June

36:19
65:18

35:19

initial

injury

12:3,14
25:18 26:9

Index: inflicted..knee

8:24
9:21

job

joke

39:10

6:11
31:19

judge

43:16

Khaled
kick

38:6

17:6
18:14,15
21:14 24:7
66:23

kicked

kicking

18:12
5:22
27:3,5,18,
20 35:23
54:14
56:25

kids

judicial

39:7
48:11
49:23
68:17

32:21

kind

14:3
15:25
16:5,19
30:20,25
31:2,3,12
35:7

kitchen

July

42:16
knee

18:16,

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RANIA D. SUKKARY vs. TAMIR E. SUKKARY


Transcript of Proceedings on 11/07/2014
Index: knees..marriage

24
18:12,
15,22
19:1,14

knees

knew

48:8

knocked

47:10

37:25 41:7
45:12,14
60:12
28:3

leaving

29:13
45:22,24
48:8

44:25

live

40:8
43:25
68:22

lives

7:25
24:8 25:9

living

17:14

lodge

28:6
29:8,12,22
32:2 38:3
46:18,23,
48:24
52:5,17,20
60:11,24
68:22

left
knowledge

44:15 50:5
65:12
L
lack

63:24

land

39:24

languages

21:14

49:18
55:5 63:20
65:18

legal

9:4
12:12,
24 37:8,10

late

laughable

39:1
39:8

laughed

leg

40:24
64:5,6

law

17:6
18:13,15,
22 19:14,
18 22:10,
13 38:8
66:23 67:3

legs

Leonard
lawsuit

learn

letter

49:17

license

8:18

49:9,
46:6
68:21

life

learned

67:7

49:13,25

light

19:13
29:7,

litigation

leave

64:7

24:16

losing

22:23
41:10 42:5
60:10
61:2,12

lot

41:22

loving

42:3
low

41:19

lunch

52:6,

69:25
manner

35:13

4:8,
20,23 5:5
6:24 7:10,
13 8:9
10:21
14:25 18:3
23:24
30:16,18
31:21,25
32:8,14,19
33:2 55:16
57:6,21,23
61:13,14
62:2,23
63:3,6
70:11

MANZAR

Marguax

63:12

14

marital

11:11 12:9
45:19

37:11
57:9,13

made

32:2
34:21

45:16

11

18

mail

48:20

49:19
leader

59:4,

long

malleable

21:5
41:6,17
45:14,18
63:1,3

make

making

64:17
67:21

46:13

6:25
11:16,17
13:7,8
14:6,8

marked

Market
marriage

43:17
9:8

10:3,14
16:9 21:6
24:21
29:19
31:6,10
35:3,5,12,

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RANIA D. SUKKARY vs. TAMIR E. SUKKARY


Transcript of Proceedings on 11/07/2014

25 36:23
38:15
55:22,23
56:3 57:8,
24 64:3

69:19

30:5,
6,7 39:17,
19 45:3,6,
8,10,22

Monday

mention

67:2,3
mentioned

5:20 39:10
married

38:21
55:18 64:8
Mary

33:19

message

39:22

43:17
52:8

means

6:19

meant

11:7

5:9
43:16

met

14:15,19
15:17,25
16:21
20:10,11,
14 21:11
23:14,19
24:4,5,18
67:12,17,
20
meet

44:1

mid

49:14

motels

Mind

52:9

mother

57:12

49:25
mental
mentally

68:4

misdirect

64:13

64:13
11:7

56:6
57:11

46:24
48:15,17,
20,25

move

54:25

narrative

64:14
Natomas

52:10
nature

39:11

nearest

52:15
necessarily

25:2
needed

46:25

37:4
36:15
44:24 45:1
37:20
51:2

nice

6:24
nicely

10:18
18:6 23:22

moved

movements

47:3

50:18

neighbors

41:11,12,
18,22,23
motion

named

negatively

mothers

misrepresent

mom

16:5
31:7 35:25
37:10,11
43:25
48:19 57:5
64:23 65:6
40:7 43:22

13:10

mistake

24:9

mother's

mismarked

molest

63:7

48:3

minutes

mode

meeting

39:16,17,
20 44:13,
16 45:22
46:2 48:15

4:10

minor
medical

50:18

mutual

37:2
45:17,20
64:19

morning

MICHELLE
meal

20:17,18
45:15 64:1
67:15
59:19

40:15

matter

4:5

Muslim

months

messaging

MCBRIEN

67:9

24:10

month

Master's

4:3
61:10,11

63:5

moving

messages

39:22
34:2

39:25
42:7 46:6,
15

money

Index: married..night

NICHOLE

35:17
4:11

15:13
26:23

night

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RANIA D. SUKKARY vs. TAMIR E. SUKKARY


Transcript of Proceedings on 11/07/2014

50:20
24:22,
25 26:7,
15,19 38:5
49:1
50:16,17,
25 51:8
59:11,15

Noble

36:15

noise

nondisclosure

32:12

6:21 7:3,4
10:20
14:24
23:23,24
32:12 33:1
56:15
obvious

64:24
occasions

36:7
occurred

21:6,
7,8 67:13

notes

16:2 66:21
67:11
68:6,9

notice

32:21,22

46:11
58:20

odd

noticed

45:11
52:25
53:18

offered

notified

officer

36:25
14:3

office

6:17

5:11

64:16
4:1

November

9:25

offices

21:3
32:5 56:25
O

5:3
38:25
39:3,4,5

oath

object

32:4

57:16
objection

39:17
41:14
44:2,20
47:11
50:15
52:24
ongoing

32:16
5:8,
10,11,12,
14,25 6:9,
14,16 7:6
8:3,4
25:15,16,
21,22
26:2,4,5
28:12,14,
16,20,21
49:7,14
50:1,2,3
53:11
58:14,15
66:6,7,14
68:15
69:18
70:4,5,6,7

order

ordered

25:23
55:5,7
24:13

21:16

oldest

7:1

originally

64:14

number

opposing

outburst

42:24
outbursts

42:6 68:18
Overruled

56:20

66:2
P

open

13

36:12,

Index: Noble..party

24 44:2
48:22
51:17
52:25
60:23
52:14

packed
packing

45:11,22
21:2

pages

7:19
55:8

paid

29:1,
4,6,9 43:1
52:6,9
60:2

Panera

6:13

paper

paperwork

58:7
paralegal

58:9
35:22

parent
Park

44:1

parking

31:18
60:10 61:2
24:4
69:19

part

64:7

parties

68:15
partners

39:9
26:8,
16 43:18,

p.m.

party

62:24

63:5

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RANIA D. SUKKARY vs. TAMIR E. SUKKARY


Transcript of Proceedings on 11/07/2014

63:8
65:25

past

patient

34:13
64:15
68:10

picture

15:9,13
24:15 36:3

phenomenon

46:7
55:5,6,8

phone

pay

peace

68:22

pending

58:14
percent

39:18
period

36:10,25
45:17 53:9
permanent

66:7
permitted

22:18
68:17
69:21,23,
25

person

PETER

4:5

Petitioner

4:7 10:6
11:14 20:2
64:15
66:12,25
68:3,4,13,
18,19,21
69:18
petitioner's

7:9 11:14
31:25 32:3

63:13
32:3
40:9 52:19

physical

16:6,17
20:14
30:24
34:10
47:15
63:7,24,25
65:20
66:25
67:14,22
68:6,8
physically

9:24 10:2
15:10 34:7
56:22
57:1,7
69:19
27:10
40:5
43:19,23,
25 44:7
51:20
52:24
60:14,21
61:8,9

pick

picked

40:10
43:21
46:20

34:21

12:17,19
13:1 19:25
21:16
66:19
67:10
pictures

69:11

24:10
49:8 60:2

place

Plaintiff's

political

39:2
67:8
pound

36:11

preceding

31:11
precious

41:13
precisely

52:16

6:25
play

22:1,5,14
31:17 64:9
66:16,17
67:1

Possibly

19:20
22:4,5,9
34:13
65:21 67:7
piece

Index: past..presiding

32:2

premature

18:7,8
pleadings

32:5 57:17
58:8
pled

32:5,6

pocket

68:24

15:11
36:3,5
40:16,19
41:25
42:21,24
45:23 51:3
53:7,25
54:5,11
67:23

point

pointed

39:5

5:9,
10 16:20

police

preparation

34:20
preparing

42:16,17
48:23
presence

54:8
4:12
21:17,24
32:13 38:2
61:14,17
65:3

present

presented

38:18
presiding

4:6

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RANIA D. SUKKARY vs. TAMIR E. SUKKARY


Transcript of Proceedings on 11/07/2014
Index: pretty..Rania's

pretty

13:4

19:17
38:15
47:19
69:23,24
prevent

proceeding

5:3

29:16

proceedings

4:13 55:21
56:3 70:15
5:8

process

28:14
31:12

pursuant

32:21
17:1
48:19 64:4

put

puts

15:12

putting

35:17
previous

professor

28:20

63:10

previously

9:6 12:17
27:7 28:13
29:21

prone

68:17

36:17,20

39:6

35:23
31:4 66:14
69:20

principal

protective

54:12

53:13

38:10
45:20
49:18
50:17
55:22

prior

22:9

provide

22:5
32:14,16,
18 65:21
41:20

psyche

privileged

psychological

32:20

8:7 42:5

problem

8:1

problems

35:5
procedures

69:5,7

public

60:2

pulled

40:22

51:25
punch

question

18:14 19:6
21:22
22:24,25
28:8,22
30:1 61:13
62:5
questions

provided

privately

48:2

38:25

Queen

protect
protection

primary

8:9 15:22
17:2
30:14,15
33:2,5
47:18,20,
24 54:4
62:2
quickly

52:13,14
59:21

38:8

punching

34:24

17,20,21
raise

33:9

Rakhshi

14:16
range

65:18

4:7
35:12
36:23
37:7,15,22
38:11,15
39:16
40:1,3,9,
12,21
41:12,25
42:7,16,25
44:10,16,
22 47:11,
18 48:1,3,
7,8,9
50:6,17
51:3,9,18
52:1,9,12,
15,25
53:17,19,
22,25
54:2,13,18
55:4 56:9,
23 57:24
58:20
59:3,12,15
60:4,6
61:4,21
63:6,21
65:8,9

Rania

38:22
48:12
58:10

prevented

purchased

radio

37:16,

Rania's

42:24 52:4

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RANIA D. SUKKARY vs. TAMIR E. SUKKARY


Transcript of Proceedings on 11/07/2014
Index: read..restraining

54:7

67:17

remind

63:11

15:4,6
17:18 24:3
32:22 51:2

recorded

remove

5:23

21:5

15:17
23:19
67:20

read

reading
ready

4:17

reason

32:15

46:22

records

rental

52:2
repeat

REDIRECT

30:17
66:5

reasons

referring

39:13
42:10 43:8
45:2 50:8

recall

received

10:22 15:1
23:25
25:15
49:17 70:3
recently
recess

55:23
reflect

15:8

refresh

17:9

registered

46:1
regular

50:19
4:3

5:1

recognize

10:9 11:18
14:11
20:6,7
23:10,11
69:22
recollection

14:15
20:10,11
21:3 22:1
23:14
63:25
64:9,
66:17 67:1

reported

65:15
Reporter

relations

31:12

17:9 34:17

57:17

10:5
14:20 15:8
16:21
17:16 20:5
21:11 23:9
24:4,5,18

religious

record

respond

reporting

relevant

45:16
remember

34:16 37:6
47:7

66:3
35:13

68:23

65:16

residing

35:13
41:12

4:11

relationship

11:11
12:10
13:19

respectful

reimbursed

34:5 45:19

residence

repeatedly

report

regularly

29:15

12:23

40:18

31:8

65:11

46:14

38:25

reports

24:10
representation

11:24 19:4
represented

4:7,9
repute
request

32:21
require

55:6

Respondent

4:9 6:8
32:2 63:9
64:22
65:4,25
66:1,2
respondent's

10:6,23
11:14,17
14:7,8,23
15:2
17:12,16
20:3,5
21:1 23:6,
9,21 24:1
65:6
rest

43:2

restaurant

52:12
restraining

65:4

5:8,11,12,
14,24 6:9,
14,16 7:5
8:2,4
25:15,21

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RANIA D. SUKKARY vs. TAMIR E. SUKKARY


Transcript of Proceedings on 11/07/2014

28:12,14,
16 49:7,14
50:1,2
53:11
58:14,15
66:6,7,14
69:17
70:4,5,6
32:7
34:23 42:5
69:6

result

Sac

34:18

Sacramento

34:5 40:8
44:3 49:19
Saeed

54:12

safety

66:5

68:14
4:8

SAHREEN

5:2

resume

26:25

SALAM
retracting

27:10
43:24

return

70:8
returned

11:11 12:9
13:19 44:3
46:16
50:23

right-hand

44:1

7:20
36:8,11,13
40:22
42:15

room

rooms

44:23

route

57:20

59:5
68:15

64:4

scared

7:24

14:17

38:15

Saturday

26:7,13
42:11
50:8,13,
15,23
Saudi
save

schedule

26:25
27:4,16,22
28:4,6,23
43:13 44:8
51:12,14,
21 52:1,10
53:6,15
54:13,14,
19 60:20
61:16

school

science

9:19
31:6

16,19
54:5,11
61:24
53:7

Selma's

54:1,3
semester

27:5 51:18

39:2

sealed

17:12

search

46:25

seated

33:15

5:21
21:17,18,
20,21
38:1,2
40:5
44:20,22,
24 45:7
47:11,24,
25 48:24
50:15,24
51:7,21
52:1,3,5,
24 53:14,

Selma

33:20

sample
sat

16:25
25:5,8,11
31:1,5

52:16

35:25
Sam

21:4

run

39:23

salvage

21:9

Rohnert

27:4
43:12,23
44:7 51:11
52:1,10
53:6,15
54:12,14,
18 60:7,
12,16
61:2,15
sale

returning

saving
S

Index: result..serve

34:20
47:12
48:13
45:19
69:20

sense

separate

21:7
separated

45:10
separation

16:6 36:25
37:7 51:6
67:22
September

6:10 7:6,7
26:8,10,
11,13,16,
19 27:25
28:2
49:14,15,
16,24
50:9,12
51:22
58:4,7,12,
18 59:8,
14,24
60:13
61:20 65:5
serve

6:2,7,

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RANIA D. SUKKARY vs. TAMIR E. SUKKARY


Transcript of Proceedings on 11/07/2014

12

shocked

6:8
7:6 49:22
58:3,4

short

served

services

16:10

Shorthand

4:11
shortly

65:19
set

41:5

49:22

42:15
47:22
52:11,18
53:1,5
62:8
situation

48:24
60:18

65:16
40:4

Skype

21:15

severe

66:23
severely

66:22
8:8
56:23,
65:25

sexual

45:15

Shamsuddin

55:24
56:13
57:4,7,11
16:17,
22 39:24

share

24:7

65:18
shelters

24:9
shin

18:16,

25

showing

10:6

36:12
37:22
44:14,17
47:10,
14 48:6,18
62:7,13,14

Smith

67:7

shown

12:18
64:20
67:23

17:7
69:13
39:8

69:9
24:15

source
south

40:8

9:4
41:21
47:15,21
48:1,5,18
50:6 51:9
59:19
64:11
68:20

speak

9:3

speakers
specialty

23:14

68:7

social

33:16

spelled
socialized

65:8

33:18
spending

shut

40:17

society

sight

69:9

63:14

61:11
43:1
50:16

spent
signed

24:13

significant

sold

39:24

solemnly

69:5

similar
Similarly

67:1

solve

31:10

38:20
41:24 65:1

son

57:3

simply

42:17

Sonoma

sister

54:10

sophisticated

29:11
51:1 52:6

sitting

29:10,14
40:21

63:15
sore

18:25

51:6
53:8

sort

8:21
15:9 22:13
41:24
45:15 48:6

spoke

33:11

19:18

sit

shins
shirk

66:25

shows

57:11

shelter

showed

sleeping

sound

spell

sexually
shaikh

10:5
11:13,21
19:2 31:19
67:20

show

Index: served..stairs

spoken

7:1

sponsored

24:13
spotted

51:3

34:22
47:18,23
62:9

stairs

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RANIA D. SUKKARY vs. TAMIR E. SUKKARY


Transcript of Proceedings on 11/07/2014 Index: stamped..suggestion

65:10

stamped

66:19

stating

5:2
36:16

stand

standing

47:18 52:2
53:6,20
staring

68:20
49:12
51:14

start

24:14

stop

16:10
37:4 68:14

store

status

16:14
22:18
24:10
25:23,25
44:10 52:4
55:11

stay

stay-away

started

26:5 50:4

18:12
32:18
50:25

stayed

43:18,23
59:4

starting

17:18

staying

33:11,
16 34:6

stenosis

state

stated

16:20
31:17

stole

25:5

29:22
58:19
59:11 61:4
64:25
65:7,9
67:25

26:1

14:18
33:6
62:4,20
65:17

step

stepfather

48:21 58:4
stepmother

42:4 56:24
statement

19:7 29:21
63:2,4
64:19

stick

15:10
16:11,14
33:25 39:7
64:18

Stolba

states

57:20

Stockton

48:14

Stolba's

65:6

48:20

35:15
41:12,16

54:4

strange
street

52:11

strike

59:13

strong

46:4
69:16

69:23,24
9:4

student
story

66:20

4:10
6:21 7:4
8:12 10:5,
9,18,24
11:13,18
12:4,6,15,
17 13:6,12
14:6,9,11,
22 15:3
17:5,11,
17,25
18:5,8,10
20:2,6,21
21:2,20,23
23:5,10,21
24:2,3
25:20,21
26:10,12,
15 30:14
31:22
32:4,10,
17,25
33:5,8,23
56:15,19
57:16
62:3,18,22
63:1
66:10,11
70:9

students

9:3

studied

8:12

Stowell

38:16
stuff

52:2

subjected

42:4
subpoenas

55:9
substantial

13:4 63:19
subtle

63:16

succinct

64:21
suddenly

45:21 52:8
suffered

65:20,22,
25
suggest

36:22 37:5
suggested

16:6 36:24
37:6 40:15
48:10
67:22
suggestion

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RANIA D. SUKKARY vs. TAMIR E. SUKKARY


Transcript of Proceedings on 11/07/2014 Index: Sukkary..testimony

37:3,11
4:7,
9 5:5,7,
10,13,17,
21,25 6:3,
9,16,20
7:13,16,21
8:3,5 23:3
30:18,23
31:11
33:8,18,
19,23
55:16
56:7,9
57:15,24,
25 58:8,
11,16,20
59:3,6,12
60:4,7,13,
25 61:4,5,
14,16
63:7,9,18,
21,25
64:10
65:2,9,12
66:3,8

Sukkary

Sukkary's

59:16 65:8
summertimes

40:6
27:4,
9,13,14,
16,22,25
28:24 30:3
37:21
43:9,13
45:7

Sunday

51:12,14,
21 52:23
59:24
60:12
61:16

29:10
40:22

table

37:15
52:21
54:17,25

27:22
43:23
4:4

Superior
supervise

48:12

28:19
47:23,25
50:19

talked

11:2
28:14 48:3
53:1,6,24
54:3,16
60:14
61:19

talking

supplication

41:17
support

24:14
supported

4:9
5:10 7:16
8:5 9:24
12:6,13,24
13:16,22
16:5 21:14
22:6 23:3
24:21,24
25:5 26:22
27:3,8,9,
16,24
28:23
29:1,6,15
33:8,18
41:25
48:11
68:17

Tamir

38:14
supporting

64:23
supposed

26:1 28:17
surprised

47:13
sustain

32:12 33:1
sustained

6:23 56:15
sustaining

65:19
63:21

40:4
37:24

tapped

talk

Sundays

system

Tango
T

Tamir's

26:16

teach

39:1
53:7

teacher

54:1,3
61:7
teachers

53:24
teaching

8:24,25
48:14
teacup

36:6

temporary

6:8 53:11
58:15
24:15
41:4 62:15

ten

tensions

36:23
14:17
38:16

test

testified

27:7 28:13
38:12
68:2,4
testimony

27:11
28:20
33:11 47:6
63:12
65:2,7
66:14
68:10,11
69:10

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Transcript of Proceedings on 11/07/2014
Index: thing..U-k-k-a-r-y

thing

46:7,8

things

40:18

41:10
18:9

thought

48:16
53:10
65:24

threat
threaten

22:23
37:12
threatened

16:19
34:10
65:22,24
threatening

31:2,16
32:2
three-story

44:25
36:6

threw
THUT

4:11

10:12
11:21,24
37:1

ticket

tickets

38:18
6:2,4,
7 10:13
15:11 16:4
24:16 27:3
31:5 36:9
37:5,22
40:8 42:2
43:16

time

44:6,7,17
47:19
49:24
51:14,16
52:19
53:20
67:12
25:4
35:15,18
36:11
38:17
40:23 41:4
51:19 53:9
68:16

times

tirade

40:16

22:16
55:3 63:9
68:23
69:22

today

5:11
7:19
35:16,
40:17,23
41:3,25
43:19
45:14,16,
18,23
46:10 52:3
53:22,24
54:1 66:16
68:1

told

Tom

33:19

tomorrow

50:21
tonight

24:11

trouble

42:19
47:18

troubling

top

total

55:8

69:1
6:18
28:17 40:1

touch

traditional

56:10
64:2,3
training

69:8
transcript

17:8,12
18:1
translated

15:5
trash

41:19

treat

35:20
8:12
10:15
11:23
13:12
14:19
16:4,9,16
19:3 21:13
24:18,24
29:9 38:13
55:18,20
56:1,4,6,
12 57:6,10
58:6,13,
17,25
59:2,3,7,
12,15,17
60:6,25

true

42:5

trunk

64:25

truth

trauma

32:13,
17,22
36:25 37:7
41:15
67:22
69:4,6

trial

10:24
12:1,7,9
13:13,20,
22 34:18

trip

64:5

52:3

15:16
33:12,13

Tuesday

39:19
turn

37:12
41:14

turned

42:18
typical

14:18
U

tripped

34:21
trips

46:7

U-k-k-a-r-y

33:20

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RANIA D. SUKKARY vs. TAMIR E. SUKKARY


Transcript of Proceedings on 11/07/2014

UC

8:21

59:10
60:1 62:10

8:21

66:24

Uh-huh

40:10

unable

uncomfortable

70:4
undergraduate

34:3
understand

12:20
21:21
28:16 30:1
unfounded

57:3 65:23
United

16:10,14
33:25 39:7
65:10
University

34:6
unsafe

21:8

unsure

15:13

37:3
38:12,24
41:6 53:17
54:23
58:25
68:19

upset

upstairs

urgent
usual

well-educated

24:6
27:8

6:21

vague

16:23
21:8 35:20
36:1 41:8
47:14
67:21
68:5,8

verbal

wait

63:10,19

45:17
43:15

waited

40:4

Viber

63:7

victim

66:13

37:24
40:22 48:6
51:4 53:14
54:11

walked

49:23

walking

views

64:3

50:25

violent

visible

66:24
vision

59:16

30:20
32:2
42:19

voice

volunteered

38:2

Watt

43:17

ways

63:16

41:15
49:5

week

27:21
39:19
42:12,14
43:12 49:2
50:14 52:1
53:6,15
54:13,14
weekends

24:22 25:1
49:6
weeks

61:1,

window

3
wit

4:14

57:21

weekend

65:16
68:17

39:11
55:6

wild

withdraw

wanted

8:5,6
22:18 23:2
25:12
66:13
67:14

47:7

34:8
55:24
56:13

36:14

view

violence

63:10,18

wife

31:18
45:17
59:19
wake

15:12

well-seasoned
wham

waiting

verbally

visited

36:8 40:20
41:3 42:25

Index: UC..worker's

witnesses

62:21
64:23
65:11 68:5
39:16,
21 43:12
45:11

woke

64:1
67:15

woman
word

40:18

worked

9:18

62:7
67:4 68:2,
7

worker

worker's

69:10

21:16

www.huseby.com
Huseby, Inc. Regional Centers
800-333-2082
Charlotte ~ Atlanta ~ Washington, DC ~ New York ~ Houston ~ San Francisco

YVer1f

RANIA D. SUKKARY vs. TAMIR E. SUKKARY


Transcript of Proceedings on 11/07/2014
Index: workers..Zayed[verbatim

69:8

workers
written

21:10
16:8

wrong

34:19
38:15

year

24:15
63:8 65:13
69:4

years

yell

36:11
38:1

yelled

42:19
yelling

36:15
40:13
42:24
young

68:19

youngest

41:14
42:22
43:25
53:23 54:9
57:5
Z

50:18
59:20

Zayed

Zayed[verbatim

51:4

www.huseby.com
Huseby, Inc. Regional Centers
800-333-2082
Charlotte ~ Atlanta ~ Washington, DC ~ New York ~ Houston ~ San Francisco

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