Professional Documents
Culture Documents
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EXECUTORS: JOHN G. BRANCA. AND JOHN MCCLAIN
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February 10th 2017
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Presiding Judge Mark V. Holmes
Jacksons estate is represented by Avram Salkin, Charles Paul Rettig, Steven Richard Toscher, R
obert S. Horwitz, Edward M. Robbins Jr., Sharyn M. Fisk and Lacey E. Strachan of Hochman Sa
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lkin Rettig Toscher & Perez PC, Paul Gordon Hoffman, Jeryll S. Cohen and Loretta Siciliano of
Hoffman Sabban & Watenmaker and Howard L. Weitzman of Kinsella Weitzman Iser Kump &
Aldisert LLP. ae
The
IRS is represented by its attorneys Donna F. Herbert, Malone Camp, Sebastian Voth, Jordan Mus
en and Laura Mullin.
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ANDREW HEYWARD
children's entertainment
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Mr. Toscher: Mr. Weitzman will be calling Andy Heyward, Your Honor.
Court Clerk: Please state your name and address for the record?
A. Andy Heyward, ..
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DIRECT EXAMINATION
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Mr. Weitzman:
Q. Thank you, Your Honor. Mr. Heyward, what is your occupation?
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A. I make children's entertainment.
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Q. How long have you been in that business, just a rough guess?
A. Approximately 35 years.
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Q. And the first company you worked with was named what?
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A. Hanna-Barbera.
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Q. And after Hanna-Barbera, did you work in any particular programs we might be familiar
with while at Hanna-Barbera?
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A. I was a writer and a director and a producer. I worked on Yogi Bear, The Smurfs, Scooby-
Do, Huckleberry Hound, Flintstones, Jetsons among others.
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Q. And then after Hanna-Barbera where did you go?
A. Deak Entertainment produced, distributed and licensed animated cartoons and their
consumer products.
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Q. And can you give us a list of cartoons .... did you create these cartoons as well?
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A. Most of them I created.
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Q. Could you give us a list of the cartoons created and/or produced by Deak?
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A. Inspector Gadget, Dennis the Menace, Heathcliff, Ghostbusters, Super Mario Brothers,
Sonic the Hedgehog, Alvin and the Chipmunks, Hello Kitty, Strawberry Shortcake, Care Bears,
Rainbow Bright, Captain Planet, G.I. Joe, Where's Waldo among others.
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Q. And those are just the ones you had on the air. At one point you had a block of
programming, was it at CBS?
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A. I've had a block of programming at different places at different times. We did ....
for ABC. And of course produced for all of the networks at one time or another, ABC, CBS,
NBC, Fox, Nickelodeon, Cartoon Network, Disney Channel, HBO, all of the first run syndicated
independent TV stations.
Q. And as part of your business, did you also get involved in creating merchandise, consumer
products?
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A. Yes. Most children's content spawns consumer products that comes from the shows. The kids
see the characters and they want to engage in the play patterns. So that means toys, video games,
electronics, apparel, music, publishing, backpacks, sleepwear, soft goods, stationery, school
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A. Yes, of course. Yes.
Q. Okay. Can you give us a couple of the names you dealt with?
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A. Well, they've ranged over the years from celebrities, musical acts.
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Q. Such as?
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A. Sports figures. Warren Buffet, Michael Jordan.
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Q. Warren Buffet. Can you I just stop you for a moment. Wait, wait, wait. What do you do with
Warren Buffet?
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A. We make a children's series with Warren Buffet called the Secret Millionaire's Club. The
premise of this is to tell stories promote lessons in financial literacy, obviously done through
good storytelling, conflict, crisis, jeopardy, stakes, hijinks, all of that. But we use Warren, his
image and he does his own voices. He actually participated in not only doing the voices in every
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aspect of the cartoon, but recruited a number of people to be in the cartoon with him, whose
name and image we used as well, who did their own voices as well such as Bill Gates, Shaquille
O'Neal, a number of parties.
Q. And in the sports world putting Shaquille apart, is there anyone whose name and likeness
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you use or any number of stars, sports stars you've used in any of the animation series?
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A. I have.
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Q. Who?
A. Michael Jordan, Wayne Gretsky, Bo Jackson. I'm sure there have been others.
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Q. All right. Did you have occasion ....
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A. Magic Johnson.
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Q. In the music area, are there any names we would recognize whose name and likeness you've
used that are a talent in the music business?
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A. Yes. We've used the New Kids on the Block, M.C. Hammer.
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Q. All right. Did you at some point early on in the business meet with Michael Jackson about a
possible animation program?
A. I did.
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Q. When was that? Again, not the exact date, just kind of the time period.
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A. No. I don't know the exact date, but it was in the 80's.
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Q. And did you begin to create an animation program involving Michael Jackson?
A. We did.
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Q. And was Michael Jackson going to be one of the characters in that programming?
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A. He was.
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A. No.
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Q. What happened?
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A. Well, we had a number of meetings with Michael. I was partnered at the time with Dick
Clark to develop it and he had worked with Michael over the years and knew him well, and we
developed a cartoon series with Michael, and we had a commitment from CBS to do the cartoon
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and I actually remember this quite vividly, because it was a very disappointing moment. We were
literally walking into CBS to close the deal and finalize terms with them for a Saturday morning
cartoon when I received a call from one of Michael's attorney, that said Michael has changed his
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mind. He feels he's overexposed and he really doesn't want to do a cartoon right now.
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A. Ken Ziffren. ae
Q. Okay. So did you continue to see or speak with Michael over the years after that experience?
I'm not talking about for projects, but just on a social or personal level, at all run into him?
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A. No, no.
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Q. Okay. So when was the next time you thought about doing anything Michael Jackson-
related, related?
A. Well that was many years later. It was probably, you know.
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Q. By the way, had you been approached to do name and likeness for animation programs with
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any particular high profile celebrities and decided it would not be in your best interest to do that?
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Judge Holmes: Sustained. Try again.
Mr. Weitzman:
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Q. Were there any programs that you decided not to do with celebrities or using their name and
likeness?
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A. I'm sure there were.
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Q. Sports stars, musicians, actors, actresses? By the way, if you can't, that's okay.
A. Yeah. ae
Q. Can't remember, that's okay.
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A. I'm sure there were. I'd have to reach a moment and try and recall.
Q. Were you asked to do an animated program, children's programs with any baseball players,
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A. Yes.
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Q. Anyone else that you were asked to do programs with that you didn't do?
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A. Well, I think the association of Kobe Bryant with his personal matters were just not
appropriate for children's content.
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Q. All right. So let's fast forward. You said several years later, that is between the 80's and
before Michael Jackson died, you did have some contact with Michael Jackson-related projects.
Could you explain to us what you were involved with?
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A. Yes.
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A. friend of mine contacted me and said that Michael was interested in doing a cartoon series
and a line of merchandise around Thriller, and would I be interested, and I said I would be
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interested and that led to us having a series of meetings.
Q. A series of meetings?
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A. Yes.
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A. Well, the meetings were with Michael always, and they were with his then representative Dr.
Tohme Tohme.
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A. I've subsequently learned that. I was introduced to him as Dr. Tohme Tohme.
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Judge Holmes: They're fighting about it.
Mr. Weitzman:
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Q. Who else did you talk to about the project besides Michael Jackson and Tohme Tohme?
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Q. No, I don't mean in Michael's universe. I mean in total. Let me back up. Was this a project
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involving the Thriller concept in some fashion?
A. Yes, it was. ae
Q. Okay. Who did you talk to when you began to work on the project, whether or not it could
happen?
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A. John Landis was the producer, director and he had many different roles in it, but he made the
video, the celebrated Thriller video.
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Q. Okay, and what did you do to move forward on the project in the early stages?
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Q. Sorry.
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A. You asked me who I talked to. I talked to John Landis and I also talked to the composer and
owner of the song, Rod Temperton.
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Q. And did you go to London and meet with Mr. Temperton?
A. I did.
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Q. And what was the concept that you had in mind for this program?
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A. And I also spoke to a lawyer who represented Michael at the time.
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Q. Do you remember who that was?
A. The concept was a children's animated cartoon series based on the Thriller video, and
creating the .... turning it into an animated series with characters that we would create using
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Q. And when you say "using several of the signatures from the video," could you explain to us
what that means?
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A. Well, it would mean all of the ghouls and the zombies and all of those, you know, the
creatures, you know, that come to life and all that stuff inside the video. It would mean the
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music. The music was the signature song. We had done Ghostbusters and the music of
Ghostbusters was very similar in that regard, very, very fundamental to the success of the
Ghostbusters cartoon, and the motifs.
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Q. And were you going to create new characters, your own characters, or basically take the
characters right from the short film?
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A. We were going to create new characters and in fact we did create new characters.
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Q. And was Michael Jackson going to be one of the characters in that animation?
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A. No, he was not.
Q. Why not? I understand this may be hard, but just if you could tell us, I'd appreciate it.
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A. Yeah, of course. I'm trying to present this in an elegant, tasteful way. Michael was a lovely
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person and I enjoyed spending time with him and getting to know him, and I have nothing but
kind references to speak of him about. At the same time, his reputation couldn't be ignored, and
anything to do with using his name and his image in children's entertainment was candidly toxic.
So we didn't want to have anything of him associated with Thriller. We wanted to take the movie,
all of the spooky stuff and fun stuff there. We could create stories with scary and hijinks and
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what-not, and separate that from the use of Michael. You know, it was a little bit of Scooby-Do,
which I was a writer on, a little bit of Ghostbusters, which I produced, which were scary stories
and things of that sort. But we didn't want to have Michael personally involved in it.
Q. And did you .... did you .... did you talk to Michael and/or Tohme about making some type
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A. Yes.
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Q. Did you believe you needed to make a deal with Michael Jackson to do this cartoon?
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A. No, I don't think we needed to do a deal per se. We were, you know, comfortable that
working with John and his creativity, John Landis, and working with Rod Temperton who wrote
the music, and who coincidentally had never met each other and they met through me.
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Q. John Landis and Rod Temperton had never met each other?
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A. No, they never knew each other. So we brought John to London to meet with Rod, and I
wanted to get their creativity engaged. We didn't think that we needed Michael, but at the same
time I wanted to be respectful and have him a friendly party.
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Q. And what do you mean like a friendly party? Like that's how people become executive
producers on films?
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Mr. Voth: Objection, leading. ae
Judge Holmes: Well that one's overruled.
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(Estate lawyers all Laugh)
A. Well, as I'm sure you know, Mr. Weitzman, because you are very celebrated in the film
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industry yourself, many people who become executive producers don't do anything. Their names
are used there as a courtesy and as a token for them to participate financially.
Mr. Weitzman:
Q. And was that the deal you had in mind for Michael Jackson?
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A. Yes.
Q. And did you .... by the way. You weren't negotiating to use the master recording of Thriller
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Q. What are the parallels?
A. Well, when I made the Ghostbusters cartoon, we did not use the master. We reproduced our
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own song, but it was the Ghostbusters song, our version of it. So we didn't have to go license that
song per se, and also we didn't use the likenesses of the actors that played in the Ghostbuster
movie. We just designed different characters.
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Q. But with respect to this show, there was, as I understand it, a reason why you didn't want to
use Michael's character, which you told us about?
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A. Yes. ae
Q. In the agreement that you reached .... well pardon me, did you reach an agreement with
Michael Jackson, at least a draft agreement?
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A. Yes, we did.
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A. Yes, it was.
Q. Your Honor, I'd like to mark next in order an agreement that has the title "
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A. Squared Entertainment, LLC" at the top, marked next in order. I don't remember what that
number is, so I'm going to rely on the Clerk.
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Mr. Toscher: Yeah. Did you give them a copy? ST I gave them a copy.
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Court Clerk: Sorry, that's my mistake.
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Judge Holmes: Never mind.
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Mr. Weitzman: And could I have the first page of the document on the reader? Are you familiar
with it? Mr. Voth, are you all familiar with that? You want to take a moment?
Mr. Weitzman:
Q. Mr. Heyward, while they're reviewing the document, the first page is also on the screen in
front of you.
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Mr. Voth: I'm doing reviewing the document. Thank you, Mr. Weitzman.
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Q. Thanks. Mr. Heyward, the document in front of you with the letterhead A Squared
Entertainment, is that the draft document of the agreement with Mr. Jackson and MJJ
Productions?
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A. It would appear to be, yeah. I haven't read it and it's been a number of years, so but it
certainly ....
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Q. Well, I would ask you to read if you would, the first paragraph, "Licensed Property" and
specifically subparagraph three in that paragraph. That's the line I'm going to ask you questions
about.
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A. Yes, okay. Let me just take a moment. ae
A. I'm sorry. It needs to be blown up. It went back to, it reverted. Thank you.
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Mr. Weitzman: Can you blow up or highlight subparagraph three?
Mr. Weitzman:
Q. Okay. Do you see the highlighted portion?
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Q. I want to read that into the record if I might please, subparagraph three, and the first
paragraph, Your Honor, titled "Licensed Property," and also the higher up .... the higher
highlighted reads "For purposes of clarification, the property shall not include, nor is any license
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granted hereunder to ASE for or with respect to." Then I go to subparagraph three, "any right or
ability to use Jackson's name, likeness, image, voice, identity, character, biographical material or
any other reproduction or derivation of the foregoing." Did I read that correctly?
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A. Yes sir.
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Q. Yes? Did you or you instruct whoever drafted this for you include that in the agreement?
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A. Yes.
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A. I don't know that.
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Q. Why was it included in the agreement?
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A. Well, we didn't think that we .... we didn't want any of those rights. They were not necessary
to produce what we wanted to produce.
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Q. So were there continuing negotiations after this document was drafted with Mr. Jackson or
his representatives?
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Q. And correct me if I'm wrong, but you did tell us you didn't want to use the name, likeness or
the voice; is that correct?
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A. Right.
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A. Michael's voice is very recognized, very known as Michael, and we didn't want to have any
signature which would associate him with this brand. It would have been a negative for the
brand.
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Q. So at some point then did the project stop going forward?
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A. Well, the project stopped going forward with Michael's death.
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Q. All right. Had you decided prior to Michael's death if you wanted to continue to go forward
with the project?
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A. We just were really increasingly uncomfortable with the association with Michael, and
candidly were not certain that we could even not using his name and likeness and voice and
signatures, distance ourselves enough from them. I mentioned the Warren Buffet, we do the show
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with Warren Buffet and we still do, and I think I can say comfortably that Warren, we have a one
paragraph agreement with Warren, and in that agreement he assigns to us the use of his name,
likeness, voice and right to merchandise consumer products based on that in our series we do
together worldwide in perpetuity. The reason I say this is because that's not something that comes
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easily. This is a man who very, very much values reputation, and Warren has a wonderful quote
which we use in our series, the Secret Millionaires Club. It says "It takes 25 years to build a
reputation. You can ruin it in five minutes." So ....
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Q. Whose reputation were you concerned about ruining if you were to use Michael Jackson's
name, likeness or voice?
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A. Ourselves, the people making the cartoon. At that time, my wife, myself and others who
have worked with us.
Q. All right. You've over the years told us you licensed and created consumer product
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merchandise. How did you feel Michael Jackson's opportunities for exploiting his name and
likeness were?
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A. I felt that they really didn't exist. Let me share that in the course of developing our cartoons
and the consumer product programs which go hand in hand with them, we regularly visit retailers
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and we take the temperature from retailers of how they like a property or not. In many cases,
that's a proxy for whether the consumer marketplace will respond. We just, after doing that, we
knew that anything that connected Michael to Thriller was not going to be welcome in the
marketplace.
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Q. And you used the term "toxic." Is that what you meant?
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A. Yes.
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Mr. Weitzman: Okay. May I have the document, this is the last document, marked next in order?
It's an email from Andy at a Square Entertainment to T. Tohme at MJJ Productions.
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Court Clerk: Exhibit 642-P is marked for identification
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Mr. Weitzman: And Mr. Voth, do you have a copy of that?
Mr. Weitzman:
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Q. Sure.
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A. Yes.
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Mr. Weitzman:
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Q. Do you recall sending this document on or about June 6, 2009 to Mr. Tohme? I mean if you
don't recall, it's seven years, you can just tell us.
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A. Yeah. I mean it's yeah, it's almost eight years ago and, you know, I probably do 200 emails a
day. So I don't recall specifically this, but it's I'm sure it's what I said, because it does make
sense.
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Q. It does make sense did you say?
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A. It's consistent with how we viewed the property at that moment.
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Q. And this was sent about three weeks before Michael's death?
A. Yes.
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Q. Now did you have an interview with Mr. Voth from the Internal Revenue Service about your
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dealings with Michael Jackson before this trial began?
A. Yes, I did.
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Q. And did you tell Mr. Voth in some and substance what you've told us today?
A. I believe I did.
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Mr. Weitzman:
Q. Did you receive a subpoena from the government to testify in this proceeding?
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A. No, I did not. No, no I didn't.
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Mr. Weitzman: I have nothing further.
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Judge Holmes: Cross Mr. Voth.
Mr. Weitzman: Oh Your Honor, sorry. I would like to move the two documents, whose numbers
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I don't remember, into evidence, the two I showed Mr. Heyward with the Court's permission.
Mr. Voth: Respondent objects to the document identified as 642-P in hearsay grounds, Your
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Honor. It's an out of court statement.
Judge Holmes: About his reasoning. That's overruled. That's admitted. 642 is admitted.
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Mr. Voth:
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A. Good morning.
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Q. Let's go back to 2009. Back in 2009, your company was closely associated with kids;
correct?
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A. With kids?
Q. May we have a moment, Your Honor? Mr. Weitzman needs to retrieve some of his notes that
I should have assumed ....
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Mr. Voth:
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Q. All right. During the time that you were somewhat associated with Michael Jackson, you
sought his creative input; correct? Yes or no.
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A. I don't know if I would say we sought his creative input. We shared with him directions that
we wanted to go and yeah, yeah, and we sought his input to that, yeah.
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Q. Now the kids entertainment business is highly susceptible to any scandal; correct?
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Q. You mentioned the Kobe Bryant case; correct?
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A. Yeah. I mean you know, Kobe Bryant, for example, had a number of endorsements,
McDonald's and I believe he had something with General Mills and one of their cereals and they
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all disappeared. So I think ....
Q. But I'm asking you specifically about your entertainment business, not about others.
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A. Yeah.
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A. The question .... sorry. The question was the kids entertainment business is susceptible to
scandal?
Q. Correct. It can have an impact as to whether you'll actually end up producing an animated
series based, you know, for kids for example?
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A. Yes.
Q. Now at one point you wanted to create an animated series called the Governator; correct?
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A. Correct.
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Q. It was going to be based on ....
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Judge Holmes: Governator?
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Mr. Voth:
Q. It was going to be based on a fictionalized Schwarzenegger, right?
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A. Correct.
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Q. Schwarzenegger was going to step down from his role as Governor of California to become
a superhero; correct? ae
A. Correct.
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Q. But this show was then immediately halted because of Mr. Schwarzenegger's infidelity
scandal; correct?
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A. Correct.
Q. You got calls from Disney the minute the news came out about that scandal?
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A. Correct.
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Q. Now if I understand you correctly, you testified that you didn't believe you needed to enter
into an actual deal with Michael Jackson; correct, with respect to the Thriller animated series?
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A. We didn't think we needed to. We wanted to. We felt that it was something that was probably
the best, most prudent route before going forward with the property.
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Q. Okay. So you didn't need .... you didn't think you needed to, but you decided to do so
anyway; correct?
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A. Yes.
Q. Now Mr. Weitzman referenced a .... what was previously marked as document 642-P, that
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email back in June of 2009, where you had some concern about being associated, because of the
people that were associated with Michael Jackson, right?
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A. Well, the people. I think everything, you know, going on.
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Q. The people surrounding Michael Jackson caused you concern; correct?
Q. So that was in June of 2009, but you continued with this possibility of this project, even all
the way up to the point of his death; correct?
A. June 25. So I don't believe from that date we had further contact with Michael. We had a
meeting that had been scheduled to occur with Michael on the day of his death, and had planned
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A. Yes.
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A. Yes, yes.
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Q. You know John Branca; correct?
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A. I do.
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Q. You personally have season tickets at UCLA basketball games; correct?
Q. You said sometimes you sit near John Branca during the games?
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A. Yes.
Q. Now let's talk a little bit about "Thriller." Thriller is a song recorded by Michael Jackson?
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A. Is that a question?
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Q. Yes.
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A. Yes.
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Q. Now you mentioned that Warren Buffet agreement was a simple paragraph you mentioned;
correct?
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A. Yes.
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Q. When did you have that agreement in place?
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A. With Warren?
Q. Right. ae
A. I'm going to guess the paragraph document, I've been working with Warren for 25 years. The
paragraph agreement that we have I believe has been five or six years, something like that. That
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was more or less memorializing something that had already been in place.
A. I'm guessing five years ago, but it could be longer. It's something I can readily check. If you
want I can ....
Q. Okay. So there's an agreement that's been memorialized after Michael Jackson's death then,
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after 2009?
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Mr. Weitzman: I'm sorry. Could he just let the witness try to get an answer out?
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Judge Holmes: Fair enough. Let him answer, Mr. Voth.
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A. I'm not certain of those dates, so I don't want to state a date that I don't know to be accurate.
But I can .... it's framed, sitting on the wall of my office. I can find it out in six seconds if you
want.
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Mr. Voth:
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Q. So with respect to your knowledge of the statements from Warren Buffet, they were in place
before you became somewhat associated with Michael Jackson?
lJa
A. I don't know that.
asked to produce a little animated short that opened the annual Berkshire-Hathaway shareholders
meeting, which I've done for 20 years starring Warren and Charlie Munger and all of the people
of his universe. And through that comfort level of working with one another, evolved the idea of
doing a children's program that promoted financial literacy with kids in the context of telling
engaging stories with all of the tools that I have acquired over my career.
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Q. You mentioned being concerned about your reputation. Is that something that you've always
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A. Well, I would say something that I consider important and that which I seek to be protective
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of, yes.
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Q. Yet you were still willing to be somewhat associated with Michael Jackson in 2008 and
2009; correct? I understand what we've clarified.
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A. Yes, subject to the clarifications.
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A. Yes.
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Q. You were somewhat being associated with Michael Jackson; correct?
lJa
A. Yes, yes, yeah.
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Q. Okay, and had the Thriller animated series actually taken place, Michael Jackson would have
been listed as a co-executive producer; correct?
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A. I believe so, yes.
REDIRECT EXAMINATION
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Mr. Weitzman:
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Q. I really only have one question. You mentioned in response to a question by Mr. Voth that as
you put in your email of June 6th, 2009, you were you were concerned, you didn't use that word,
but you were concerned about the unusual personalities in his life. So you also responded you
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were concerned about the people, amongst other things. Do you remember that just a few
moments ago?
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A. Uh-huh. Yes sir.
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Q. You seemed a little reluctant to say what "amongst other things" were. Are you comfortable
enough if I asked you directly what were you referring to when you said "amongst other things"?
Would you be willing to answer?
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A. Yeah.
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Q. If not ....
A. You know, in the times that I have spent with Michael, there were .... he was always a very,
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very kind and gentle and respectful and professional individual, and I never had any conflicts or
issues or anything that I would find distasteful in my personal dealings with him. Having said
that, there were a lot of people around him that made me very uncomfortable every time we got
together, and those associations alongside the sort of .... the only word I can say is "weirdness" of
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the lifestyle that I saw made me, you know, uncomfortable.
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Mr. Weitzman: I don't have anything further.
Judge Holmes: Could somebody put up 641-P for me? Could you blow up first paragraph
"Licensed Property"? Do you see that, Mr. Heyward?
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A. Yes sir.
Judge Holmes: It's all the things that weren't going to be in this agreement that I recognize was
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never consummated. What was included then, to produce Thriller. Wouldn't you need sound or
something?
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A. Yeah. That's a very good question, and frankly when you take all this stuff out, really what we
were seeking was Michael's good will, and not to have him seek to be obstructive, to show him
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the respect and dignity of the person who was so fundamental to Thriller existing.
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Judge Holmes: How could you have made any cartoon using the name Thriller without some of
those rights?
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A. Well, let me give you by way of example. We made a cartoon called Ghostbusters, which was
based on the movie "Ghostbusters." It was very successful. It spawned not .... I don't even know
the number, but a tremendous amount of revenue for all kinds of products and everything that
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you could imagine that kids would use.
Judge Holmes: It must have been the old Ghostbusters then right?
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A. As opposed to .... the original Ghostbusters movie, yeah. No, the new Ghostbusters movie
was a failure, and we did not use the likenesses of Dan Akroyd or Bill Murray or Harold Ramus
lJa
or any of those personalities. We created absolutely new characters, new models, etcetera. At the
same time, we wanted to have the song because the song was so material to the success of that
film. But the master of that song was not something that we believed we needed, and we hired
somebody to produce us a new version of that song and we took a license from the composer to
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do that.
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Judge Holmes: Oh I see, I see. Okay. Any follow-up questions Mr. Weitzman?
Judge Holmes: Thanks for explaining that, Mr. Heyward. Is he free to go? You're not going to
Te
n.c
Judge Holmes: Thank you very much.
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===================================================
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Judge Holmes: Okay. You're free to go, Mr. Heyward.
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A. Thank you.
Judge Holmes: Good morning again. With that, Mr. Toscher can ask you questions.
DIRECT EXAMINATION
Mr. Toscher:
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Q. Good morning, Mr. Dahl. We're recalling you as a fact witness today. Your Honor, I'm just
going to go briefly through some preliminary very quickly, because we didn't do it with him as
an expert because it's in his report. So could you give your name and address for the record sir?
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A. Yes. Owen Dahl, D- A-H-L. My home address ..
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Mr. Toscher: Okay. Your Honor, I was just informed that Mr. Heyward had something he
wanted to add to his testimony .... oh. Okay before we go on, Mr. Heyward just informed
counsel that he wanted to add something. Can he ....
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Judge Holmes: To correct an untruth or something like that, to clarify an answer?
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Mr. Toscher: Nothing like that. I don't know what it was. I just had the ....
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Judge Holmes: How odd. Well, bring him back in.
Mr. Toscher: If Mr. Heyward wants to come back in, the Judge will allow it. Thank you,
Your Honor.
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Judge Holmes: Well now you've got me curious. Mr. Dahl, can you step to one side for just
a second?
Mr. Voth: Respondent objects to this, Your Honor. We don't know if Petitioner's counsel
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Mr. Weitzman: I'm going to explain exactly what happened, and then you can make a
decision.
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Mr. Weitzman: When we got in the hallway outside and thanked Mr. Heyward for coming,
he said to me you know, I forgot to say one thing in response to your question, and I want
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to explain it. I said time out. We'll see if you can testify again. What is involved? Sure. I
said what does it involve? He said Walmart. He said there's already a witness on the stand
and I'll see if we can interrupt for you to for me to ask that question so you can respond to
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the question.
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Mr. Voth: Respondent objects.
n.c
Judge Holmes: Yeah, yeah. Mr. Heyward can go. That's fine.
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Mr. Weitzman: Really? For a mere 30 seconds?
Judge Holmes: I don't want to have him commit perjury or something if he remembered
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something about facts. But elaborating a question, ehh. I don't like surprises. You can go,
Mr. Heyward. It's fine.
lJa
Mr. Weitzman: Did you say he had perjured? I don't understand.
Judge Holmes: No, no. If he had said something that was untrue upon further reflection.
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Mr. Toscher: No. That's not the case, Your Honor.
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Mr. Toscher: I think the record's clear. It's the he had an incident regarding Walmart that
if the Court ....
Mr. Weitzman: I'm sorry. He was going to just relate to the Court the meeting he had with
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Judge Holmes: Yeah. It was an additional story or an elaboration of his existing testimony.
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So it's not self-protective. It's fine. We got his story. Go ahead, Mr. Toscher. Where's Mr.
Dahl again?
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