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US vs LEONARD PELTIER
TRIAL TRANSCRIPT EXCERPTS Case Number CR77-3003 |
MICHAEL ROOK, LIVES TO THE SOUTH OF JUMPING BULL
{BENCH} DISCUSSION ON ALLEGED CRIMES OF OTHER PEOPLE
AS TESTIMONY B
RESUME TESTIMONY C
MICHAEL ROOK, being first duly sworn, testified as follows:
DIRECT EXAMINATION
BY MR. CROOKS
MR. CROOKS: Would you again give your full name for the
record, please.
{447}
A Michael D. Rooks.
Q Mr. Rooks, where do you live?
A Oglala, south of Oglala. Three miles south of Oglala.
A A few miles south of Oglala?
A South of Oglala.
Q And that is on the Pine Ridge Indian Reservation, is
it not?
A Yes. It is.
Q You again are appearing here pursuant to a Government
Subpoena, are you not?
A Yes, sir.
Q Mr. Rooks, are you familiar with the area which has been
referred to by the various witnesses as the Jumping Bull Compound or the
Harry Jumping Bull residence?
A Yeah.
Q And would you turn around in your witness chair and look
at the large map, Exhibit 71, and see if you can identify that area?
A Yeah.
Q And what is that area?
A This one right here?
Q Yes. Where the green stickers are pointing to, what does
that area depict to you?
A That's the Jumping Bull's house around there.
Q And that would be the principal residence of the Jumping
Bulls?
{448}
A Yes, sir.
Q How long -- well, let me ask if you would, from this
area that's depicted on this map, principally the Jumping Bull houses,
where is your home located from that, those residence?
A About -- it isn't on the map.
Q Well, let me get you a pointer. If you could just come
down, Mike, and indicate generally to the jury where your houses would
be with reference to the Jumping Bull houses.
A Right here.
Q So it would be in an area off of the map, more or less
south of the area that's marked tents?
A Yeah.
Q Okay. You can get back on the --
Insofar as your farm is concerned, would you just generally describe
a little bit about what kind of a farm it is, what the setup is in your
farm.
A Kind of just starting out now, you know, building the
place up.
Q Pardon? I'm not picking you up either, Mike.
A Just kind of building the place up.
Q You're just building it up?
A Yeah.
Q How long have you and your family lived there?
A Since I was about fifth grade. I graduated about '68,
'69.
{449}
Q Okay. And I don't know that I asked you, what is your
age now?
A Eighteen.
Q Eighteen. And so you've lived there since you were roughly
around in the fifth grade?
A Yes.
Q And I might also ask you, are you a member, an enrolled
member of the tribe of the Pine Ridge Reservation?
A Yes.
Q And all members of your family are enrolled members?
A Yes.
Q Now the Jumping Bulls, have they lived in this area more
or less as long as you remember?
A Yeah. They've been there alot longer than I have. I mean,
they were born and raised there, around that area.
Q So they would have lived there prior to your family moving
across the creek?
A Yeah.
Q All right. And from the time that you moved in there
have you more or less had intermittent contact with them, neighborly contact?
A Yeah.
Q And insofar as the Jumping Bulls are concerned, was there
anyone that lived in their area during the years you've lived there other
than Mr. and Mrs. Jumping Bull themselves?
{450}
A Them and some members of the family like their grandchildren
and daughters. Not right there, you know, but in the general vicinity.
Q All right. So what you're saying is other members of
their family from time to time would occupy other houses in that area?
A Yeah.
Q All right. Calling your attention back to May of 1976,
during that period of time did you notice other people moving into this
area?
A Yes.
Q Excuse me. I'm sorry. '75.
During 1975 there were other people that moved into the area?
A Yes, sir.
Q And do you know exactly where these people lived?
A Not right around there but off in other buildings around
there.
Q And during the period of time that, that you, we'll say
of May of '76, or '75, excuse me, during that period of time were there
a good number of people that you observed in this area that were strangers
to you?
A I really couldn't tell you numbers but there, because
I really didn't have no reason to be going up there all the time.
But from the times I was there I seen people, you know, {451}
that I'd think, "What are they doing there," you know.
Q People that you wouldn't know as being local community
members?
A Yeah. Kind of; yeah.
Q All right. All right. Then going back into the time that
these people were, other strangers were living in the area, did you make
any observations with regard to them such as any unusual noises, anything
of that nature?
A Lots of shooting in the creek bottom down there.
Q And where would this be from the Jumping Bull house?
A Well, I really couldn't pinpoint it but I didn't think
it was right at the house, you know. The shooting was, I thought it was
taking place like around where it says plowed field and up around there.
Q Okay. Let me get the pointer for you.
A I can't really be sure about that. I just figured that's
where it was coming from.
Q Well, I realize that. I'd like you to give me some general
indication, if you can, as to the general area where you heard a lot of
shooting coming from.
A Right in there.
Q It would be up against this bluff around the plowed field,
in that area?
A That is my guess; yeah.
Q And would this be from your hearing shots and so forth
as {452} opposed to actually seeing any shooting done?
A Yeah.
Q All right. When you were living in this area and the
strangers were there, did you see any signs of, of a camp at any time?
A Around what time? You mean like in the spring or right
before it happened?
Q Well, I'm talking about before the shooting; right.
A Not what they refer to as tent city. I kind of stayed
away from there, you know.
Q You stayed away from the tent city area?
A I mean I didn't even know it was there. I just kind of
stayed away from the whole --
Q Did you go into that area after the shootings?
A Not into the tent city.
I went to where there was a sweat bath, right around in there.
Q Okay. So you went down in that area after the shooting?
A Yeah. Just once.
Q All right. During the evenings at any time could you
see activity over in the area where the tents turned out to be?
A Not the tents but that one sweat bath, that one little
camp there, we could see like --
Q Okay. What kind of activity could you see around there?
A I don't recall that. You just kind of see movements in
the {453} trees or, I mean just, you know, they had a fire down there and
you could tell that there were people camping down there.
Q So the record is clear, Mike, you are talking about an
area which would be just about straight south of the tent area; would that
be about right?
A That would be southwest, southwest, wouldn't it?
Q Okay. A little southwest of the tent area. All right.
Mike, I'd like to show you what has been marked for identification
purposes as Exhibit 69A. I ask you to take that and keep it pointed up
if you would and I'd ask you if you can identify that.
A Yes. This is, this was my dad's gun.
Q And your father owned this gun?
A Yes, sir.
Q And where was this gun kept?
A At the time it was stolen it was sitting in the corner
by the stove in our house.
Q In your house. All right.
You indicated that this gun was stolen.
A Yes, sir.
Q Approximately when was it stolen?
A May 1st.
Q On May 1st. And was anything else stolen other than this
gun?
A There was seven guns altogether and a TV, there was a
{454} stereo and cameras and just anything that was worth anything.
Q All right. Again I'm having a little trouble staying
with 75 and 76.
You're talking about May of 1975?
A '75; yeah.
Q All right. You indicated some other household items were
stolen, --
A Yes.
Q -- is this correct? And what would you estimate the total
value of those items that were stolen?
A The FBI said, I think --
Q Well, no. Don't say what they said. What your estimate
is.
A My estimate?
Q Yes.
A I'm not -- I know it was over $1500 worth but I, it was
either 1500 or 3,000, something like that.
Q So there was a substantial number of items stolen from
your family home?
A Yes.
Q And this was one item?
A Yeah.
Q And how can you identify that?
A Because I sanded the front and I put some stain on it
but it didn't look too good so I didn't do it to the back.
{455}
Q And this stock that's on there, has that had some work
done on it by you?
A Yeah. See, the back is rough and it still has the same
finish and the front is different.
Q Is there any doubt in your mind that that's your gun?
A No doubt.
Q All right. This gun was stolen in May of 1975?
A '75.
Q And when did you next see the gun?
A Day before yesterday.
Q When the FBI at my suggestion showed it to you, --
A Yes.
Q -- is that correct? What, by the way, what caliber rifle
is this, Mike?
A 303 British.
Q And that is a British gun, is that correct?
A Probably; yeah.
Q Well, at least that's the name of it, a 303 British?
A Yes. The caliber name of it.
Q Do you know where your father got this gun?
A Sharp's Corner.
Q And how long had he owned it?
A About seven, eight years.
Q Seven, eight years before it was stolen?
A Yeah.
{456}
Q When this theft took place were any tracks left by the
people that stole your family's property?
A Yes, sir.
There was some tracks from the house to the corral and that's
where they ended.
Q Well, which corral?
A Right below the house. It would be east of the house
about fifty yards I suppose.
Q Now is this your corral or is this --
A This is our corral.
Q Your corral. That is not the same corral that's shown
on this map?
A No. It isn't. That's the wrong place.
Q All right. And then what did you find at the corral?
A Just, you know, well, there was horse tracks in there
but we have horses and stuff too so I didn't think nothing of it, you know.
Q Okay.
A And I got to thinking later and that's my --
Q So they found no tracks other than horse tracks leading
away from the corral?
A You know, the gates were still closed, you know, the
entrances, the one leading to our house, they were all still closed and
no tracks were up there.
Q Okay. Now calling your attention back to May of 1975
did {457} you see any people down in the Jumping Bull area that you knew
or identified?
A Yeah. I seen a few that I'd known.
Q And who were these individuals that you saw down there
that you knew?
A Well, just the ones that I knew were like Jimmy Dean
Moosecamp and Jimmy Eagle and Leon Eagle.
Q Now Jimmy Eagle and Leon Eagle, are they brothers?
A They're brothers; yeah.
Q And have you known those guys for some period of time?
A Yeah.
Q Did you go to school with either of them?
A I went to school with Jimmy Dean Moosecamp and then Jimmy
Eagle and Leon Eagle, they went to another school.
Q Okay.
A But I lived on the same street as they did before we
moved out in the country. We lived right by them.
Q And where abouts was it that you saw the Eagle brothers?
A At --
Q Just point out generally on the map if you could.
A Around in there.
Q So it would be generally in a northwesterly direction
from the Jumping Bull residence?
A Yes, sir.
Q And it would be down by the creek area?
{458}
A Yeah. Up from the dam on the creek.
Q There is a dam down there, isn't there, Mike?
A Yes, sir.
Q And where is that? Is that shown on the picture or is
it quite a bit farther down?
A That would be quite a bit farther down and just around
there is this general marsh area.
Q So the dam would be more or less where the exhibit sticker
is or maybe a little bit farther out than that?
A Yeah. Around in there; yeah.
Q Toward the Oglala area?
A Yeah.
Q Now on the day that this shooting took place, June 26th
of 1975, what were you doing that day?
A Just sitting in the house, you know, just, maybe walking
around the house every once in a while.
Q All right. Did you hear anything unusual that day?
A Lots of, not really unusual but I heard some more gunshots.
Q It wasn't unusual for that area apparently?
A Not really unusual; no.
Q You described gunfire coming from the area. Approximately
when did you hear the gunfire start?
A About midday,
around there, you know, 11:00, 11:30, 12:00. I wasn't really paying attention
to the time.
Q So it would be roughly in the noon, --
{459}
A Yeah.
Q -- somewhere around noon that the shooting started?
A Yeah.
Q And how long did the shooting last that day as you recall,
Mike?
A I'm not really sure just, oh, maybe an hour or quarter
or half hour, something like that.
{460}
Q (By Mr. Crooks) Was there a lot of shooting that you
recall?
A At that time there was a lot of shooting, died out maybe.
Q So it would die off, and then there would be shooting
again; and then it would die off, intermittent shooting?
A Yes.
Q Did you see any of the individuals that have been involved
in the shooting, I mean see any activity over there?
A No, sir.
Q Could you see that area from your farm?
A Oh, from my house you can see something -- Jumping Bull,
their house, and you can see Jumping Bull Hall, not real good in the summertime
because there is leaves on the trees and everything.
Q You don't really have a good view of any of that area
then?
A Not really.
Q You didn't really see anything that was occurring over
there?
A No.
Q Did you see any individuals leaving the area might have
come by your property?
A No.
MR. TAIKEFF: Objection to the form of the question because
it includes the speculation "might have come from {461} some place".
THE COURT: The objection is sustained.
MR. CROOKS: Well, the answer I think is "no", anyway.
Q (By Mr Crooks) All right. On the day of the shooting
did you stay home all day that day, or did you leave at some point?
A I had a pickup at the house, but then I didn't have no
keys to it so my brother had to come out to the house in another car and
give me the keys for the pickup and come into town that day.
Q What time did you leave?
A 1:30, 2:00, something like that.
Q 1:30, 2:00 o'clock you left and didn't come back until
later?
A I didn't come back until the next day. I stayed in town.
Left me in town that night.
Q Do you know the Defendant in this case, Mr. Peltier?
A No, sir.
Q Ever seen the individual sitting over there before?
A No, sir.
Q During the -- excuse me. Did I cut off your answer?
A Unh-unh.
Q All right. Have you seen Mr. Peltier before, either in
the Jumping Bull area or anywhere else?
{462}
A I don't think I have. I can't recall.
Q As far as you know you have never seen him?
A No.
MR. CROOKS: We have nothing further.
MR. TAIKEFF: Your Honor, could we approach the bench?
THE COURT: You may.
(Whereupon the following proceedings were had at the bench:)
MR. TAIKEFF: Your Honor, I am quite sensitive to his desire
to adhere to the work schedule that was set out. If the Government would
not object I would be amenable to this witness stepping down and the next
witness getting on preferably -- or hopefully it will be a short witness;
and then during the half hour recess from 3:00 to 3:30 I can prepare the
cross examination and there won't be any change in schedule. It will be,
just a change in the order of activity. I don't think it will be a very
long cross examination, but I do feel obligated to go through the materials
which I just got.
MR. CROOKS: I don't know that I agree with that. I would
rather have the break now and let them look it over and continue. I don't
want the witness' direct to get separated from the cross. I would rather
take a break now and look at it than split it up. I think it becomes very
confusing to the jury.
{463}
MR. TAIKEFF: We hope the jury has a better recollection
than that.
THE COURT: What witness -- what is your next witness, is
he going --
MR. HULTMAN: (Interrupting) That's another problem. I think
we are going to be faced with the same situation. We would get about 10
minutes on the next witness and have to cut that one off and go back to
this one, have another break.
MR TAIKEFF: We could solve both of them with a half hour
recess.
THE COURT: I will declare a half hour recess 15 minutes
earlier than I usually do, trying to get this thing done.
MR. CROOKS: That is all right.
MR. TAIKEFF: Your Honor, could I raise another point at
this particular time? I don't consider what happened in connection with
this witness particularly serious as far as the specific contents is concerned;
but I suspect that there is a certain insensitivity on the part of the
prosecution to introducing into this case proof or possible proof of other
crimes that are totally unnecessary to prove their case and totally irrelevant.
For instance, the fact that that rifle was stolen in May and this person
lived on the premises which was adjacent to the tent city {464} area raises
the suggestion at the very least that someone in that encampment in tent
city was either responsible for the theft or had purchased stolen property.
Now, I understand from Mr. Ellison who has been keeping track
of evidentiary matters for us, that this rifle was recovered in New Mexico.
Apparently there will be some effort to place it in the encampment, and
I think if that was the Government's purpose, then they would become sensitive
to the fact that we are very concerned this case might be decided on some
prejudicial basis rather than some relevant fact.
It would be very simple if the Government could indicate to us
that it has some problem with its proof and that without offering such
evidence cannot show the geographic nexus which is theirs, at least give
us an opportunity to avoid the kind of problem we have here. This is a
rather simple thing. This is perhaps an even more -- an unimportant theft,
but if the Government is not conscious of this problem, then we may end
up at a later date with an application for a mistrial, and I don't want
to try this case again any more than the Government wants to try it again;
and I would ask them most respectfully, and I am being serious and respectful
about this, to give some thought to these matters.
MR. CROOKS: Your Honor, Mr. Taikeff completely {465} miscomprehend
the purpose of this showing, that we have no doubt that this rifle was
traced back to this camp; and we are going to tie it up with both physical
and oral testimony.
MR. TAIKEFF: Most assuredly, the fact it was stolen from
a nearby location --
MR. CROOKS: (Interrupting) Can I finish? One at a time,
I believe.
MR. TAIKEFF: I am sorry.
MR. CROOKS: We certainly contend that the weapon is tied
to the crime scene, tied to shell casings and so forth; and certainly,
the very fact that Mr. Peltier and his group are out stealing the next-door
neighbor's guns, I think has a very direct bearing on his state of mind;
and we certainly don't back off of that issue at all. I think we have covered
that in our brief, and we certainly are willing to meet that head on.
MR. TAIKEFF: Well, your Honor, that supports at least my
contention to a mathematical certainty.
THE COURT: Well, I assume that you are going to tie this
up?
MR. CROOKS: We definitely are, your Honor, no question
about it.
MR. TAIKEFF: The fact of the theft has no relevancy. If
this gun was in that area, it was in an area. If it was {466} used that
day it was used that day. The fact that it may have been stolen was not
an issue. The Government repeatedly fails to recognize what it is they
are supposed to prove here and what it is they are not permitted to prove.
MR. CROOK: Your Honor, the circumstances under which Mr.
Rooks' gun got into this crime scene has a direct bearing on Mr. Peltier's
state of mind, and I don't equivocate on that at all.
MR. TAIKEFF: Your Honor, I assume, and I think I am assuming
correctly, there is going to be further nexus between that theft and the
presence of that gun there one month or 26 days later.
Now, if this were a possession of stolen property case, and that
were the Government's proof, I dare say the Court would grant a Rule 29
motion. This is not that kind of a case. This is a murder case, at least
step removed from that: and it would be irrelevant to introduce to
the jury the fact that this gun which was used -- which raises its own
set of issues -- was a stolen gun. It is a proof of another crime that
is wholly unrelated to the issues in this case.
THE COURT: Well, there is nothing for me to rule on at
this moment.
MR. TAIKEFF: I understand. I am just trying to {467} apprise
the Court and the Government at this stage so there cannot be a misunderstanding
about the position of the defense in regard to evidence of this character.
I will, in fact, move to strike that portion of the testimony
that refers to the theft -- not as an instruction to the jury -- just so
the Government will be deprived of arguing that fact to the jury.
THE COURT: I will reserve a ruling on that motion.
MR. TAIKEFF: Thank you, your Honor.
(Whereupon, the following proceedings were had in the courtroom
in the presence and hearing of the jury:)
THE COURT: Normally we go until 3:00 o'clock to recess.
Because of a problem in the presentation of the evidence, we will recess
at this time; and we will take a little longer recess than we did this
morning. The Court will recess until 3:20.
(Recess taken.)
{468}
(Whereupon, the following proceedings were had out of the hearing
of the jury:)
THE COURT: Are you now ready to proceed?
MR. TAIKEFF: Yes, Your Honor. I just want to report one
thing to the Court but that doesn't change the answer I gave to the Court.
The Grand Jury material was missing a page and Mr. Sikma has gone to look
for that page. Although I can begin, I don't know whether I can finish
until that page is delivered. I suspect everything will work out all right.
THE COURT: The jury may come in.
(Whereupon, the following proceedings were had in the courtroom
in the hearing and presence of the jury:)
THE COURT: You may proceed.
MR. TAIKEFF: Thank you, Your Honor.
CROSS-EXAMINATION
BY MR.TAIKEFF:
Q Mr. Rooks, do you know of your own personal knowledge
who stole those guns from your father's house? Yes or no.
A Personally?
Q Yes.
A No.
Q And do you know of your own personal knowledge what happened
to those guns; namely, who had them after the theft took place?
Q No.
Q Do I understand that at or about the time of the theft
{469} you discovered horse tracks in the area?
A No. Horse tracks were, because we have horses, I told
you. Could have been ours. I didn't think nothing of the horse tracks.
Q Those horse tracks as far as you're concerned had nothing
to do with that theft?
A I'm, I didn't think nothing of that. That could have
rode up on horse, you know, and, or whatever, you know, but there was tracks
from the house to the corral and that's where he stopped.
Q I see.
But you had no specific reason to believe that those horse tracks
had anything to do with the theft, do you?
A They had to be. How would they got away? Why would the
tracks go from our house to the corral? No tracks in any member of the
family and stop to the corral and that's as far as it goes. Can't fly away.
Q There were no tracks after the corral?
A You mean foot tracks?
Q Horse tracks.
A Horse tracks. Yeah. Horse tracks all over but no foot
tracks after the corral.
Q I see.
How many people live in the home in which you live? Let me rephrase
that. In May and June of 1975 how many people {470} lived in your residence?
A In May when the break in took place, me and my sister
and my mom and my dad.
Q Four people?
A Four people.
Q How many guns did you say were taken?
A Seven.
Q Can you tell me what kind of guns they were?
A Three 22's, a 20 gauge, a 410 and a 12 gauge.
Q Those last three guns are shotguns?
A Shotguns. Three shotguns, and a 303, and 32 pistol and
a 357 pistol.
Q That's nine guns altogether?
A Yeah.
Q And how many belonged to you?
A To me?
Q Just how many? Not which ones.
A One.
Q How many to your mother?
A None. The rest were probably just family's, you know.
Q Family guns?
A Well, let's say dad owned them.
Q I understand.
But in terms of who used them or who carried them.
A I was the only one who really did any hunting.
{471}
Q Did anybody else use any of those guns?
A In the family?
Q Yes. I'm talking about your family.
A They wanted to, yeah, I suppose.
Q But did anybody actually, your father use any of those
guns?
A Yeah. We all used them, except for like mom and my sisters,
they...
Q They never used the guns, just you and your father?
A And like my brothers, wanted to go hunting or something.
Q Do you know what the expression intermittent shooting
means?
A No.
Q Do you recall that Mr. Crooks asked you whether there
was intermittent shooting and you shook your head yes?
A I mean like shooting now and then shooting like every
once in awhile.
Q At intervals?
A Yeah.
Q Okay.
You said the shooting lasted a half hour.
A Well, somewheres in that nature. Maybe longer. Maybe,
yeah. It's approximately longer than half an hour.
Q Do you mean the first installment of the shooting lasted
a {472} half an hour or do you mean that's all the shooting there was that
afternoon while you were there?
A No. Like I heard the shots and I didn't think nothing
of it, you know, so I went about my work. Went in the house and, you know,
didn't pay too much attention to it because --
Q But I want to find out from you whether you only heard
one period of shooting perhaps lasting a half hour and no more between
the time you first heard the shooting and the time you left.
A Well, let's just say they were shooting all during that
time. Maybe they might have stopped, maybe they might have shot a little
more. They were shooting, all during the time I heard shooting.
Q What time was it you left approximately?
A 1:30, 2:00 o'clock, somewheres around there.
Q Have you ever heard of the American Indian Movement?
A Yeah.
Q And is it known by a shorter name on the reservation?
A Yeah.
Q What's it named by?
A AIM.
Q And have you ever heard the expression "goon"?
A Yeah.
Q What does that word indicate?
A Supposed to be Wilson supporters or opposition or whatever.
{473}
Q Opposition to what?
A To the AIM movement or whatever.
Q Now did you know that the area which we've called tent
city was an AIM encampment?
A Yes.
Q And were there any religious activities going on in connection
with that encampment?
A Religious?
Q Yes.
A I don't know. I never asked them. Never saw them.
Q You said you saw a sweat lodge?
A That was after the shooting and everything took place.
You know, we remembered that camp so I and my brother and my cousin went
down to see what was down there.
Q Did you find the sweat lodge there?
A Yeah.
Q Was there any connection between a sweat lodge and religious
activities?
A Yes.
Q Could you describe by name the religion that uses a sweat
lodge as part of its religious activity?
A No. I never, I've heard a lot about it but I couldn't
tell you the name.
Q You are an Indian, are you not?
A Yeah. Part.
{474}
Q One grandparent or two grandparents or how many grandparents
were Indian?
A All of them on my father's side.
Q So you're half Indian?
A Not quite half. I mean, all the relations on my father's
side were mostly Indian except for my great grandfather.
Q Does your family follow any religious beliefs?
A What do you mean? Like Christian, Catholic, whatever?
Q Yes.
A They're Christian.
Q Your family is Christian?
A Yeah.
Q Is it a fact or is it not a fact that the AIM people
were trying to persuade people to return to the old Indian religious ways?
A I'm not sure; no. I don't lcnow.
Q You're not sure. Did you ever make reference to the activity
of the people in the tent city by calling it a revival?
A Did I ever what?
Q Did you ever describe the activity going on in tent city
as a revival?
A I never knew of tent city until after it all happened.
Q I understand that. But once you found out about it and
talked about the activities of the people in AIM city, did you {475} ever
refer to that activity as a revival?
A There was a revival going on at the time but that wasn't
around there. That was way up further from them, some sort of a revival.
I don't know if any religious, Christian or Moslem or whatever. There was
a revival going on on up that way.
Q Did you ever tell Special Agent Frederick Coward of the
FBI that you thought there was a connection between the people in that
camp and the revival that was going on in Oglala?
A I might have told him that. Well, might have told him
that maybe. Maybe that was, might have used that to get a lot of people
in. That's just speculation. I didn't know.
Q First I'm asking about what you said to somebody, then
perhaps we can go into the meaning of what you said.
A Oh.
Q My question is --
A Yeah.
Q Did you ever tell an FBI agent or did you ever mention
a connection in your opinion between the revival that was going on in the
Oglala area and the people in the tent city area?
A Yeah. But I never knew it was going to come to this.
I just was talking to him. I didn't know he was going to put it on record
or anything. I was just talking to him about it. I said maybe. I didn't
say I thought it was. I said maybe.
Q Were you somewhat surprised that I knew what you said
to the {476} FBI?
A Yes.
Q You don't like the American Indian Movement, isn't that
correct?
A Well, I don't like the things that they have done.
Q You don't like them, the people associated with them,
isn't that correct?
A No. I'm friends with lots of AIM people.
Q Some of your best friends are AIM people?
A Not best friends but some of the people.
MR. TAIKEFF: May I have a moment to confer with Mr. Sikma,
Your Honor?
THE COURT: Very well.
MR. TAIKEFF: Your Honor, that page was delivered. Could
I have a moment to look at it?
THE COURT: You may.
Q (By Mr. Taikeff) Now let's go back to June of 1975, almost
two years ago. Is it fair to say that at that time you did not like AIM
or any of the positions which it took on the reservation?
A Yeah. It would be fair.
Q You understand, of course, you're entitled to your personal
opinion.
A Yeah. And so are they.
Q In fact, in talking about Harry Jumping Bull, you once
{477} said that "He is with AIM but he's always been nice to us," isn't
that correct?
A No. That isn't correct.
Q That's not correct that you once said that to somebody?
A I said that there has been, he's been associated with
AIM. I didn't say anything like that.
Q At page 54, grand jury material, you testified before
a grand jury in connection with this case?
A Yes.
Q And you were under oath at that time?
A Yes.
Q Tell me whether you recall being asked the following
question and giving the answer that I will read to you, question:
"Do you know whether or not Harry Jumping Bull or his wife are associated
with AIM?" Answer: "Well, Harry always has been nice to us and then
I always liked him but I knew he was, I figured he was or else he wouldn't
have nothing to do with them. They wouldn't have been staying around there
if they wouldn't, but he was always nice to us."
A That's the same --
Q Just tell me whether or not you recall that question
and answer.
Now you were testifying there under oath, right?
A Yes.
Q And you told the truth before the grand jury, right?
{478}
A Well, maybe I got, I had it wrong or something but I'm
not saying he was AIM.
Q Calm down a little bit and listen to my question. All
I asked you was when you gave that answer before the grand jury were you
saying the truth? Yes or no.
A You mean I was saying he was AIM?
Q Do you read English?
A Yeah.
Q Let me show you page 54 and ask you to read this question
and that answer and this question and that answer to yourself just to see
if it refreshes your recollection.
A Yeah.
Q Do you remember being asked those questions?
A Yeah.
Q Now one of those questions was the one I just read out
loud, isn't that correct?
A Yeah.
Q And you answered that question, didn't you?
A You mean here or there?
Q There in the grand jury.
A Yeah.
Q And I read the answer exactly the way it is on that piece
of paper, right?
A (Witness nods affirmatively.)
Q Isn't that the answer you gave to the grand jury?
{479}
A Yes. It's on paper.
Q I beg your pardon?
A Yeah.
Q And when you said that answer, as far as you were concerned
you were telling the truth, right?
A Yeah. At that time; yeah.
Q You're telling the truth right now?
A About him being AIM?
Q No. About all your answers. Are you telling us the truth?
A Yeah.
Q Now right after that were you asked the following question
and did you give the following answer, question, same page: "How
about Ivis Long Visitor and his wife Angie, do you know if they were ever
members of AIM or associated?" Answer: "I knew they were probably
associated but they were still nice to us."
A Uh-huh.
Q You gave that answer?
A Uh-huh.
Q Was that a truthful answer?
A Yeah.
{480}
Q Now what was the connection between various people being
members or supporters of AIM and the question of whether or not they were
very nice to you?
A You mean -- well, just because they're AIM don't mean
you can't talk with them or, you still got to live with them.
You can't throw them out altogether because they're AIM. If you
are going to live there, you have to be friendly with everyone around there.
If they're neighbors, you know, you got to be friendly with them.
Q Well, do you expect people who are AIM member or AIM
supporters not to be nice to you?
A It depends upon the situation.
Q Well, then when you were asked whether certain people
were members or supporters of AIM, in each instance you specifically said,
"Yes I think they were but they were nice to me."
But motivated you to make that special statement at the end?
MR. CROOKS: Your Honor, I'll object to this as an improper
use of this grand jury transcript.
In fact he's asking questions from the transcript. He isn't even
contending that they're supposed to be inconsistent with anything the witness
is saying.
I object to the grand jury transcript being read in lieu of asking
the witness questions.
I think he can question the witness as to his present {481} recollection
and if his answer is inconsistent, then go to the transcript but he's doing
it just the other way around and I'd object.
MR. TAIKEFF: Your Honor, I'd like to make a brief response.
I asked the witness whether he ever made a statement that, "Harry
Jumping Bull is with AIM but he was always nice to us," and he answered,
"No. I never made any such statement," and that is the use of that transcript,
to illuminate that point.
MR. CROOKS: Your Honor, that's been asked and answered
about three times and I object going back to this transcript. I object
to examination in this fashion.
If he wishes to carry his examination on and come back to the
transcript for an inconsistent answer, that's an entirely different thing
but that isn't what he's doing now. He's reading the grand jury transcript
and I object to it.
MR. TAIKEFF: All right. I'll assure Mr. Crooks that I'm
turning it face down and putting it under my other papers.
Q (By Mr. Taikeff) Now, Mr. Rooks, what is it about people
who are members or supports of AIM that makes you say when you're asked
if someone is a member of AIM, "Yes, but they've been nice to me"? What
does being nice have to do with their being members of AIM?
A Nothing I suppose.
{482}
Q Well, does it mean that if someone's a member of AIM
there's some reason why you should expect they wouldn't be nice to you?
A Yeah. Because I don't look that much Indian.
Q Does your family take a public position with respect
to Mr. Wilson or did they when Mr. Wilson was a tribal chairman?
A No. They never have.
I mean we, they never supported him. In fact my dad never did,
never voted for him when he was up for election.
Q So do you have any personal reason to think that AIM
would not like you?
A No. I suppose not.
Q Did any people from AIM ever attempt to persuade you
to follow the old Indian religious ways?
A Well. I've talked to people, a lot of them about it,
not a lot of them but I've talked to people and they've talked about the
religion.
Q And have they tried to persuade you to go back to the
old ways?
A Not, not persuade me.
They just tell me what they believe in and that's it.
Q Do you know what a missionary is?
A Yeah.
Q Are there any missionaries on the reservation that you
knew of?
{483}
A You mean Mormon, Christian?
Q Christian, Mormon, any kind of religious missionary?
A Well there's the Jesuits if you want to call them that,
missionaries and there is the Mormon elders.
Q How about Mr. Weston, do you know Mr. Weston?
A I don't think so. I don't know. Which Weston?
Q A young fellow who preaches Christianity.
A No. I don't know him.
Q When you refer to AIM people, do you refer to them or
have you ever referred to them as a bunch of long-haired people?
A Yeah. Well, maybe there's a lot of them that, they might
be AIM and, you know, it's just the way, they just stay the way they are,
you know. They don't grow their hair or --
Q Don't you think the people with long hair are the way
they are?
A What do you mean?
Q Well, you said some of them just stay the way they are
and don't grow their hair long.
A Okay. I'm sorry.
Q Do you associate long hair with any people?
A No. I know a lot of long-haired people that don't believe
or follow or whatever.
Q Is it fair to say that there came a time when you discovered
or believed that the people in tent city were AIM people; yes or no?
{484}
A Yeah.
Q When did that thought occur to you or fact occur to you?
A You mean tent city?
Q Yes.
A I didn't know about tent city until after it happened
but I, I knew that there was one, well, there was some AIM people around
the area, I mean, that were living around there.
Q Isn't it a fact that you told the grand jury that you
had assumed that the people in tent city were AIM?
A Yeah.
Q Well, as of when did you first make that assumption?
A You mean like if I -- I went down there a few times,
you know I seen some people around there, you know, and --
Q Have you finished your answer?
A Yeah.
Q On June 26, 1975 there was a shootout at the Jumping
Bull area, correct?
A (Witness nods affirmatively.)
Q How many people died?
A Three.
Q Before that happened did you know that there was an AIM
encampment on the Jumping Bull property?
A I'm having trouble with thinking, I mean, I don't know
what you mean by the camp.
Q By encampment. Did you know that there was an AIM group
-- {485} living on that property?
When did you first find that out?
A You mean AIM camp living on the property? I knew that
there was AIM people in the area but I never knew that there was an AIM
camp in -- yeah.
Q When you were before the grand jury did they question
you about who was living on the Jumping Bull property or who had been living
on the Jumping Bull property?
A I think they did; yeah.
Q And did you tell them that there were AIM people living
on the property?
A Yeah. I suppose.
Q You suppose?
A Well, yeah. I told them that. Okay.
MR. CROOKS: Your Honor, could I have the reference to which
counsel is making?
MR. TAIKEFF: Yes, Your Honor. It's page 46 beginning around
line 16.
Q (By Mr. Taikeff) Do you know whether the defendant in
this case has anything to do with AIM?
A Yeah.
Q I didn't hear your answer.
A I never seen him before so I don't know.
Q Do you have any belief as you sit there whether he has
anything to do with AIM?
{486}
A What's he on trial for?
Q Does that make a difference?
A Yeah. If he's on trial for, for what he, for killing
the officers and the AIM people were there, well, I suppose he must be
involved with them somehow.
Q So your assumption is that if something happened on the
Jumping Bull property it had to be done by people associated with AIM,
is that correct?
A Yes.
MR. TAIKEFF: I have no further questions.
MR. CROOKS: We have nothing further and we'd ask that Mr.
Rooks be excused, Your Honor.
MR. TAIKEFF: No objection, Your Honor.
THE COURT: You may step down and you are excused.