WAYMO LLC Plaintiff, vs. Case No. UBER TECHNOLOGIES, INC. Travis Kalanick Deposition
WAYMO LLC Plaintiff, vs. Case No. UBER TECHNOLOGIES, INC. Travis Kalanick Deposition
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1 INDEX 1 E X H I B I T S (cont'd)
2 DEPONENT EXAMINATION 2 NUMBER PAGE
3 TRAVIS KALANICK PAGE 3 DESCRIPTION
4 VOLUME I 4 Exhibit 377 Text Message, UBER00073891; 246
5 BY MR. VERHOEVEN 14 5
6 6 Exhibit 378 Email 3/31/2016 Subject: 248
7 7 Whiteboard translation TK
8 EXHIBITS 8 points, UBER00075047 -
9 NUMBER PAGE 9 UBER00075048;
10 DESCRIPTION 10
11 Exhibit 365 Agreement and Plan of Merger, 152 11 Exhibit 379 Email 4/11/2016 & attached Zing 256
12 UBER00016453 - UBER00016523; 12 Board Slides, UBERT00100344 -
13 13 UBER00100352;
14 Exhibit 366 Newco Notes, UBER00060321 - 164 14
15 UBER00060347; 15 Exhibit 380 Minutes of Special Meeting 259
16 16 4/11/2016, UBER00101482 -
17 Exhibit 367 Miscellaneous Document, 62 194 17 UBER00101498;
18 Pages; 18
19 19 Exhibit 381 Joint Defense, Common Interest 275
20 Exhibit 368 Email 1/5/2016 Subject: 207 20 and Confidentiality Agreement,
21 Structure, UBER00060661; 21 UBER00074893 - UBER00074903;
22 22
23 Exhibit 369 Email String Subject: Newco 213 23 Exhibit 382 Indemnification Agreement, 276
24 milestones, UBER00063615 - 24 UBER00074855 - UBER00074875;
25 UBER00063616; 25
Page 6 Page 8
1 E X H I B I T S (cont'd) 1 E X H I B I T S (cont'd)
2 NUMBER PAGE 2 NUMBER PAGE
3 DESCRIPTION 3 DESCRIPTION
4 Exhibit 370 Email String Subject: Newco 217 4 Exhibit 383 Text Message, UBER00073820; 278
5 Update/Urgent Response Needed, 5
6 UBER00060147 - UBER00060156; 6 Exhibit 384 Text Message, UBER00073809 - 280
7 7 UBER00073811;
8 Exhibit 371 Email String Subject: Newco 220 8
9 Update/Urgent Response Needed, 9 Exhibit 385 Email String Subject: Quick 285
10 UBER00060665 - UBER00060676; 10 updates, UBER00070012 -
11 11 UBER00070013;
12 Exhibit 372 Email String Subject: Newco, 227 12
13 UBER00063618 - UBER00063622; 13 Exhibit 386 Email String Subject: Quick 290
14 14 Updates, UBER00063707 -
15 Exhibit 373 Email 1/28/2016 Subject: 233 15 UBER00063708;
16 Newco, UBER00063617; 16
17 17 Exhibit 387 Email String Subject: 295
18 Exhibit 374 Google Calendar Meeting 235 18 Messaging Notes, UBER00064468 -
19 3/11/2016, UBER00071424; 19 UBER00064469;
20 20
21 Exhibit 375 Email 3/21/2016 Subject: Newco 240 21 Exhibit 388 Email String Subject: 298
22 timing, UBER00060643 - 22 UBER000064406 - UBER000644007;
23 UBER00060644; 23
24 24
25 Exhibit 376 Text Message, LEV_002310; 244 25
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1 E X H I B I T S (cont'd) 1 MR. JUDHA: James Judha, Waymo. 08:19:14
2 NUMBER PAGE 2 MR. PERLSON: David Perlson,
3 DESCRIPTION 3 Quinn Emanuel, Waymo.
4 Exhibit 389 Email 9/20/2016, Subject: 306 4 MS. GOODMAN: Martha Goodman,
5 Birdhouse LIDAR discussion, 5 Boies Schiller, on behalf of Uber Technologies and 08:19:16
6 UBER00076770; 6 Ottomotto.
7 7 MR. BERGSTROM: Aaron Bergstrom, in-house
8 Exhibit 390 Retained; 311 8 counsel, Uber.
9 9 MR. BRILLE: Mike Brille, Boies Schiller,
10 Exhibit 391 Letter 6/20/2017. 319 10 on behalf of Uber and Ottomotto. 08:19:30
11 11 MS. HAAG: Melinda Haag,
12 12 Orrick Herrington & Sutcliffe, on behalf of
13 13 Mr. Kalanick.
14 14 MS. DUNN: Karen Dunn, from
15 15 Boies Schiller Flexner, on behalf of Uber and 08:19:36
16 16 Ottomotto.
17 17 MS. VU: Hong-An Vu of Goodwin Procter,
18 18 on behalf of Otto Trucking.
19 19 MR. CHATTERJEE: Neel Chatterjee of
20 20 Goodwin Procter, on behalf of Otto Trucking. 08:19:44
21 21 THE VIDEOGRAPHER: Thank you.
22 22 The witness will be sworn in and counsel
23 23 may begin the examination.
24 24 THE REPORTER: If you could raise your
25 25 right hand for me, please. 08:20:06
Page 10 Page 12
1 San Francisco, California; Thursday, July 27, 2017 1 THE DEPONENT: (Complies.) 08:20:06
2 8:18 a.m. 2 THE REPORTER: You do solemnly state,
3 ---o0o--- 3 under penalty of perjury, that the testimony you
4 4 are about to give in this deposition shall be the
5 THE VIDEOGRAPHER: Good morning. We are 08:18:16 5 truth, the whole truth, and nothing but the truth? 08:20:06
6 on the record at 8:18 a.m. on July 27th, 2017. 6 THE DEPONENT: I do.
7 This is the video-recorded deposition of 7
8 Travis Kalanick. My name is Jeffree Anderson, here 8
9 with our court reporter, Rebecca Romano. 9
10 We are here from Veritext Legal Solutions 08:18:31 10 08:20:06
11 at the request of counsel for the plaintiff. 11
12 This deposition is being held at 12
13 405 Howard Street in San Francisco, California. 13
14 The caption of this case is Waymo, LLC, 14
15 versus Uber Technologies. Case number is 17-00939. 08:18:44 15 08:20:06
16 Please note that audio and video 16
17 recording will take place unless all parties agree 17
18 to go off the record. Microphones are sensitive 18
19 and may pick up whispers, private conversations, 19
20 and cellular interference. And please be aware of 08:18:53 20 08:20:06
21 that. 21
22 Please state your name and the firm you 22
23 represent, beginning with the noticing attorney. 23
24 MR. VERHOEVEN: Charles Verhoeven, 24
25 Quinn Emanuel, representing Waymo. 08:19:10 25 ///// 09:37:59
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1 TRAVIS KALANICK, 09:37:59 1 A. Yeah. There were -- I know we had our 08:22:34
2 having been administered an oath, was examined and 2 head of litigation in the room.
3 testified as follows: 3 Q. And who do you mean by that?
4 4 A. Angela Padilla.
5 EXAMINATION 09:37:59 5 Q. Anyone else? 08:22:44
6 BY MR. VERHOEVEN: 6 A. I mean, certainly the leaders of ATG were
7 Q. Good morning, Mr. Kalanick. 7 there.
8 A. Good morning. 8 Q. Anyone else that you remember?
9 Q. Do you know when Waymo filed the 9 A. Not that I remember. But that doesn't
10 complaint in this action? 08:20:13 10 mean they weren't there. I just -- I don't 08:23:00
11 A. I think that is sometime in February. 11 remember.
12 Q. Do you know what day? 12 Probably came in a few minutes late, so I
13 A. I do not know. 13 was --
14 Q. Do you know when Anthony Levandowski 14 Q. Okay.
15 first asserted the Fifth Amendment in the Waymo 08:20:28 15 A. -- rushing in to the meeting. 08:23:07
16 litigation? 16 Q. And you spoke directly with
17 A. Sometime in March. 17 Mr. Levandowski?
18 Q. Do you know which day? 18 A. He was speaking to the whole -- to the
19 A. I do not know. 19 whole company -- or to the whole group.
20 Q. And how did you find out about that? 08:20:41 20 Q. After the complaint was filed, did you 08:23:16
21 A. I found out there were sort of a couple 21 personally reach out to Mr. Levandowski and say,
22 meetings. They were with attorneys. 22 What's going on here?
23 Q. Did you ever talk with 23 MS. DUNN: Objection to form.
24 Anthony Levandowski about whether he took Google 24 THE DEPONENT: I don't have a specific
25 documents or Waymo documents? 08:21:06 25 recollection about a specific conversation, but I 08:23:28
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1 but it was right around the time it was filed. 08:24:22 1 just -- I don't remember. 08:26:54
2 Q. And what did you do next? 2 You know, the -- I had my -- my meetings.
3 A. I went to my next meeting. 3 My days are just scheduled sort of -- they're very
4 Q. So did you do anything with -- next with 4 full. They start early in the morning and they go
5 respect to the allegations of the complaint? 08:24:31 5 sometimes till 11:00 p.m. or midnight. And 08:27:04
6 A. I mean, we had an all-hands the next day. 6 sometimes it could be, you know, just I talked to
7 Q. So you didn't reach out to 7 somebody in the minutes between meetings.
8 Mr. Levandowski before he spoke to the whole group? 8 Sometimes the meetings just keep rolling.
9 MS. DUNN: Objection to form. 9 Sometimes they go long.
10 THE DEPONENT: I may have. I don't 08:24:44 10 Q. But you -- you saw him and you interacted 08:27:16
11 remember specifically. 11 with him at this all-hands meeting, correct?
12 Q. (By Mr. Verhoeven) Well, do you remember 12 A. Correct. Yes.
13 having the -- withdrawn. 13 Q. Did you ask him, What's the deal with
14 Do you remember the substance of the 14 these allegations about downloading documents?
15 first conversation you personally had with him 08:24:52 15 A. I don't remember specifically saying 08:27:27
16 after the filing of the complaint relating to this 16 that, but that feels, of course, like something
17 allegation of the download of Google documents? 17 that I would want to know.
18 A. The first substantive conversation that I 18 Q. What did you -- what do you remember
19 recall was at the all-hands. 19 saying?
20 Q. Okay. What happened at the all-hands on 08:25:07 20 A. I -- I don't remember that -- like that 08:27:34
21 this subject -- well, just generally, what happened 21 kind of interaction specifically. But he certainly
22 at the all-hands? 22 explained himself during that -- during that
23 A. We got -- we sort of -- we were -- we 23 meeting.
24 wanted to talk about the technology that we built 24 Q. Wouldn't you expect that you would ask
25 and that we had built it from the ground up. 08:25:24 25 him that question personally? 08:27:51
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1 We wanted to give the employees the 08:25:27 1 MS. DUNN: Objection to form. 08:27:54
2 confidence that we had that the technology was 2 THE DEPONENT: Generally, yeah. I mean,
3 built from the ground up. 3 general- --
4 Q. Was the meeting called in connection with 4 Q. (By Mr. Verhoeven) You don't remember
5 the filing of the lawsuit? 08:25:36 5 it? 08:27:59
6 A. Yes. 6 A. Don't remember specifically.
7 Q. Okay. And who spoke on that subject? 7 Q. What did Mr. Levandowski say at the
8 A. So I spoke for part of it. Anthony spoke 8 meeting?
9 for part of it. A large portion of the speaking 9 A. He said that he worked from home and that
10 time was taken by James Haslam, who was the head of 08:26:00 10 he downloaded files when he worked from home -- 08:28:09
11 the laser effort at ATG. 11 when he worked from home.
12 Angela spoke. And, I mean, other people 12 Q. Anything else?
13 may have, but I don't remember. 13 A. There may have been other things. That
14 Q. Did you have a discussion with 14 was certainly something I remember from his -- from
15 Mr. Levandowski before the meeting started to 08:26:25 15 his comments. 08:28:26
16 discuss what he was going to speak about and what 16 Q. Do you remember anything else though?
17 you were going to speak about? 17 A. I mean, I remember James showing the
18 A. I don't recall specific discussion, but I 18 laser that he built.
19 may have. 19 Q. No. I mean -- I'm sorry. I apologize.
20 Q. Would you expect that you would have? 08:26:37 20 I meant with respect to what Mr. Levandowski said. 08:28:36
21 A. I -- I certainly would have liked to. 21 A. I don't remember anything else, no.
22 Q. Do you have any reason to believe you did 22 Q. Okay. Did he specify in any more detail
23 not? 23 than just saying he downloaded files?
24 A. I just don't remember specific 24 A. I don't think so.
25 discussion. Doesn't mean I didn't have it, I 08:26:51 25 Q. Did you have a discussion with him during 08:28:50
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1 or after the meeting about his admission that he 08:28:53 1 meeting? 08:31:28
2 downloaded files? 2 A. Cameron. I am trying to think who else.
3 MS. DUNN: Objection to form. 3 Nina. Anthony was there. I was there.
4 THE DEPONENT: I don't remember a 4 There may have been others. I don't -- I
5 specific discussion, but I do -- I do remember like 08:28:58 5 don't remember. 08:31:47
6 hearing that, Did any files get to Uber? And doing 6 Q. This was an in-person meeting?
7 everything we can to make sure they didn't. 7 A. Yeah.
8 Q. (By Mr. Verhoeven) Were you aware prior 8 Q. Where was it?
9 to the meeting that Mr. Levandowski had Google 9 A. It was at Uber HQ, 1455 Market Street.
10 files that he'd taken with him? 08:29:19 10 Q. Why would Mr. Levandowski tell you at 08:32:03
11 MS. DUNN: Objection to form. 11 this meeting that he had had five discs of Google
12 THE DEPONENT: We had -- we had -- there 12 files?
13 was a discussion during -- during the deal phase in 13 MS. DUNN: Objection to form.
14 the March time frame -- this is 2016 -- where he 14 THE DEPONENT: I don't know why he told
15 had -- where he had told a group of people, and I 08:29:41 15 us. But it's important when you do a deal that 08:32:15
16 was in that meeting, that he had some discs and 16 people sort of disclose if there's any -- any
17 some content from his previous employer. 17 things that need to be discussed before a deal is
18 Q. (By Mr. Verhoeven) What did he -- 18 consummated.
19 A. Backup discs, or something like that. 19 Q. (By Mr. Verhoeven) Were there some
20 Q. Did he say "backup discs"? 08:29:59 20 circumstances that made it appropriate at this 08:32:30
21 A. I think so. 21 meeting for him to disclose that, that you're aware
22 Q. And what did he say about what was on 22 of?
23 those discs? 23 A. I don't remember. I don't remember
24 A. He didn't. 24 anything specific.
25 Q. Did he -- did he indicate that those 08:30:08 25 Q. What was the purpose of the meeting? 08:32:38
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1 discs contained Google files? 08:30:10 1 A. You know, I think as we get closer to 08:32:45
2 A. He indicated that they had some kind of 2 deals, we have to have discussions about, Okay,
3 content from his previous employer. 3 what are the things we need to do to get a deal
4 Q. Okay. He didn't say they have some kind 4 done?
5 of content, did he? 08:30:20 5 I don't -- I don't know the specific 08:32:53
6 A. I don't know what his specific words 6 purpose though.
7 were. 7 Q. You don't remember?
8 Q. Okay. And did you say anything in 8 A. No.
9 response to that? 9 Q. Going back to the all-hands meeting --
10 A. I did. 08:30:30 10 A. Yeah. 08:33:05
11 Q. What did you say? 11 Q. -- you don't remember having a discussion
12 A. I said that he -- we -- that we, as a 12 with Mr. Levandowski after he made his
13 whole, need to make sure that that content does not 13 presentation?
14 make it to Uber, and that he needs to talk to 14 A. I mean, I've had many discussions with
15 attorneys to figure out how to make sure that's 08:30:43 15 Levandowski like over the years. 08:33:19
16 done properly. 16 Q. I meant -- I meant -- let me --
17 Q. But you don't remember at this meeting 17 A. Yeah.
18 asking him what is it that's on the files? 18 Q. I'm sorry. The question was vague.
19 A. No. 19 A. Yeah.
20 Q. You don't remember asking him about any 08:31:11 20 Q. You don't remember any conversation 08:33:26
21 of the circumstances surrounding the files? 21 during the meeting, after he made the presentation,
22 A. No, I do not. I just wanted to make sure 22 with Mr. Levandowski?
23 that files from his previous employer or anywhere 23 A. Well, the meeting was -- I mean, the
24 else were not making it to Uber. 24 meeting wasn't a discussion between him and me.
25 Q. Did anyone -- who else was at the 08:31:27 25 The meeting was us sort of speaking to the company. 08:33:38
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1 Q. And after it broke up, did you go up and 08:33:44 1 He built this thing with his own blood, 08:36:10
2 talk to him? 2 sweat, and tears. And be accused of -- of doing
3 A. I don't think so. 3 that, of -- of taking something, he...
4 Q. Why not? 4 Q. Are you finished with your answer?
5 A. I got a full day. I mean, I should 08:33:52 5 A. Well, I was in the middle of my answer. 08:36:34
6 probably look at my calendar and see what the 6 Q. I'm listening.
7 schedule was. 7 A. Well, okay. To be accused of doing
8 Q. So you maintain a calendar? 8 something that he didn't do when he put in his
9 A. Yeah, of course. 9 own -- his own mind, his own effort to make
10 Q. How is that maintained? 08:34:03 10 something he was proud of was -- was an emotional 08:36:49
11 A. My assistant maintains it. 11 thing for him, and I think for a lot of people.
12 Q. And the name of your assistant, please? 12 Q. So are you just saying what you believe
13 A. Tyler Blum. 13 he -- he was thinking, or are you talking about
14 Q. And is it stored in a file somewhere? Is 14 something he said?
15 it in a program? 08:34:15 15 A. I'm talking about how a large group of 08:37:01
16 A. It's on Google servers. 16 people felt --
17 Q. Is there an application that she uses? 17 Q. Okay.
18 A. Tyler is a guy. 18 A. -- post that complaint.
19 Q. I'm sorry. 19 Q. Do you remember what Mr. Haslam said at
20 A. That's okay. 08:34:26 20 the meeting? 08:37:12
21 Q. Is there a application that Mr. Bloom 21 A. Yeah. He talked about the laser that he
22 uses? 22 built and how he built it, how his team built it.
23 A. Blum. 23 You know, he talked about the different components
24 Q. Blum? 24 and things you would only know if you built it.
25 A. Yeah. 08:34:33 25 And, of course, he never worked at Google. 08:37:26
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1 It's called -- it's called 08:34:32 1 Q. Did he -- what else did he say when he 08:37:30
2 Google Calendar. I'm sure your client would be 2 spoke at the meeting?
3 happy about that. 3 A. I think that was the majority of it.
4 Q. What did you say at this all-hands 4 Q. Do you remember anything else that
5 meeting? 08:35:02 5 Mr. Haslam said when he spoke at the meeting? 08:37:40
6 A. I spoke about how it has always been 6 A. I do not.
7 important for us to build technology from the 7 Q. What about Ms. Padilla?
8 ground up, that Uber, we're innovators at Uber. At 8 A. Ms. Padilla, she spoke about our
9 Uber, we're leaders. 9 confidence that we had built this technology from
10 And we made sure during the deal process, 08:35:1710 the ground up, and spoke about, sort of at a high 08:38:01
11 as well as subsequent -- you know, following that, 11 level, sort of the kind of processes we go through
12 that the technology we made was ours. 12 to make sure that the technology we build is -- is
13 And this is really about -- you know, 13 ours.
14 we've got literally, at this point, hundreds, if 14 Q. And what processes did she talk about?
15 not close to 1,000 at the point -- at that point, 08:35:35 15 A. She didn't go into the process -- any 08:38:21
16 hundreds of people who built this technology 16 processes in detail, but, you know, just our
17 themselves with their own hands, with their own 17 values, you know, and the things we do, just at a
18 minds. And we're being accused of not having done 18 high level, to make sure that we built things the
19 so. 19 right way.
20 And for them it was an emotional thing. 08:35:49 20 Q. And what things did -- did that -- that 08:38:37
21 Right. So James Haslam, the guy who 21 Uber does --
22 built our laser team and built the laser which we 22 A. Yeah.
23 have been -- you know, we have been trying to get 23 Q. -- did she mention?
24 to market, he didn't work at Google. He didn't see 24 A. I don't remember specifically what those
25 any files. 08:36:08 25 were that she mentioned. 08:38:45
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1 Q. Do you remember any process to ensure 08:38:47 1 A. Yes, I think so. 08:40:24
2 that Google didn't use other people's proprietary 2 Q. Okay. What do you remember about that?
3 information that she mentioned during the meeting 3 A. Well, I remember Anthony's answer.
4 when she spoke? 4 Q. Do you remember -- okay.
5 MS. DUNN: Objection to form. 08:39:00 5 What was Anthony's answer? 08:40:33
6 MR. CHATTERJEE: Join. 6 A. Anthony's answer was that he downloaded
7 MS. DUNN: And Charlie, you might want to 7 files when he worked from home.
8 rephrase the question. 8 Q. The same thing you remembered him saying
9 MR. VERHOEVEN: Okay. I did misspeak. I 9 before?
10 apologize. 08:39:08 10 A. Correct. Yes. 08:40:41
11 THE DEPONENT: I am not familiar with 11 Q. Do you remember anything else about what
12 Google's processes. 12 he said in his answer?
13 Q. (By Mr. Verhoeven) Yes, I meant to say 13 A. I do not.
14 Uber. 14 Q. Okay.
15 A. That's okay. Can you say the question 08:39:14 15 A. I think it was -- it was -- I remember it 08:40:48
16 again. 16 being a short answer.
17 Q. Yes, I will. 17 Q. Were you surprised by that answer?
18 Do you remember any process to ensure 18 A. I was not, no.
19 that Uber didn't use other people's proprietary 19 Q. Why not?
20 information that she mentioned during the meeting 08:39:22 20 A. I don't know. I -- I feel like -- I 08:40:58
21 when you spoke? 21 think there's a couple things. One is I kind of
22 A. Yeah. I don't -- I don't think she 22 felt like -- like I'm not sure if it's post
23 mentioned specific processes, but she did talk 23 complaint but before the all-hands that we had had
24 about our confidence that we were going to win the 24 some kind of discussion about it, I can't remember,
25 case. 08:39:34 25 or just simply so much confidence that we had done 08:41:12
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1 Q. What did she say about that? 08:39:35 1 the right thing and that we built this from the 08:41:16
2 A. She said we're going to win. 2 ground up, that it sounded like a normal answer.
3 Q. Anything else? 3 Q. So it wasn't surprising to you that he
4 A. She may have, but I do remember that 4 downloaded -- he had downloaded Google/Waymo
5 part. 08:39:42 5 documents in his possession? 08:41:30
6 Q. Do you remember anything else? 6 MS. DUNN: Objection to form.
7 A. Not specifically. 7 THE DEPONENT: I think it was -- if
8 Q. Generally, that she said? 8 indeed that's what happened, that's certainly
9 A. I think -- I think I have spoken to that. 9 unfortunate. I was not happy about that.
10 Q. So you've told me everything you 08:39:52 10 Q. (By Mr. Verhoeven) Do you remember not 08:41:40
11 generally remember? 11 being happy?
12 A. Yeah. 12 A. Yeah. Certainly, over time I became more
13 Q. Okay. 13 and more unhappy about it, but yes.
14 A. Yeah. 14 Q. Did you -- I think you mentioned, but
15 Q. Did anyone ask any questions at the 08:40:03 15 correct me if I'm wrong, that when you spoke -- 08:42:02
16 all-hands meeting? 16 A. Yeah.
17 A. Yes. 17 Q. -- at the meeting, you talked about steps
18 Q. Who asked questions? 18 that were taken during the process of the
19 A. I don't know. 19 acquisition that ensured that no information made
20 Q. Do you remember any of the questions 08:40:1220 it to Uber? 08:42:15
21 generally? 21 A. I mean, I didn't get into steps, but I
22 A. No. 22 talked about our confidence, the confidence I had
23 Q. Did anyone ask about whether the 23 in the team that did the deal, and generally the
24 allegations in the complaint about downloading 24 team that built processes to make sure that content
25 documents were true? 08:40:23 25 from anybody's previous employer, and certainly 08:42:33
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1 Google in this particular transaction, didn't make 08:42:36 1 deal. 08:44:48
2 it to Uber. 2 Q. So can you give me a time frame?
3 Q. And what team were you referring to? 3 A. Sorry. Let's call it March/April of
4 A. You know, the deal team. So this would 4 2016, in that time period.
5 be like Cameron on bus dev and corp dev; Salle Yoo, 08:42:44 5 Q. You had a conversation concerning whether 08:45:02
6 our general counsel, and her team, you know; and 6 or not Mr. Levandowski downloaded Google/Waymo
7 various other folks that were involved. 7 documents, correct?
8 Q. I assume -- well, let me ask you. Was 8 MS. DUNN: Objection to form.
9 there any transcript or video of the all-hands 9 THE DEPONENT: Can you restate the
10 meeting? 08:43:04 10 question. 08:45:13
11 A. I don't know. 11 MS. DUNN: Also --
12 Q. Before the complaint was filed -- let me 12 MR. VERHOEVEN: I can read it back.
13 back up. I'm now scoping out again -- 13 MS. DUNN: The only conversations that
14 A. Yeah. 14 we've talked about are conversations with
15 Q. -- and ask you general questions. 08:43:18 15 attorneys. And the witness has been instructed not 08:45:19
16 A. Yeah, yeah. 16 to answer.
17 Q. You've already testified that you recall 17 Q. (By Mr. Verhoeven) You had conversations
18 a conversation before the complaint was filed in 18 during this time frame that concern the subject
19 which Mr. Levandowski referred to these discs. 19 matter of Mr. Levandowski and whether or not he
20 A. Yeah. 08:43:32 20 took Google or Waymo documents, correct? 08:45:36
21 Q. Okay. 21 MS. DUNN: Objection. Same basis.
22 A. Some sort of backup discs or something, 22 The witness is instructed not to answer.
23 yeah. 23 He has already told you that the only conversation
24 Q. Other than that conversation, do you 24 he has had and you have asked about are with
25 recall any conversation that you had with 08:43:38 25 counsel. 08:45:50
Page 34 Page 36
1 Mr. Levandowski about whether or not he had Google 08:43:40 1 MR. VERHOEVEN: Yes. But he's also 08:45:53
2 or Waymo files before the filing of the complaint? 2 testified that he had conversations on that
3 A. No. 3 subject. I'm simply confirming that.
4 Q. Do you -- do you recall any conversation 4 MS. DUNN: Well, if you believe he's
5 that you had with anybody about whether 08:43:53 5 testified to it, you don't need to confirm it. 08:45:59
6 Mr. Levandowski took Google or Waymo files prior to 6 The witness is instructed not to answer.
7 the filing of the complaint? 7 Q. (By Mr. Verhoeven) Who was at the -- how
8 A. No. I mean, outside -- sorry. Excuse 8 many meetings do you recall in March or April?
9 me. Outside of discussions -- a couple of 9 MS. DUNN: Objection to form.
10 discussions with attorneys as we were going through 08:44:12 10 MR. CHATTERJEE: Join. 08:46:09
11 a diligence process. 11 THE DEPONENT: I don't know. Two or
12 Q. Okay. So there was a couple of 12 three. I can't say for sure, but that feels about
13 discussions with attorneys that covered that 13 right.
14 subject? 14 Q. (By Mr. Verhoeven) And why did you have
15 A. Yeah. 08:44:20 15 these meetings? 08:46:22
16 Q. Okay. What do you remember? 16 MS. DUNN: Objection. Same basis.
17 MS. DUNN: Objection. 17 And I'm happy to stop this deposition if
18 I'm going to instruct the witness not to 18 we're going to continue to have questions that just
19 answer about conversations that he had with 19 get to privileged communications.
20 attorneys. 08:44:28 20 Q. (By Mr. Verhoeven) Is there anything -- 08:46:32
21 Q. (By Mr. Verhoeven) Do you remember when? 21 MR. VERHOEVEN: He's allowed to testify
22 A. It was leading up to the deal -- leading 22 about nonprivileged aspects of my questions,
23 up to the closing of the deal, yeah. 23 Counsel.
24 Q. So August 2016? 24 MS. DUNN: That's not what you're asking
25 A. Sorry. Leading up to the signing of the 08:44:45 25 about. 08:46:38
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1 Q. (By Mr. Verhoeven) Did you have this 08:46:40 1 A. I don't remember specifically. 08:48:44
2 meeting because attorneys required you or asked you 2 Q. Was anything else discussed at the
3 to? 3 meeting?
4 MS. DUNN: Objection. Same basis. 4 A. I think so, yes.
5 You're instructed not to answer. 08:46:46 5 Q. Can you tell me what you remember. 08:48:50
6 Q. (By Mr. Verhoeven) What was the purpose 6 A. I don't remember much of it.
7 of the meeting? 7 Q. Do you remember anything, though?
8 MS. DUNN: Objection. Same basis. 8 A. Not really.
9 MR. VERHOEVEN: I'm making my record, 9 Q. Okay. So the answer is no?
10 Counsel. 08:46:56 10 A. The answer is not really. 08:49:02
11 MS. DUNN: Well, you -- you made your 11 Q. But you don't remember -- you can't
12 record. 12 identify for me anything else that occurred in the
13 MR. VERHOEVEN: No. I have to make my 13 meeting, correct?
14 record so that when I go and move to compel later, 14 MS. DUNN: Objection to form.
15 I have a basis. And I can say -- demonstrate to 08:47:02 15 THE DEPONENT: I'm trying to think if 08:49:13
16 the Court the specific questions that you 16 there's anything. I mean, other than generally
17 instructed on. 17 just talking about the deal and getting the deal to
18 So I'm going to ask the questions. 18 closure, I -- I don't have more specifics on that.
19 MS. DUNN: Charlie, as you know, if you 19 Q. (By Mr. Verhoeven) Okay. Did you have
20 continue to ask the same questions about the same 08:47:15 20 another meeting during the March/April time frame 08:49:36
21 privileged information, that's improper. 21 on the subject of Levandowski and Google or Waymo
22 Q. (By Mr. Verhoeven) Who was at the first 22 documents?
23 of these meetings? 23 A. I had at least a couple meetings with my
24 A. So what I can do is I can speak to the 24 general counsel about diligence, generally.
25 meeting I had that didn't have attorneys. 08:47:27 25 Q. Was the subject of Google documents 08:50:03
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1 A. I don't know. 08:51:22 1 other than the ones you've already testified about? 08:53:17
2 Q. Was anyone from O'Melveny Myers there? 2 MS. DUNN: Objection to form.
3 A. I don't know. 3 MR. CHATTERJEE: Join.
4 Q. Same questions for the second meeting. 4 THE DEPONENT: No.
5 Do you remember who was there? 08:51:30 5 Q. (By Mr. Verhoeven) After the -- we're 08:53:36
6 A. No, not specifically. 6 still way out. After the all-hands meeting --
7 Q. You do remember that general counsel 7 A. Yeah.
8 Salle Yoo was there? 8 Q. -- moving forward from that --
9 A. Yes. 9 A. Yeah.
10 Q. Was anyone else from Uber there? 08:51:39 10 Q. -- what was the next conversation, if 08:53:49
11 A. Possibly, but I just -- I just don't 11 any, that you had with Mr. Levandowski concerning
12 remember. 12 the subject of whether or not he took Google/Waymo
13 Q. Was anyone from Otto there? 13 documents?
14 A. I don't know. I don't think so. 14 A. I don't remember the next conversation
15 Q. Was Mr. Levandowski there? 08:51:51 15 specifically. But regarding this topic, I was 08:54:01
16 A. I don't think so. 16 pretty -- I was pretty serious with him about
17 Q. And that goes for the -- the first of 17 making sure that these files had not and will not
18 those two meetings, too? 18 make it to Uber.
19 A. Yeah. 19 Q. And can you explain what you mean by
20 Q. Did you learn that -- at either of these 08:52:09 20 "pretty serious about." 08:54:49
21 meetings, did you learn that Mr. Levandowski had 21 A. We believe in building things, and we
22 taken Google documents when he left? 22 believe in building things the right way. And I
23 MS. DUNN: Objection. Contents of the 23 wanted to make it absolutely clear that no files of
24 meeting would be privileged communications. 24 any kind from anybody's previous employer make it
25 The witness is instructed not to answer. 08:52:23 25 to Uber. And I have always made that very clear to 08:55:10
Page 42 Page 44
1 MR. VERHOEVEN: To just whether he 08:52:29 1 many people at the company. 08:55:13
2 learned it. 2 And when you hear of something like
3 MS. DUNN: What he learned at those 3 somebody downloading files, you say, Look, have --
4 meetings would be privileged. 4 has any of these files made it over to Uber?
5 MR. VERHOEVEN: Okay. I'm just 08:52:34 5 And you get through that question, and 08:55:28
6 clarifying -- 6 then the next question or the next sort of
7 MS. DUNN: I understand. 7 statement or command is, You need to make sure that
8 MR. VERHOEVEN: -- you're instructing on 8 nothing of any kind that comes from any previous
9 that. 9 place makes it to this company, period.
10 MS. DUNN: I'm instructing on that. 08:52:40 10 Q. What did you say to Mr. Levandowski on 08:56:08
11 Q. (By Mr. Verhoeven) Going back out, any 11 that subject?
12 other conversations concerning Levandowski's taking 12 A. I made it very clear to him that we -- I
13 the Google documents, other than what you've 13 made it very -- well, the first question is, Did
14 already testified about -- 14 anything make it to Uber?
15 A. Yeah. 08:52:53 15 And he made it very clear to me that 08:56:22
16 Q. -- prior to filing of the complaint, that 16 absolutely nothing that he downloaded made it to
17 you remember? 17 Uber in any way.
18 A. No. 18 And the second part is, I made it very
19 MS. DUNN: Objection to form. 19 clear to him how important it was to me that that
20 MR. CHATTERJEE: Join. 08:52:57 20 was the case and that we would look into 08:56:37
21 Q. (By Mr. Verhoeven) Okay. Prior to the 21 everything, every server, every person at the
22 filing of the complaint, are there any other 22 company, to make sure that that was true.
23 conversations that you've had with anyone that you 23 Q. Okay. So -- when -- when did this
24 can recall that concerned the subject matter of 24 conversation happen?
25 Mr. Levandowski taking Google or Waymo documents, 08:53:13 25 A. I don't remember -- I don't remember when 08:56:50
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1 this specific conversation happened or like the 08:56:52 1 Q. What did you say to him generally? 08:59:25
2 exact date or time, but I know that that kind of 2 A. I generally said -- well, the -- the
3 conversation happened with him. 3 first -- the first thing is, Did any of these files
4 Q. How do you know that? 4 make it over to Uber?
5 A. I just -- I just generally recollect that 08:57:07 5 Q. Okay. So you asked him that question. 08:59:38
6 kind of conversation. 6 A. Yes.
7 Q. But you don't remember when it happened? 7 Q. What did he say?
8 A. No. 8 A. He said, Absolutely not.
9 Q. Do you remember what month it happened 9 Q. Did you ask him, Did you take Google
10 in? 08:57:18 10 files with you? 08:59:48
11 A. I mean, I can guess that it was pretty 11 A. I did not ask him.
12 close to the all-hands meeting. 12 Q. Why not?
13 Q. Was it after or before the all-hands 13 A. I -- I don't know. I just didn't.
14 meeting? 14 Q. Wouldn't that be important to you to
15 A. I feel like that was after, but I don't 08:57:31 15 know? 08:59:56
16 know for sure. It may have been after the 16 MS. DUNN: Objection to form.
17 complaint and before the all-hands, but I -- I 17 THE DEPONENT: My biggest concern was
18 can't remember for sure. 18 that nothing from Google ended up at Uber. That
19 Q. Was it in February of 2017? 19 was the most important thing for me.
20 A. I mean, whenever the complaint was and 08:57:50 20 Q. (By Mr. Verhoeven) But you were 09:00:09
21 the all-hands, there was probably, I don't know, 21 concerned that -- that -- about the allegation that
22 maybe 12 to 24 hours in between. It was either in 22 he downloaded 14,000 proprietary files from Google
23 that portion of time or in the hours following the 23 before he left and joined your company, weren't
24 all-hands meeting. And I don't know exactly -- 24 you?
25 Q. Was the conversation in person? 08:58:00 25 MS. DUNN: Objection to form. 09:00:19
Page 46 Page 48
1 A. I don't know for sure. 08:58:04 1 THE DEPONENT: I was very -- I didn't 09:00:21
2 Q. Was it over the phone? 2 know the details of the allegation. We were going
3 A. It may have been. 3 to -- we were going to look into that allegation
4 Q. But you don't remember if it was in 4 and find out what the details were.
5 person or over the phone? 08:58:14 5 But in the -- in the moment of that 09:00:33
6 A. I do not know. 6 complaint and sort of let's call it the following
7 Q. Was anyone else present during the 7 days, my No. 1 concern is that nothing from Google
8 conversation or on the line? 8 ended up at Uber. Period.
9 A. I don't know for sure. I mean, on the 9 And I was not just going to ask and find
10 line, my guess is probably not if it were over the 08:58:23 10 out, Hey, did anything make it? But I was also 09:00:50
11 phone. If it were in person, it could have just 11 going to do everything in my power to verify that
12 been like passing in the hall, or it could have 12 that was true.
13 been that I was with an attorney. I just don't -- 13 Q. (By Mr. Verhoeven) But my question was,
14 I don't remember. 14 certainly you were concerned about the allegation
15 Q. Would that have been set on your 08:58:41 15 that had been made in the complaint that 09:01:04
16 calendar? 16 Mr. Levandowski took files with him when he left
17 A. It may have been. I don't know. I -- I 17 Google to join Uber.
18 don't -- I don't know. 18 MS. DUNN: Objection to form.
19 Q. Did you schedule a meeting with him about 19 Q. (By Mr. Verhoeven) Weren't you concerned
20 it? 08:58:54 20 about that? 09:01:19
21 A. I don't remember a specific meeting about 21 A. Anytime there's an allegation, and
22 it other than the all-hands, of course. 22 including this kind of allegation, you're going to
23 Q. What did you say to him specifically? 23 have some kind of concern. And then the next thing
24 A. I don't remember what I specifically 24 is you have to start looking into it and find out
25 said. 08:59:25 25 what's true. 09:01:31
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1 Q. At the time you had the conversation, you 09:01:32 1 going on. 09:03:45
2 were concerned about that, right? 2 Q. By whom?
3 A. Yes. But what I -- but what I was most 3 A. I don't remember.
4 concerned about was making sure that nothing from 4 Q. You don't remember?
5 Google -- verifying that nothing from Google had 09:01:43 5 A. No. 09:03:48
6 made it over to Uber. 6 Q. What conversations did you have within
7 Now, I was generally confident that 7 Uber about this investigation that you referred to?
8 nothing had. But when an allegation like that 8 MS. DUNN: I will just caution the
9 comes, you need to double- and triple-check. 9 witness to only answer to the extent that it
10 Q. But you are sure you didn't ask him 09:01:57 10 doesn't involve conversations with counsel. 09:04:02
11 whether he downloaded those files? 11 THE DEPONENT: Yeah.
12 A. He admitted that he downloaded files. 12 MR. VERHOEVEN: So just for the record,
13 Q. Okay. Did you talk about that with him 13 Counsel, you're instructing the witness not to
14 when you had this conversation shortly after the 14 answer any conversations he had with counsel about
15 complaint? 09:02:07 15 the subject of any investigations that were done 09:04:10
16 A. I don't remember doing that, no. 16 after the filing of the complaint?
17 Q. Why wouldn't you? 17 MS. DUNN: I am -- I am instructing the
18 MS. DUNN: Objection to form. 18 witness to answer your question only to the extent
19 THE DEPONENT: I was most concerned about 19 that it doesn't involve privileged communications
20 whether files had made it to Uber and had -- that's 09:02:22 20 with counsel. That's my instruction. 09:04:21
21 where I'm starting. 21 MR. VERHOEVEN: Including conversations
22 You can imagine being in my position. 22 on the subject of investigations done after the
23 The first thing you're going to ask, Did anything 23 complaint?
24 that you have from your previous employer make it 24 MS. DUNN: Charlie, your responsibility
25 to Uber? 09:02:32 25 is to ask the question. 09:04:29
Page 50 Page 52
1 And then you get a very confirma- -- I 09:02:34 1 Q. (By Mr. Verhoeven) Do you remember any 09:04:30
2 got a very confirmatory, Absolutely not. 2 discussions you had with anyone within Uber about
3 And then my second thing is, We are going 3 investigations done after the filing of the
4 to make sure that that is the case. We are going 4 complaint?
5 to have independent investigators look into this 09:02:44 5 A. I do. 09:04:38
6 and find out whether that is true. And you need to 6 Q. Okay.
7 make sure that that continues to be true. 7 A. Those -- all of those conversations
8 Q. (By Mr. Verhoeven) Okay. Do you 8 happened with attorneys for -- with the company.
9 remember what you said to him about having 9 Q. And for the record, how many -- what --
10 independent investigators -- 09:03:02 10 what did you discuss? 09:04:50
11 A. No. 11 MS. DUNN: Objection on grounds of
12 Q. -- make sure? 12 privilege.
13 A. I don't remember the specifics, but we 13 The witness is instructed not to answer.
14 certainly had an investigation that started looking 14 Q. (By Mr. Verhoeven) How many discussions
15 through every server forensically, and started 09:03:15 15 did you have? 09:04:57
16 interviewing -- started interviewing, you know, 16 A. I can't remember.
17 many engineers, dozen of engineers, to verify that 17 Q. What's your best estimate?
18 they hadn't seen any files, and verify that those 18 A. I would say a few to a handful. And
19 files never touched us. 19 these could have been brief things like, What's the
20 Q. Did you direct that specifically to 09:03:33 20 status? Or What's the update? 09:05:11
21 happen? 21 Sorry.
22 A. Our chief security officer, Joe Sullivan, 22 MS. DUNN: The witness is instructed not
23 did. 23 to answer to the extent that it concerns content of
24 Q. And how do you know that? 24 the conversations.
25 A. At some point I was told that that was 09:03:42 25 Q. (By Mr. Verhoeven) What was -- so you 09:05:19
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1 asked what was the status -- 09:05:20 1 remember having an interaction like that of some 09:07:55
2 A. Yeah. 2 kind.
3 Q. -- of the investigation at these meetings 3 Q. Is that the best you can recall?
4 with counsel? 4 A. That's the best, yeah.
5 A. These are conversations -- 09:05:27 5 Q. All right. Let's -- let's scope out 09:08:03
6 MS. DUNN: I'm sorry. Hold on. I have 6 again.
7 to -- I mean... 7 A. Okay.
8 (Discussion off the stenographic record.) 8 Q. And let me ask, for the record, other
9 MS. DUNN: Objection on grounds of 9 than this general recollection you have --
10 privilege. 09:06:19 10 A. Yeah. Yeah. 09:08:32
11 The witness is instructed not to answer. 11 Q. -- did you have any other conversations
12 Q. (By Mr. Verhoeven) When was the first of 12 with Mr. Levandowski after the complaint was filed
13 those meetings? 13 concerning the subject of whether he took
14 A. I can't remember. 14 Google/Waymo documents?
15 Q. How many were there exactly? 09:06:30 15 A. I mean, the general recollection, like 09:08:50
16 A. I can't remember. 16 that kind of conversation could have happened more
17 Q. Over what period of time did they occur? 17 than once. I don't know for sure.
18 A. Over the months following the complaint. 18 Q. You have no specific recollection.
19 Q. And what did you learn from those 19 A. No.
20 meetings with counsel? 09:06:47 20 Q. Do you have any recollection that's -- 09:09:01
21 MS. DUNN: Objection on grounds of 21 that's in any way concrete of speaking to
22 privilege. 22 Mr. Levandowski after the complaint was filed,
23 The witness is not -- instructed not to 23 other than this general recollection you have given
24 answer. 24 me --
25 Q. (By Mr. Verhoeven) Did you receive 09:06:58 25 A. Yeah, no. 09:09:13
Page 54 Page 56
1 reports during those meetings of the status of the 09:06:59 1 Q. -- on the subject of whether or not he 09:09:13
2 investigation? 2 took Google/Waymo proprietary information?
3 MS. DUNN: Objection on grounds of 3 A. Well, I think the -- the all-hands was a
4 privilege. 4 very specific recollection.
5 The witness is instructed not to answer. 09:07:04 5 Q. Other than that. 09:09:27
6 Q. (By Mr. Verhoeven) Let's go back -- 6 A. No.
7 MS. DUNN: Can we get a time check. 7 Q. At any time?
8 THE VIDEOGRAPHER: We have been on the 8 A. No.
9 record for 49 minutes. 9 Q. Why didn't you fire Mr. Levandowski after
10 THE DEPONENT: Six hours and 11 minutes. 09:07:25 10 the complaint was filed? 09:09:43
11 MS. DUNN: Oh, this might be a good time 11 A. I did.
12 to mention. So our position is, as I emailed you 12 Q. I mean right after the complaint was
13 last night -- 13 filed.
14 MR. VERHOEVEN: Let's do that off the 14 A. Oh, well, look, at Uber we have -- you
15 record because I don't want to use up time. 09:07:31 15 know, we see a number of allegations and 09:09:55
16 MS. DUNN: Okay. 16 complaints. And the way we think about that is,
17 Q. (By Mr. Verhoeven) Let's go back to this 17 when we see an allegation, we take it really
18 conversation that -- where you talked about the two 18 seriously.
19 things -- 19 We look into it. We investigate it. We
20 A. Yeah. 09:07:40 20 get to the bottom of it. And then we make a 09:10:14
21 Q. -- with Mr. Levandowski. 21 decision about what to do about it.
22 A. Yeah. 22 And so immediately following an
23 And, again, that's like a general -- like 23 allegation, we have to look into the allegation and
24 I can't remember the specific conversation, but I 24 see what the details are before we take some kind
25 recollect those being the important things, and I 09:07:53 25 of action. 09:10:29
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1 Q. Why didn't you fire Mr. Levandowski after 09:10:30 1 Q. (By Mr. Verhoeven) People work from home 09:12:19
2 you learned from him -- from Mr. Levandowski 2 at Uber all the time, too, don't they?
3 himself, that he did download Google documents at 3 A. Yes.
4 the all-hands meeting? 4 Q. How common a practice is that, generally?
5 A. I think his explanation at the all-hands 09:10:44 5 A. More common than I would like. 09:12:28
6 meeting was that he was downloading files to work 6 Q. So can you be any more specific about
7 from home. 7 that?
8 Q. So -- but you didn't ask him whether or 8 A. About what, specifically?
9 not he still had those and whether or not he was 9 Q. People do it a lot?
10 using those files? 09:11:00 10 A. You know, I would say not a lot, 09:12:39
11 MS. DUNN: Objection to form. 11 but it -- but I would say people at Uber work
12 THE DEPONENT: Like I said, I made sure 12 pretty hard.
13 that none of those files made it to Uber and that 13 Q. Right.
14 they were not being used. 14 A. And sometimes that means it's after
15 Q. (By Mr. Verhoeven) Did you specifically 09:11:07 15 having dinner with -- you know, with the family or 09:12:48
16 ask him, Did any of those files you downloaded 16 something, and that's at home.
17 make -- make it to Uber? 17 Q. Looking at your documents, it looks like
18 A. Absolutely. 18 there's communications all the way up past
19 Q. What did he say? 19 midnight.
20 A. Absolutely not. 09:11:16 20 Is that pretty routine at Uber? 09:12:58
21 Q. Did you ask him, Do you still have those 21 MS. DUNN: Objection to form. And -- I
22 files? 22 will leave it at that for now. Objection to form.
23 A. I did not ask him that. 23 THE DEPONENT: I take pride in our work
24 Q. Why not? 24 ethic.
25 A. I don't -- I don't know. I was -- I was 09:11:23 25 Q. (By Mr. Verhoeven) So it is pretty 09:13:11
Page 58 Page 60
1 mostly -- I was most concerned that content data, 09:11:25 1 routine. 09:13:12
2 et cetera, from a previous employer was not being 2 A. I mean, for some people yes, for some
3 used to build what we build here at Uber. 3 people no.
4 Q. Well, you knew that Mr. Levandowski took 4 Q. And --
5 his personal laptop to work, right? 09:11:39 5 A. As an owner in the business, I would like 09:13:15
6 MS. DUNN: Objection to form. 6 it to be more routine.
7 THE DEPONENT: I didn't know that. 7 Q. And you don't expect them to -- to be at
8 Q. (By Mr. Verhoeven) You didn't know there 8 the office at that point in time, right?
9 were any restrictions on that, did you? 9 A. It just depends, but not generally.
10 MS. DUNN: Objection to form. 09:11:48 10 Q. So it's okay if they're responding from 09:13:26
11 THE DEPONENT: I am just not in the weeds 11 emails at home, right?
12 of that kind of stuff. 12 A. Yeah.
13 Q. (By Mr. Verhoeven) People take their 13 Q. I may have asked this before, and I
14 personal laptops to work all the time at Uber, 14 apologize if I did. But you learned at the
15 don't they? 09:11:55 15 all-hands meeting that Mr. Levandowski had 09:13:53
16 MS. DUNN: Objection to form. 16 downloaded documents, correct?
17 THE DEPONENT: I don't think that's a 17 A. Yes, but there may have been a -- there
18 normal process -- a normal thing. I think it 18 may have been some conversation after the complaint
19 might -- maybe happens. You know, maybe it happens 19 but before the all-hands where we discussed it. I
20 with some employees, but it's not something that we 09:12:06 20 just can't remember the specifics of it or whether 09:14:11
21 generally do. 21 it happened or not. I just can't remember.
22 Q. (By Mr. Verhoeven) It's not prohibited, 22 Q. Did you take any disciplinary action
23 is it? 23 against Mr. Levandowski once you learned that?
24 A. I don't think so. 24 I mean, not later -- not two or three
25 MS. DUNN: Objection to form. 09:12:14 25 months later, but in direct response to learning 09:14:21
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1 that. 09:14:24 1 happened with attorneys in the room that, for 09:16:27
2 A. No. We -- we look into the allegations 2 obvious reasons, I can't speak to.
3 first, then decide what kind of disciplinary 3 Q. Well, you had that discussion with
4 actions to take. That's generally how we -- we 4 Mr. Levandowski without attorneys in the room where
5 approach things. 09:14:35 5 you learned that he had files from Google, right? 09:16:37
6 Q. But you knew personally that he had 6 A. Well, in that discussion there was an
7 downloaded Google documents at that time, right? 7 attorney in the room, but it was a -- it was an
8 MR. CHATTERJEE: Form. 8 all-hands.
9 THE DEPONENT: We learned -- I think, in 9 Q. No, I'm talking about in the intake
10 the all-hands, you know, he stated that he 09:14:43 10 process back in March of 2016 -- 09:16:50
11 downloaded files while working from home -- 11 A. Yeah, that's true. There was that one
12 Q. (By Mr. Verhoeven) So you did -- 12 meeting, yeah.
13 A. -- when he was working at Google, which 13 Q. Yeah. That was part of the transaction,
14 doesn't -- that -- we have to look into the details 14 right?
15 about the complaint, we have to understand what he 09:15:00 15 A. Correct. Yeah. 09:16:58
16 said, we have to get to the bottom of it, and then 16 Q. You don't remember specifically --
17 decide what kind of action we should take. 17 A. Yeah.
18 Q. Somebody asked him does he still have 18 Q. -- what step it was --
19 those files at that time, didn't they? 19 A. Yeah.
20 MS. DUNN: Objection to form. 09:15:12 20 Q. -- but -- and you would agree that part 09:17:02
21 THE DEPONENT: Not a conversation I know 21 of Uber's process when they're taking in an
22 about. 22 employee from a competitor would be to determine
23 Q. (By Mr. Verhoeven) So you don't know 23 whether or not the -- they have any of that former
24 whether anyone asked him, Do you still have those? 24 employer's confidential documents in their laptop,
25 A. I don't know. 09:15:19 25 right? 09:17:22
Page 62 Page 64
1 Q. And you didn't know whether he still had 09:15:24 1 MS. DUNN: Objection to form. 09:17:22
2 the files at that time? 2 MR. CHATTERJEE: Join.
3 A. I didn't know specifically, no. 3 THE DEPONENT: When you do a transaction,
4 Q. And that wasn't of concern to you whether 4 an M & A transaction, or something of that nature,
5 he still had them or not? 09:15:34 5 there's generally going to be a diligence process 09:17:32
6 MS. DUNN: Objection to form. 6 that, you know, does everything -- or, you know,
7 THE DEPONENT: I may have assumed he just 7 really sort of has general processes to try to
8 didn't have them. Right. When somebody's -- when 8 prevent these -- prevent content to come from the
9 somebody's downloading files when they're working 9 previous employer to where they're going, yes.
10 at their employer, that -- that's -- I think that's 09:15:45 10 Q. (By Mr. Verhoeven) So you would have 09:17:52
11 okay. 11 expected that you would have learned already if he
12 And then if you -- you know, then -- then 12 had down- -- had downloaded Google documents,
13 in the transaction itself, we went through a 13 right --
14 diligence process that I felt, you know, my 14 MS. DUNN: Objection to form.
15 people -- I have a lot of trust in their expertise 09:15:59 15 Q. (By Mr. Verhoeven) -- before the 09:17:59
16 and how they -- how they do things to make sure 16 all-hands -- before the complaint was filed?
17 that these files just weren't over at Uber. 17 MR. CHATTERJEE: Form.
18 So I felt good about our processes. 18 MS. DUNN: Objection to form.
19 Q. (By Mr. Verhoeven) Part of that 19 THE DEPONENT: I have executives that
20 diligence process, correct me if I'm wrong -- 09:16:13 20 work for me, that have a lot of experience, a lot 09:18:10
21 A. Yeah. 21 of expertise in doing diligence and transactions,
22 Q. -- is to ask the employee coming over 22 and I depend on them to make sure those things
23 whether or not the employee has any files from the 23 happen -- the right things happen.
24 former employer, correct? 24 Q. (By Mr. Verhoeven) I understand that.
25 A. So these kinds of conversations may have 09:16:25 25 A. Yeah. 09:18:23
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1 Q. But you've testified that Uber is very 09:18:24 1 with him -- 09:20:38
2 careful about that and that they take steps to 2 MS. DUNN: Objection to form.
3 ensure that that doesn't happen, right? 3 Q. (By Mr. Verhoeven) -- that he had taken
4 A. Yeah. We -- I -- I -- I generally 4 from Google?
5 understand that to be true, yes. 09:18:34 5 Wouldn't that be surprising? 09:20:44
6 Q. And you would expect that your executives 6 MS. DUNN: Objection to form.
7 would find out, as part of the intake process, 7 MR. CHATTERJEE: Join.
8 whether or not the employee coming in has 8 THE DEPONENT: It would certainly be
9 confidential files that they've taken from their 9 disappointing.
10 former employer, right? 09:18:48 10 Q. (By Mr. Verhoeven) And wouldn't you have 09:20:55
11 MS. DUNN: Objection to form. 11 expected that you would have asked Mr. Levandowski
12 THE DEPONENT: We would -- in any 12 about that?
13 transaction we are going to make sure to take -- 13 A. I did.
14 you know, to take the important steps you -- you 14 Q. And what did he say about it?
15 have to take to -- to make sure these files don't 09:19:05 15 A. You know, like I said before, he first 09:21:03
16 get across. Files from whatever employer, whether 16 said that he had downloaded files when working from
17 it's the previous one or two previous ones. 17 home, that he had made sure that -- that I -- when
18 And I'm not in the weeds of all the 18 I -- upon me asking, Did any files make it to Uber,
19 details of what that process looks like, but I am 19 has it informed anything that we've done, he made
20 confident -- I'm confident in my people that do 09:19:22 20 it very clear that that was not the case. 09:21:24
21 that. 21 Q. But you didn't ask him, Do you still have
22 And in -- generally, I believe that they 22 stolen files?
23 did a good job in that because everything we've 23 MS. DUNN: Objection to form.
24 seen since shows that nobody's seen these files and 24 MR. CHATTERJEE: Join.
25 these files haven't made it to Uber. 09:19:39 25 THE DEPONENT: I did not. 09:21:32
Page 66 Page 68
1 Q. (By Mr. Verhoeven) So you would have 09:19:41 1 Q. (By Mr. Verhoeven) You didn't ask him, 09:21:33
2 expected that when Mr. Levandowski was being 2 Do you still have any Google documents in your
3 processed by these people, they would have asked 3 laptops or any of your devices?
4 him, Do you have any Google documents that you've 4 A. Those questions may have been asked with
5 taken with you, correct? 09:19:51 5 attorneys in the room. But I certainly didn't have 09:21:40
6 MS. DUNN: Objection to form. 6 that conversation with him one on one.
7 MR. CHATTERJEE: Join. 7 Q. You are aware that Ottomotto was run out
8 THE DEPONENT: Those questions may have 8 of Mr. Levandowski's house before it was acquired
9 been asked. I just don't know the details of that 9 by you, right?
10 process. 09:19:59 10 A. Yes. 09:21:59
11 Q. (By Mr. Verhoeven) But you would have 11 Q. And during that time before the
12 expected that they would have determined that, 12 acquisition, you're aware that Mr. Levandowski was
13 right? 13 working with folks at Uber on the subject of AV,
14 A. What I -- 14 and specifically on the subject of LiDAR, correct?
15 MS. DUNN: Objection to form. 09:20:05 15 MS. DUNN: Objection to form. 09:22:29
16 MR. CHATTERJEE: Join. 16 MR. CHATTERJEE: Form.
17 THE DEPONENT: What I would expect is 17 THE DEPONENT: What time period are you
18 that they take the necessary steps to make sure 18 talking about?
19 that files from a previous employer don't make it 19 Q. (By Mr. Verhoeven) Prior to the
20 to Uber, and files from a previous employer are not 09:20:17 20 acquisition, during the time when Mr. Levandowski 09:22:35
21 informing how people build things. 21 was working from his home.
22 Q. (By Mr. Verhoeven) Okay. So wouldn't it 22 A. I was aware there were meetings, yeah,
23 be surprising to learn later, after that process 23 meetings going on, sure.
24 had been completed by your executives or your team, 24 Q. On those subjects.
25 that, in fact, Mr. Levandowski had downloaded files 09:20:33 25 A. Are we talking -- I just don't know the 09:22:40
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1 specific time frame you're talking about. 09:22:42 1 in San Francisco, and it sort of depends on the 09:24:36
2 Q. I'm talking about after he left Google -- 2 time frame. I'm just not sure.
3 A. Yeah. 3 Q. The time frame I'm asking about was the
4 Q. -- when -- and formed a company. 4 one we --
5 A. Yeah. 09:22:53 5 A. Yeah, but they -- there may have been 09:24:43
6 Q. Let's just call it Ottomotto -- 6 multiple different situations during that. And I
7 A. Yes. 7 don't know specifically when a lease was taken out
8 Q. -- generally -- 8 or...
9 A. Yeah. 9 Q. Did you ever visit Mr. Levandowski during
10 Q. -- and before he became an employee of 09:22:5610 that time period at his house? 09:24:53
11 Uber. 11 A. Once, yes.
12 A. Okay. 12 Q. Okay.
13 Q. During that time period. 13 A. Well, maybe not during that period. I
14 A. Okay. 14 think I visited him prior to the deal happening. I
15 Q. He, while he was working at home -- 09:23:04 15 took a ride in one of their trucks, which was an 09:25:07
16 A. Yeah. 16 interesting experience.
17 Q. -- was working with members of your 17 Q. After -- at some point you learned that
18 technical team in AV and helping them. 18 Mr. Levandowski was taking -- was refusing to
19 A. Yeah. 19 provide any testimony or documents --
20 Q. And specifically that included the 09:23:17 20 A. Yeah. 09:25:46
21 technical -- technological area of LiDAR. 21 Q. -- in this litigation based on his
22 You were aware of that, right? 22 assertion of the Fifth Amendment?
23 A. What I'm aware of is post-signing an 23 MS. DUNN: Charlie, if you're switching
24 agreement in sort of the April time frame that he 24 gears, I think we've been going for more than an
25 started consulting with Uber. The general -- the 09:23:3625 hour, and I think it would be good to take a break. 09:25:51
Page 70 Page 72
1 general area was around autonomy, like broadly. 09:23:41 1 MR. VERHOEVEN: Do you need a break now? 09:25:55
2 I'm not aware of any specific 2 THE DEPONENT: I would take a break, take
3 conversations about LiDAR. They -- I'm not saying 3 five minutes, ten minutes, something like that.
4 they didn't happen, but I'm not aware of any 4 MR. VERHOEVEN: Okay.
5 specific conversations that happened. 09:23:54 5 THE DEPONENT: Does that work? 09:26:04
6 Q. But he was consulting on the technology 6 MS. DUNN: Yeah.
7 of AV, generally? 7 What's the time?
8 A. Yes. 8 THE VIDEOGRAPHER: Going off the record.
9 MR. CHATTERJEE: Form. 9 The time is 9:25.
10 THE DEPONENT: Correct. 09:24:01 10 (Recess taken.) 09:26:10
11 Q. (By Mr. Verhoeven) And you were aware 11 THE VIDEOGRAPHER: We are back on the
12 that he was doing that from his house? 12 record. The time is 9:38.
13 MS. DUNN: Objection to form. 13 Q. (By Mr. Verhoeven) Mr. Kalanick, did you
14 THE DEPONENT: I -- I didn't know that 14 talk with anyone about this case on the break that
15 for certain. I don't -- I don't know that for 09:24:07 15 we just took? 09:38:51
16 certain. 16 A. No.
17 Q. (By Mr. Verhoeven) Are you aware of any 17 Q. Let's go back to the question I had
18 offices that Ottomotto had during that time frame 18 before the break. At some point you became aware
19 that we're talking about? 19 that Mr. Levandowski had -- was refusing to testify
20 A. I remember them talking about some kind 09:24:21 20 or produce documents on the basis of an assertion 09:39:09
21 of Oakland office, but I wasn't sure if that got 21 of the Fifth Amendment right against incrimination,
22 started up or not. I don't know if they had that 22 correct?
23 space or not. 23 A. Correct.
24 I -- I do know they had some space in 24 Q. When did you learn that?
25 Palo Alto as well. And I know they had some space 09:24:31 25 A. I don't remember the exact date. There 09:39:21
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1 was a meeting at Uber with all attorneys and me, so 09:39:26 1 about everything that you can remember about Google 09:42:24
2 I was the only nonattorney. But there was a 2 documents in your conversations with
3 meeting there where we were -- that I first 3 Mr. Levandowski, right?
4 understood that it was a possibility that Anthony 4 A. I mean, I -- I spoke to sort of the
5 may -- may do that. 09:39:47 5 complaint, the all-hands, et cetera, yes. 09:42:36
6 Q. Do you remember what time that meeting 6 Q. Okay. So did you have meetings with
7 was? 7 Mr. Levandowski about his assertion of the
8 A. It feels like an evening meeting. I feel 8 Fifth Amendment?
9 like it was an evening meeting, and it -- and -- 9 A. I did.
10 MS. DUNN: I will caution the witness to 09:40:05 10 Q. Okay. How many? 09:42:47
11 answer, not about the content of the meetings, 11 A. Probably -- I -- I don't know exactly.
12 since it was only attorneys and you. 12 It feels -- it was like a very long night with
13 THE DEPONENT: Yeah. Okay. 13 attorneys at Uber. Some of those discussions
14 Q. (By Mr. Verhoeven) I think the question 14 included Anthony. Some of them did not.
15 was: Do you remember when the meeting was? 09:40:17 15 Q. Okay. 09:43:07
16 I think that was the question. 16 A. So I don't know how to say how many
17 A. Yeah, it was -- it was in -- it felt like 17 meetings, but I can tell you it was a whole lot of
18 it was in the evening, and it -- there were a 18 hours.
19 couple meetings on this topic leading up to him 19 Q. What did you say on that subject?
20 actually deciding not to testify or declare. 09:40:40 20 A. I don't think I can -- I think because 09:43:17
21 Q. Do you know why you were at these 21 of -- there were so many attorneys there, I -- I
22 meetings? 22 may not be able to -- I don't -- I don't know. I'm
23 Well, let me ask this: You said -- you 23 confused.
24 testified at least the first one you recall you 24 If I am allowed to answer, then let me --
25 were the only nonattorney? 09:41:06 25 I'm confused whether I can or not. 09:43:30
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1 risk. 09:44:31 1 A. When we had -- we had discussions about 09:46:41
2 Okay? 2 how do we -- how do we -- like, is there a way we
3 MS. DUNN: It's your risk. 3 can get -- is there a way that he can testify
4 MR. VERHOEVEN: Okay. 4 without him being -- his -- his personal attorney
5 Q. (By Mr. Verhoeven) I will just go back 09:44:40 5 feeling so uncomfortable that he would plead the 09:46:59
6 and ask the question again, so -- I don't want to 6 Fifth.
7 confuse you. 7 So his personal counsel is telling him to
8 You had an opinion -- let's just get 8 take the Fifth. We would much prefer him not to.
9 out -- let's just get out what your opinion -- what 9 Q. Okay. And why would -- what did his
10 your feeling was before I get to who you expressed 09:44:48 10 personal counsel say about why he was going to have 09:47:13
11 it to. 11 to take the Fifth?
12 Okay? 12 MS. DUNN: Objection to form.
13 A. Yeah. 13 THE DEPONENT: I don't know the reasons
14 Q. What was your feeling? 14 why, other than just being conservative in his
15 A. My feeling is, he should -- he should 09:44:55 15 approach. 09:47:27
16 testify. That -- that he should say what happened, 16 Q. (By Mr. Verhoeven) What do you remember
17 why, how, and he should cooperate with the company 17 him saying?
18 and the Court in getting to the facts of the 18 MS. DUNN: Objection. I'm going to
19 matter. And I felt pretty passionately about it. 19 instruct the witness not to answer.
20 Q. Okay. Did you have a conversation with 09:45:20 20 MR. VERHOEVEN: Okay. My position is 09:47:37
21 Mr. Levandowski about that subject? 21 that he waived the attorney-client privilege on
22 A. Yes. 22 this meeting.
23 Q. What did you say to him? 23 MS. DUNN: I don't -- Charlie, there's
24 Well, first of all, when -- when did you 24 not even a specific meeting you are talking about.
25 have that conversation? 09:45:31 25 THE DEPONENT: Yeah. 09:47:48
Page 78 Page 80
1 A. Yeah. I mean, this was in -- this was 09:45:32 1 MS. DUNN: This is like an exercise in 09:47:49
2 around the time of him pleading the Fifth, and it 2 extreme line blurring. So I -- our position is, we
3 was right before. 3 have waived no attorney-client privilege.
4 Q. Was it a conversation outside of meeting 4 MR. VERHOEVEN: So you are going to
5 with attorneys? 09:45:42 5 instruct him on that question; is that right? 09:48:06
6 A. No. No, it was not. 6 MS. DUNN: I'm instructing him on that
7 Q. So you never spoke to him outside 7 question.
8 meetings with attorneys about the assertion of the 8 MR. VERHOEVEN: Okay.
9 Fifth amendment? You never, like, pulled him aside 9 MS. DUNN: And, also --
10 and said anything? 09:45:57 10 MR. VERHOEVEN: I don't need a speaking 09:48:12
11 A. No. 11 objection.
12 Q. What did you -- what did you say to him 12 MS. DUNN: Well, it seems like we have a
13 about the subject during your meetings with 13 lot of confusion going on here, and that you are
14 attorneys? 14 cultivating this confusion. And so I think that we
15 A. I really -- I really wanted him just to 09:46:17 15 should make sure that the witness is not entirely 09:48:19
16 testify and tell the Court whatever he had to say. 16 confused by your line of questioning.
17 Q. And you -- you said that during the 17 MR. VERHOEVEN: Object to the speaking
18 meeting? 18 objection.
19 A. I made it very clear to him that we 19 Q. (By Mr. Verhoeven) You can't remember
20 wanted him to testify. 09:46:25 20 the specific meetings, can you? 09:48:29
21 Q. And what did he say? 21 A. I can remember the specific meetings. I
22 A. He felt like -- well, my -- my sense is 22 can't give you exact. So I certainly can remember
23 that he wanted to. 23 specific meetings.
24 Q. Okay. I'm not asking about your sense. 24 Q. Okay.
25 What did he say? 09:46:39 25 A. I can't tell you the exact time of the 09:48:43
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1 specific meetings. 09:48:47 1 MR. CHATTERJEE: I can't object against 09:56:16
2 Q. Okay. What was the first meeting that 2 the Court's court.
3 you had on the subject of the Fifth? 3 MR. VERHOEVEN: Does other counsel have
4 A. The first meeting was a meeting with 4 any objections that we haven't yet identified?
5 attorneys where -- where we were under the 09:48:56 5 MS. DUNN: I also am following the 09:56:22
6 impression that they -- that he may take the Fifth, 6 judge's order. And we are only allowed to object
7 and there was a discussion as to -- 7 to form and based on privilege. We object to both.
8 MS. DUNN: I will caution the witness not 8 MR. VERHOEVEN: Okay. And so it's clear
9 to answer about conversations with attorneys. And 9 that there's no other objections than form and
10 we are going to take a break, which we are entitled 09:49:15 10 attorney-client privilege. 09:56:38
11 to do at any time. 11 MS. DUNN: Are you aware of any other
12 MR. VERHOEVEN: I object. 12 available objections, Charlie?
13 MS. DUNN: You can object. 13 MR. VERHOEVEN: I am trying to get a
14 THE VIDEOGRAPHER: Going off the 14 record.
15 record -- you want me to go off the record? 09:49:29 15 MS. DUNN: Okay. 09:56:42
16 MR. VERHOEVEN: Yeah, there's no need 16 MR. CHATTERJEE: You have a record. The
17 just to have a blank chair. 17 judge said what we can object to. We did it.
18 THE VIDEOGRAPHER: Going off the record. 18 Let's move on.
19 The time is 9:49 a.m. 19 MR. VERHOEVEN: I will take that as a no.
20 (Recess taken.) 09:49:42 20 Q. (By Mr. Verhoeven) Did you say anything 09:57:02
21 THE VIDEOGRAPHER: We are back on the 21 in response -- in response to the statement at this
22 record. The time is 9:54. 22 meeting -- withdrawn.
23 MR. CHATTERJEE: Just for the record, I 23 Going back to the meeting we were talking
24 want to make sure it's clear. I'm going to move to 24 about, where you expressed your concerns --
25 strike the question from 9:45 that's on the record 09:55:10 25 A. Which meeting are we talking about? 09:57:14
Page 82 Page 84
1 to 9:48. And the objection is as to form. 09:55:13 1 Which meeting, specifically? 09:57:15
2 MS. HAAG: If I could just put on the 2 Q. The meeting about the Fifth Amendment.
3 record we have an agreement that I'm going to try 3 A. Okay.
4 to keep my involvement to a minimum, and I think 4 MS. DUNN: Objection.
5 everybody agrees that -- I will -- I am joining any 09:55:24 5 Q. (By Mr. Verhoeven) Do you remember your 09:57:22
6 objection. 6 testimony about there's a meeting about the
7 MS. DUNN: And I am going to join 7 Fifth Amendment, and you expressed your concerns?
8 Otto Trucking's objection. 8 Do you remember that?
9 MR. VERHOEVEN: And the basis is, other 9 A. I do.
10 than -- it's all just to form? 09:55:35 10 Q. Okay. That meeting, is what I'm talking 09:57:27
11 MR. CHATTERJEE: Oh, the basis is that 11 about.
12 the judge also lets us object to form at this point 12 A. Okay.
13 in the proceeding, so I think the objection is 13 Q. Did you say anything in response to
14 based on a standing order. 14 Mr. Levandowski's personal attorney when he told
15 And, also, we will object to the extent 09:55:47 15 you that he would be -- that Mr. Levandowski was 09:57:40
16 it invokes attorney-client privilege issues, but 16 uncomfortable testifying and would plead the Fifth?
17 it's all move to strike. 17 MS. DUNN: Objection on the basis of
18 MR. VERHOEVEN: Anything else? 18 privilege. I'm going to instruct the -- the
19 MS. DUNN: Join. 19 witness not to answer.
20 MR. VERHOEVEN: Any other reasons? 09:56:03 20 And since you are seeking alternative 09:57:56
21 MR. CHATTERJEE: I think there's only two 21 bases for objections, there -- there would be
22 the judge also allows at this point in the 22 beyond form.
23 proceedings. 23 MR. VERHOEVEN: Are you moving to strike
24 MR. VERHOEVEN: That's not what I asked 24 -- just for clarity, Counsel, so I don't have to
25 you, but... 09:56:14 25 compare lines and pages -- 09:58:12
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1 MS. DUNN: Yes, objection and move to 09:58:15 1 Q. What -- what do you base that on? 10:00:26
2 strike lines -- 2 A. Well, he was -- he was pushing his
3 MR. VERHOEVEN: No, no, I'm just asking 3 attorney.
4 this. 4 MS. DUNN: Objection on the basis of
5 MS. DUNN: Sure. 09:58:19 5 privilege. I'm going to instruct the witness not 10:00:38
6 MR. VERHOEVEN: Are you moving to strike 6 to answer.
7 Mr. Kalanick's testimony about what he said during 7 Q. (By Mr. Verhoeven) Did he say anything
8 the meeting? 8 to you during the meeting on this subject,
9 MS. DUNN: I would have to have the 9 Mr. Levandowski?
10 court reporter read that back at this point. All I 09:58:31 10 A. Yes. 10:00:47
11 see right now is that the question on the table is 11 Q. What did he say?
12 a misstatement of Mr. Kalanick's previous 12 A. So there's -- the reason this is a little
13 testimony. 13 bit confusing or tricky for me is that there were
14 MR. VERHOEVEN: Well, that's the 14 different people in that room at different times.
15 testimony I'm talking about. 09:58:37 15 In some cases, his personal attorney; in some 10:01:07
16 MS. DUNN: Well, do you want to take the 16 cases, various attorneys from our side. So I am...
17 time to find his -- we could do that. 17 Q. When you made the statement --
18 Q. (By Mr. Verhoeven) What did you say 18 A. Right.
19 during the meeting about your concern? 19 Q. -- that you testified to earlier --
20 A. Okay. 09:58:55 20 A. Yeah. 10:01:20
21 MS. DUNN: Objection. I'm going to 21 Q. -- were there attorneys at the meeting?
22 instruct the witness not to answer on the basis of 22 A. Which statement are we talking about?
23 privilege. 23 Q. When you expressed your concern?
24 Q. (By Mr. Verhoeven) Do you remember 24 A. Concern?
25 testifying that you really, really wanted to tell 09:59:20 25 Q. About the Fifth Amendment assertion? 10:01:29
Page 86 Page 88
1 the Court whatever Mr. Levandowski had to say 09:59:23 1 A. Yeah, there were. 10:01:31
2 during that meeting? 2 Q. You said that you were -- you very, very
3 MR. CHATTERJEE: Same objections as the 3 much wanted --
4 motion to strike. 4 A. Yes.
5 THE DEPONENT: I remember being very 09:59:32 5 Q. -- to tell the story? 10:01:35
6 clear with Mr. Levandowski and with others in the 6 So I believe you said that
7 room my desire for Uber and the Court to be able to 7 Mr. Levandowski's private attorney responded to
8 get to the bottom of this and get to the facts. 8 that statement?
9 Q. (By Mr. Verhoeven) And did you express 9 A. So there were -- there was a concern --
10 that to Mr. Levandowski? 09:59:54 10 sorry. I made it clear where I stood. I know 10:01:45
11 A. Yes, I did. 11 Angela Padilla was in the room. I know that
12 Q. And what did he say? 12 Anthony was in the room.
13 MR. CHATTERJEE: Same objections. 13 At some point, we had Anthony's personal
14 THE DEPONENT: I don't remember what he 14 attorney come to the office, so we could have a --
15 said, specifically. 10:00:02 15 a -- we could get into a higher fidelity 10:02:02
16 Q. (By Mr. Verhoeven) What did he say 16 conversation, if that makes sense.
17 generally? 17 Q. Okay.
18 A. He -- he seemed to want to testify. 18 A. There are different parts of this
19 Q. Okay. Did he -- how did he express that? 19 conversation, some of it with -- so, earlier, some
20 I mean, it's hard for me to understand when you say 10:00:15 20 of it with Angela Padilla, myself, Anthony, maybe 10:02:14
21 something like, he seemed to want to. 21 others; and then later in that conversation,
22 A. Yeah. 22 Anthony's personal attorney.
23 Q. So that's why I am asking these 23 Q. Okay.
24 questions. 24 A. So it's not, I think, what you're
25 A. Yeah. 10:00:20 25 characterizing as a conversation I was having where 10:02:31
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1 a personal attorney responded, was not necessarily 10:02:35 1 to -- he wanted to have the sort of the work that 10:05:50
2 how it happened. 2 he did, so he could show that he earned that bonus.
3 But I can tell you what -- I can say 3 Q. So he admitted that he still had the
4 what -- where I was, how I generally felt and the 4 files?
5 opinions that I expressed during that discussion. 10:02:47 5 MS. DUNN: Objection to form. 10:06:35
6 Q. Okay. Before I ask you about that -- 6 THE DEPONENT: No, he did not admit that.
7 A. Yeah. 7 Q. (By Mr. Verhoeven) What files did he say
8 Q. -- I think you already testified to this, 8 he had?
9 but I'm little confused. I'm going to ask again. 9 A. He didn't say he had any files.
10 A. Okay. 10:02:58 10 Q. Did you ask him? 10:06:43
11 Q. Did you ever -- did you have any 11 A. I don't remember if we did or not. We
12 conversations with Mr. Levandowski about his 12 may have. I don't think he did, though.
13 assertion of the Fifth Amendment when there weren't 13 Q. Did you come to learn during this meeting
14 attorneys in the room, privately? 14 whether or not he still had stolen Google files?
15 A. I did not. 10:03:08 15 MS. DUNN: Objection to form. 10:07:02
16 Q. Okay. What did you -- sorry, I'm just 16 MR. CHATTERJEE: Join.
17 checking on something. I will be just one second. 17 THE DEPONENT: My -- my recollection is
18 What opinions did you express during the 18 that he did not have any Google files.
19 discussion that you just referenced to two answers 19 Q. (By Mr. Verhoeven) And what is that
20 ago? 10:04:00 20 based on? 10:07:09
21 MS. DUNN: Objection to form. 21 A. The conversation.
22 THE DEPONENT: It was really important 22 Q. Okay. So did someone say that to you?
23 for Uber to get to the bottom of the allegations 23 A. I can't remember specifically words or
24 that Waymo made. There's a lot of work we can do 24 what have you, but that's my recollection of the
25 without Anthony, but there's a lot of things that 10:04:17 25 conversation. 10:07:24
Page 90 Page 92
1 only Anthony could answer. 10:04:19 1 Q. Who did you learn -- where did that -- 10:07:24
2 It was very important for him to provide 2 withdrawn. Sorry.
3 those facts. And it was very important for him to 3 That recollection you are talking about,
4 cooperate with Uber and very important for him to 4 did somebody say something that gave you that
5 cooperate with the Court. 10:04:31 5 recollection or gave you the information that you 10:07:32
6 Q. (By Mr. Verhoeven) Okay. And what did 6 are recalling?
7 Mr. -- Mr. Levandowski was in the room when you 7 MS. DUNN: Objection to form.
8 said this, correct? 8 THE DEPONENT: I feel like that was part
9 A. Yes. 9 of the conversation, but I can't specifically
10 Q. What did he say in response? 10:04:40 10 pinpoint who said what. 10:07:43
11 A. I don't remember his specific response, 11 Q. (By Mr. Verhoeven) What did Levandowski
12 but I remember him being very willing and wanting 12 say about whether he had the files or not?
13 to go into those facts and cooperate with the 13 A. I don't -- I don't remember.
14 Court. 14 Q. Did it seem strange to you, this story he
15 Q. Did he tell you at that meeting what the 10:04:58 15 was telling about wanting to have the files to show 10:08:00
16 facts were? 16 this contribution?
17 A. Yes. 17 MS. DUNN: Objection to form.
18 Q. What did he say? 18 THE DEPONENT: It seemed unfortunate.
19 A. He -- he repeated the -- the downloading 19 Whether it was strange or not, I don't know, but it
20 while at home explanation, but also added that he 10:05:15 20 was certainly unfortunate. 10:08:16
21 was incredibly worried at the time about a very 21 Q. (By Mr. Verhoeven) Why would -- why
22 large bonus that he was supposed to get from 22 would it make sense for an employee to steal
23 Google. 23 corporate files for the purpose of showing that
24 And he felt, essentially, like Google was 24 they are entitled to a bonus?
25 going to stiff him on his bonus. And he wanted 10:05:38 25 MS. DUNN: Objection to form. 10:08:28
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1 MR. CHATTERJEE: Join. 10:08:29 1 hypothetical, I would agree, yes. 10:10:14
2 THE DEPONENT: I am not saying what he 2 Q. (By Mr. Verhoeven) So did you say to
3 did was smart. 3 Mr. Levandowski, that doesn't make any sense?
4 Q. (By Mr. Verhoeven) Okay. Wouldn't the 4 A. Something along those lines, yes.
5 employer just immediately not give him the bonus 10:08:39 5 Q. What do you remember saying? 10:10:25
6 once they learned that the files had been stolen? 6 A. I remember insulting his intelligence.
7 MS. DUNN: Objection to form. 7 Q. Okay. So you said something like, that's
8 THE DEPONENT: I -- I can't speak for 8 stupid, or what did you say?
9 Google on that matter. 9 A. That's pretty F'ing dumb.
10 Q. (By Mr. Verhoeven) What would you do if 10:08:50 10 Q. Okay. I appreciate you editing yourself 10:10:47
11 a top one of your engineers left and joined a 11 there.
12 competitor and called you up and said, you better 12 A. Yeah, I -- I was trying to find the way
13 give me this bonus that I'm due because I have 13 to do that.
14 taken your files? 14 Q. You were pretty pissed off?
15 MR. CHATTERJEE: Form. 10:09:05 15 A. I was more just disappointed. 10:10:58
16 MS. DUNN: Objection to form. 16 Q. What did he say.
17 THE DEPONENT: Well, first, it's not 17 You okay?
18 clear that that is what happened in this case. 18 A. Yeah, I'm okay.
19 Q. (By Mr. Verhoeven) Right. 19 Q. You want to take a break?
20 A. So I -- 10:09:12 20 A. No, no, let's keep going. 10:11:09
21 Q. But in that scenario, what you would do? 21 Q. You need some more water or anything?
22 MS. DUNN: Objection to form. 22 A. No. It's okay. I was just disappointed,
23 THE DEPONENT: I would -- 23 as you can imagine.
24 MR. CHATTERJEE: Join. 24 Q. Okay. What did he say?
25 THE DEPONENT: I would respond pretty 10:09:18 25 A. Let's see. I think he agreed. Yes. 10:11:19
Page 94 Page 96
1 seriously to that kind of discussion. 10:09:19 1 Q. But you don't recall asking if he still 10:11:28
2 Q. (By Mr. Verhoeven) What -- how -- in 2 had those files?
3 what way? 3 A. I don't recall --
4 A. I mean, it's -- there's a lot of details 4 MR. CHATTERJEE: Form.
5 beyond that, that I would have to look into in that 10:09:28 5 THE DEPONENT: -- that specific -- 10:11:32
6 particular hypothetical, but I would take that 6 that -- that specific part of that discussion. I
7 conversation very seriously and take very serious 7 do recollect coming out of that meeting feeling
8 action. 8 like he didn't have any -- that he did not have in
9 Q. It's fair to say that wouldn't increase 9 his possession any files.
10 the likelihood that you'd pay them the bonus? 10:09:37 10 Q. (By Mr. Verhoeven) Do you remember him 10:11:52
11 MS. DUNN: Objection to form. 11 saying anything else about this story that he's
12 THE DEPONENT: Look, I certainly wouldn't 12 telling you?
13 wait a year to do something about it. 13 MS. DUNN: Objection to form.
14 Q. (By Mr. Verhoeven) But in my 14 THE DEPONENT: No.
15 hypothetical, if you were presented with the fact 10:09:49 15 Q. (By Mr. Verhoeven) Did you -- he 10:12:01
16 that this -- this -- this -- excuse me. Let me 16 previously told everyone that he just had files --
17 start again. 17 had those files so he could work from home, right?
18 In my hypothetical, the fact that you 18 A. Correct.
19 were presented with stolen documents by this former 19 MR. CHATTERJEE: Form.
20 employee certainly wouldn't increase the likelihood 10:10:03 20 Q. (By Mr. Verhoeven) So what he was saying 10:12:10
21 that Uber would pay this employee the bonus? 21 now is inconsistent with what he said previously;
22 MS. DUNN: Same objection. 22 fair?
23 Q. (By Mr. Verhoeven) Is that fair? 23 MR. CHATTERJEE: Form.
24 MR. CHATTERJEE: Form. 24 MS. DUNN: Objection to form.
25 THE DEPONENT: In -- in that 10:10:13 25 THE DEPONENT: It was -- it was in 10:12:15
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1 addition to working from home and downloading 10:12:17 1 A. Correct. 10:14:57
2 files, he brought this new information, yes. 2 MS. DUNN: Objection to form.
3 Q. (By Mr. Verhoeven) So did you say, why 3 MR. CHATTERJEE: Join.
4 the heck didn't you tell us about this before? 4 Q. (By Mr. Verhoeven) But you don't recall
5 A. It was more like, why are you so F'ing -- 10:12:29 5 anyone asking him if he used the documents in 10:15:05
6 Q. Stupid. 6 connection with trying to get the bonus?
7 A. -- stupid, yeah. Because, yeah, it just 7 MS. DUNN: Same objection.
8 didn't make -- it was just not... 8 THE DEPONENT: Yeah, I don't --
9 Q. It didn't make any sense? 9 MR. CHATTERJEE: Join.
10 A. Yeah. It -- it -- it felt like he was so 10:12:51 10 THE DEPONENT: I don't remember a 10:15:12
11 insecure about this bonus that he started doing 11 specific part of a dialogue like that, but I
12 irrational things. 12 certainly --
13 Q. Did you ask him? You know, did you 13 Say that question one more time. I want
14 explain that this seemed irrational and asked him 14 to make sure I get it right.
15 why he did it? 10:13:06 15 (Discussion off the stenographic record.) 10:15:37
16 MR. CHATTERJEE: Form. 16 Q. (By Mr. Verhoeven) So the question was:
17 MS. DUNN: Form. 17 You don't recall anyone asking him if he used the
18 THE DEPONENT: I remember something along 18 documents, the stolen documents, in connection with
19 those lines. I can't say the specifics words, but 19 trying to get his bonus?
20 he didn't have -- he didn't have a really -- I -- I 10:13:22 20 MR. CHATTERJEE: Form. 10:15:53
21 think he realized how dumb it was, too. 21 MS. DUNN: Form.
22 Q. (By Mr. Verhoeven) Do you remember what 22 THE DEPONENT: So I don't recollect that,
23 he said -- how he expressed that? 23 like -- I don't recollect the conversation or a
24 A. It was more just acknowledging my point, 24 specific part of a question answered like that.
25 almost as if it were a rhetorical question. 10:13:35 25 I remember coming away from it feeling 10:16:03
Page 98 Page 100
1 Q. Did you ask him any questions about, 10:13:43 1 like he got his bonus and didn't have to have that 10:16:07
2 well, what did he do with these files? Did he use 2 kind of conversation or...
3 them to get his bonus? 3 Q. (By Mr. Verhoeven) But for the record,
4 MS. DUNN: Objection to form. 4 you don't remember anything more specific than
5 MR. CHATTERJEE: Join. 10:14:00 5 that? 10:16:19
6 THE DEPONENT: Not -- it was -- it was 6 A. That's correct.
7 more like he -- he had a moment of insecurity and 7 Q. Okay. Did you consider what he did to be
8 just did something dumb. 8 illegal?
9 Q. (By Mr. Verhoeven) Did you ask him 9 MS. DUNN: Objection.
10 whether he told Google about these files, since he 10:14:13 10 MR. CHATTERJEE: Form. 10:16:25
11 took them for the purpose of showing his 11 MS. DUNN: Form.
12 contributions in order to get a bonus? 12 Q. (By Mr. Verhoeven) Taking the documents?
13 MR. CHATTERJEE: Form. 13 A. In that discussion, I was starting to
14 THE DEPONENT: I don't rem- -- 14 learn what the law -- what is the law around these
15 MS. DUNN: Form. 10:14:28 15 things. 10:16:35
16 THE DEPONENT: I don't remember whether 16 Q. Did you consider it improper?
17 that specific question was asked, but I remember 17 A. Yes.
18 feeling like that conversation with Google never 18 MR. CHATTERJEE: Form.
19 happened, that -- I feel like he got his bonus, 19 MS. DUNN: Objection. Form.
20 is -- is my recollection of how that conversation 10:14:45 20 THE DEPONENT: Yes. 10:16:39
21 went. 21 Q. (By Mr. Verhoeven) Why didn't you fire
22 Q. (By Mr. Verhoeven) Fair to say you came 22 him then?
23 away with the impression that he didn't need to use 23 A. I was really hopeful that he would
24 those documents or didn't disclose those documents 24 cooperate and tell the Court the facts of the
25 in connection with getting his bonus? 10:14:55 25 matter, cooperate with our investigation. And that 10:17:02
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1 was part of what this discussion was about, was 10:17:05 1 THE DEPONENT: I mean, the whole 10:19:40
2 just make the declaration, testify. 2 conversation was basically about the nuances of
3 And it may be that I was holding onto 3 pleading the Fifth, privilege, you know, legal
4 that possibility, trying to -- trying to get him to 4 things that I didn't always understand. But -- but
5 cooperate with the Court, with our investigation 10:17:26 5 for me just felt so straightforward, and was 10:20:03
6 internally. 6 obviously disappointed.
7 And, you know, it was F'ing stupid. It 7 Q. (By Mr. Verhoeven) Did he or his
8 was -- it -- it -- yeah. It it just felt like if 8 attorneys say why he was -- he was asserting the
9 he could -- if he could just say what he did and 9 Fifth?
10 why, and that -- if you just cooperate, that would 10:17:55 10 MS. DUNN: Objection to form. 10:20:12
11 have been great. 11 MR. CHATTERJEE: Join.
12 Q. Is the reason you didn't fire him because 12 THE DEPONENT: Yes.
13 you still wanted him to cooperate in the defense of 13 Q. (By Mr. Verhoeven) What did they say?
14 the case? 14 MS. DUNN: Objection. I'm going to
15 MS. DUNN: Objection to form. 10:18:05 15 instruct the witness not to answer. 10:20:21
16 THE DEPONENT: I wanted to him cooperate 16 MR. VERHOEVEN: He waived the
17 with the Court and the Court's order. 17 attorney-client privilege.
18 Q. (By Mr. Verhoeven) Did you feel that 18 MS. DUNN: That's not true. The
19 fire -- firing him would make him less likely to do 19 witness --
20 that? 10:18:15 20 MR. VERHOEVEN: I'm going to move to 10:20:31
21 MS. DUNN: Objection to form. 21 compel, so you know.
22 THE DEPONENT: I didn't feel that 22 MS. DUNN: So I make my record, the
23 specifically, no. 23 witness has explained that there wasn't one
24 Q. (By Mr. Verhoeven) But you understood at 24 meeting --
25 that meeting that, in fact, Mr. Levandowski 10:18:31 25 MR. VERHOEVEN: I don't need -- I don't 10:20:35
Page 102 Page 104
1 intended to just -- was going to assert the 10:18:33 1 need you to coach the witness. 10:20:36
2 Fifth Amendment, correct? 2 MS. DUNN: I am not.
3 A. We -- we understood -- I understood from 3 MR. VERHOEVEN: Okay.
4 that meeting that it was likely. And I -- and I 4 MS. DUNN: He's already testified to
5 think I held hope -- held onto hope that either he 10:18:44 5 this. 10:20:40
6 wouldn't or that we could eventually get him to 6 MR. VERHOEVEN: I don't need you to talk
7 not. 7 about what the witness has said.
8 Q. Okay. But you were told that he would at 8 All right?
9 that meeting? 9 MS. DUNN: Charlie.
10 A. We were told that he most likely would, 10:18:56 10 MR. VERHOEVEN: You got a legal 10:20:44
11 yes. 11 objection, put it on the record.
12 Q. Okay. And was that before he actually 12 MS. DUNN: I would like to get my record.
13 did assert the Fifth Amendment? 13 MR. VERHOEVEN: No. I strongly object to
14 A. I think so. 14 you coaching the witness. You're prohibited from
15 MS. DUNN: Objection to form. 10:19:04 15 doing so by Judge Alsup's orders. 10:20:52
16 Q. (By Mr. Verhoeven) How soon? 16 MS. DUNN: And I am not --
17 MR. CHATTERJEE: Join. 17 MR. VERHOEVEN: You can object to the
18 THE DEPONENT: It felt very close to the 18 form or you can assert to attorney-client
19 timing. I don't know exactly, but it felt very 19 privilege. If you want to say something in a brief
20 close. 10:19:13 20 later, that's fine. 10:21:00
21 Q. (By Mr. Verhoeven) Do you recall anyone 21 MS. HAAG: I can walk out with
22 else at the meeting saying anything about this new 22 Mr. Kalanick, if you would like me to. You can
23 story that he told? 23 make a record outside of his presence.
24 MS. DUNN: Objection to form. 24 MR. VERHOEVEN: That's perfectly fine
25 MR. CHATTERJEE: Join. 10:19:39 25 with me. 10:21:15
Page 103 Page 105
1 about a conversation that he had with 10:21:57 1 Q. And you knew that he was working on those 10:37:17
2 Mr. Levandowski. 2 same areas at Uber, right?
3 And it remains unestablished who also was 3 MS. DUNN: Form.
4 in the room during that conversation. And Counsel 4 MR. CHATTERJEE: Form.
5 is asking him about other conversations that he had 10:22:08 5 THE DEPONENT: I would disagree with 10:37:25
6 that he's testified to. 6 that. It's just -- the kind of work that he was
7 So we -- the conversation that 7 doing at Uber was different.
8 Mr. Kalanick has just testified to where 8 Q. (By Mr. Verhoeven) How so?
9 Mr. Levandowski explained to him the reason for the 9 A. Because he was overseeing a really large
10 downloading is not a privileged conversation. 10:22:26 10 division, like several hundred to even maybe a 10:37:36
11 There were other conversations in that 11 thousand people and overseeing large parts, like --
12 same night that are privileged. And so we are 12 a vast majority of which was not related to what he
13 waiving no privileges, but we maintain the 13 was doing before.
14 privilege over the conversations that were 14 Q. He was overseeing all of your AV research
15 privileged. 10:22:39 15 and development? 10:37:51
16 And the conversation that Mr. Kalanick 16 A. Correct.
17 has just testified to is not privileged. 17 Q. And his work when he was at Google
18 MR. VERHOEVEN: I obviously disagree with 18 concerned AV, right?
19 virtually everything you just said. 19 A. My understanding was, his work was very
20 MS. DUNN: I assumed you would. 10:22:52 20 focused on the hardware and sensor side of things 10:38:02
21 MR. VERHOEVEN: The record -- record will 21 at his previous employer, yeah.
22 speak for itself. 22 Q. In the AV area?
23 MS. DUNN: Well, I'm sure we'll do more 23 A. Correct, yes.
24 speaking on this topic. 24 Q. Okay. And you -- your understanding was
25 THE VIDEOGRAPHER: Going off the record. 10:24:47 25 focused on the -- I am sorry, the hardware and 10:38:16
Page 107 Page 109
1 did -- to your knowledge, did you or anyone else 10:39:02 1 Q. I am not trying to suggest you should 10:41:28
2 attempt to determine what the content of those 2 know. I'm just trying to understand what you do
3 documents that he talked about were? 3 know.
4 MS. DUNN: Form. 4 A. Yeah. So I depend on my people to do
5 MR. CHATTERJEE: Form. 10:39:13 5 those things. 10:41:35
6 THE DEPONENT: The -- the general 6 Q. Right.
7 understanding I had coming out of that discussion 7 So did you talk to anyone who wasn't an
8 was that he did not possess any of these files. 8 attorney about this investigation? Did you
9 Q. (By Mr. Verhoeven) Regardless of whether 9 instruct anyone, or was it all through the
10 he possessed them or not, do you recall whether you 10:39:26 10 attorneys? 10:41:44
11 or Uber attempted to learn what the subject matter 11 A. It was all through the attorneys.
12 of the information contained in those documents 12 Q. And did you -- when you talk about the
13 was? 13 inspections there, did you know that those
14 MS. DUNN: Form. 14 inspections were Court ordered?
15 THE DEPONENT: No. 10:39:37 15 A. The inspections where Waymo people came 10:41:57
16 Q. (By Mr. Verhoeven) Okay. Given that you 16 to Uber's offices?
17 knew he worked on lidar, the hardware and sensors, 17 Q. Yes.
18 at -- whether it was at Google -- 18 A. Yes.
19 A. No. 19 Q. Okay. What was your understanding of the
20 Q. -- why didn't you make sure that he 10:39:53 20 order? 10:42:04
21 didn't have any input at this point in time at Uber 21 A. I mean, I don't have an overall
22 with regard to those same technological areas? 22 understanding of the order. I mean, I know that --
23 MS. DUNN: Form. 23 I know certain parts of it, but I don't -- I don't
24 MR. CHATTERJEE: Form. 24 know the details of it.
25 THE DEPONENT: I mean, I -- my belief is, 10:40:09 25 Q. How did you learn about the inspections? 10:42:16
Page 111 Page 113
1 And verify if -- if we -- all the 10:43:40 1 Q. (By Mr. Verhoeven) Okay. Do you 10:46:14
2 information we got is that they hadn't, let's 2 remember any conversation you had with
3 verify that. Let's make sure. And prior to the 3 Mr. Levandowski about his taking the Fifth other
4 bonus explanation or pleading the Fifth, we had 4 than what you've already testified to?
5 already done a huge amount of work to verify that 10:43:55 5 A. Other than attorneys being in the room, 10:46:25
6 that was the case. 6 no.
7 Q. So I think my question was directed to 7 Q. So after he took the Fifth, you don't
8 you and what you did and -- 8 remember -- going forward in time -- having any
9 A. And -- 9 conversations with him about him taking the Fifth
10 Q. Let me just ask the question. 10:44:15 10 or taking any documents? 10:46:35
11 So after you learned the bonus 11 MS. DUNN: Objection to form.
12 explanation, did you personally do anything in 12 THE DEPONENT: I don't remember. I don't
13 addition to what your attorneys were doing as a 13 remember any specific conversation to that -- in --
14 result of that? 14 in that regard.
15 MR. CHATTERJEE: Form. 10:44:31 15 Q. (By Mr. Verhoeven) How about generally? 10:46:43
16 MS. DUNN: Form. 16 A. Again, like, there may have been -- there
17 THE DEPONENT: I am trying to remember 17 may have been something with an attorney in the
18 anything specifically. I don't know if anything 18 room, but not outside.
19 specific comes to mind on that front, simply 19 Q. Once you learned that he had taken the
20 because there was already such a very serious and 10:44:43 20 Fifth in open court, at that point, why didn't you 10:46:56
21 broad and -- just effort with huge resources put to 21 fire him? I mean, you said before --
22 it to -- to -- along those lines. 22 A. Yeah.
23 Q. (By Mr. Verhoeven) Once you learned from 23 Q. -- you hoped he wouldn't, but then he
24 Mr. Levandowski himself about the bonus 24 did.
25 explanation, why didn't you fire him? 10:45:00 25 So at that point, why didn't you fire 10:47:07
Page 115 Page 117
1 personally don't believe he should have. 10:48:25 1 MR. VERHOEVEN: I withdraw the question. 10:50:20
2 Q. (By Mr. Verhoeven) What's your 2 If you want to answer yes or no, I don't want a
3 understanding of why he did it? 3 speech.
4 MS. DUNN: Form. 4 Q. (By Mr. Verhoeven) Let me just repeat
5 MR. CHATTERJEE: Join. 10:48:35 5 it, so the record is clear. 10:50:29
6 THE DEPONENT: My understanding -- 6 I'm just asking you, yes or no, not what
7 MS. DUNN: Wait -- sorry. 7 was said or anything like that, and the question
8 Q. (By Mr. Verhoeven) You can answer the 8 is: Did Mr. Levandowski personally express to
9 question. 9 you -- did he say to you why he was concerned about
10 A. My understanding is that he got advice 10:48:40 10 being criminally prosecuted? 10:50:44
11 from his counsel to take -- to plead the Fifth. 11 MS. DUNN: Objection to form.
12 Q. And what -- for what reason? 12 MR. CHATTERJEE: Join.
13 MS. DUNN: I'm going to caution the 13 THE DEPONENT: Not -- probably not
14 witness not to answer anything that he knows solely 14 specifically the way you have put that question.
15 from meetings with Mr. Levandowski and his counsel. 10:48:58 15 There were -- 10:51:00
16 THE DEPONENT: I think in -- I guess what 16 Q. (By Mr. Verhoeven) Did he say it
17 I could say is, in an abundance of caution. 17 generally to you?
18 Q. (By Mr. Verhoeven) Did Mr. Levandowski 18 A. Say what generally? Like --
19 tell you he was concerned about being criminally 19 Q. What his concern was for why he's
20 prosecuted for what he did? 10:49:17 20 asserting the Fifth Amendment. 10:51:06
21 A. I think he expressed his lawyer's concern 21 A. I think his attorney spoke to that.
22 over that. 22 Q. Did -- so my question is: Did
23 Q. What did he say? 23 Mr. Levandowski --
24 MS. DUNN: I'm going to caution the 24 A. I don't --
25 witness not to answer anything he knows solely from 10:49:30 25 Q. -- say to you -- 10:51:18
Page 119 Page 121
1 privilege, and the witness is instructed not to 10:56:54 1 at the point in time when the recommendation -- 10:59:28
2 answer if it's only something he can answer based 2 A. Yeah.
3 on communications with counsel. 3 Q. -- was made about LiDAR.
4 THE DEPONENT: I can't answer that 4 A. Oh.
5 question. 10:57:01 5 Q. And the answer is the same? 10:59:36
6 Q. (By Mr. Verhoeven) So your lawyers made 6 At the point in time --
7 the recommendation? 7 A. Yeah, these -- well, there wasn't that
8 A. I cannot speak to that question. 8 much time between taking him off of LiDAR and when
9 Q. Do you have an understanding as to why 9 we ultimately made the decision to terminate him.
10 the recommendation was made? 10:57:26 10 There was not many days between that, between those 10:59:49
11 MS. DUNN: Same instruction. 11 two.
12 THE DEPONENT: I can't answer that 12 Q. Okay. But just for the record -- I don't
13 question. 13 know what that means. You have to tell me. So
14 Q. (By Mr. Verhoeven) Were there any other 14 just for the record, the point in time I'm talking
15 recommendations made? 10:57:40 15 about is the point in time in which -- 11:00:03
16 MS. DUNN: Same objection and 16 A. Yeah.
17 instruction. 17 Q. -- you approved the recommendation to
18 MR. VERHOEVEN: On the basis of 18 remove him from LiDAR --
19 privilege? 19 A. Yeah.
20 MS. DUNN: Yes. 10:57:47 20 Q. -- before the preliminary injunction 11:00:11
21 Q. (By Mr. Verhoeven) So why didn't you 21 issued.
22 fire Mr. Levandowski at that point in time -- 22 Are you with me there?
23 MS. DUNN: Objection to form. 23 A. Yeah.
24 Q. (By Mr. Verhoeven) -- when this 24 Q. And my question was at that point in
25 recommendation was made? 10:58:03 25 time. 11:00:18
Page 127 Page 129
1 board member outside of the regular meetings? 11:05:45 1 Q. Okay. Can you describe to me, generally, 11:08:26
2 A. I can't remember any specific 2 the circumstances of -- of that discussion in
3 conversation. I don't know for sure. I can't say 3 December of 2015?
4 for sure it didn't, but I don't -- I can't recall a 4 A. So, I mean, late December 2015, I started
5 specific conversation. 11:06:00 5 getting brought into conversations that various 11:08:52
6 Q. Okay. What was the nature of the board's 6 other members of my team were having with him, and
7 involvement in the decision to fire 7 I don't know if other members of his team. And I
8 Mr. Levandowski? 8 would get brought into those meetings on occasion
9 MS. DUNN: Same instruction to the 9 by late December.
10 witness. 11:06:32 10 Q. Did Uber approach Mr. Levandowski on this 11:09:09
11 THE DEPONENT: I can't answer. 11 subject?
12 Q. (By Mr. Verhoeven) So was there -- I 12 A. I am not sure. I am not sure how the
13 think you said they made their opinions known 13 conversation started.
14 earlier -- 14 Q. And you are not sure whether Levandowski
15 A. Yeah. 11:06:43 15 approached Uber or Uber approached Levandowski? 11:09:20
16 Q. -- in connection with the firing issue, 16 A. Yeah, I don't know.
17 right? 17 Q. You weren't personally recruiting him?
18 A. Yes. 18 A. Not when we started talking to him, no.
19 Q. Okay. So you are testifying that that 19 Q. Okay. Who were these other people
20 was in a meeting with counsel that they made their 11:06:49 20 that -- that brought you into the conversation? 11:09:34
21 opinions known? 21 A. So there was Jeff Holden,
22 A. Yes. 22 Brian McClendon. There may have been others. I
23 Q. Okay. 23 can't remember.
24 A. Or sometimes -- 24 Q. What did they say about it to you once
25 MS. DUNN: I don't -- 11:06:59 25 they brought you in? 11:09:56
Page 135 Page 137
1 Carnegie Mellon people already working in 11:11:03 1 conversations prior to him leaving Google about him 11:13:19
2 Pittsburgh at that time? 2 possibly joining you?
3 A. Yeah, it was -- it was a mix of folks who 3 MS. DUNN: Form.
4 had worked for, like, a military contractor, or 4 THE DEPONENT: I don't know if that's
5 some folks from CMU, some folks from -- from a lab. 11:11:14 5 fair to say. 11:13:28
6 But they had been working for a year at that point, 6 Q. (By Mr. Verhoeven) Okay. Have you had
7 close to it. 7 any? Did you have any?
8 Q. Was there any member of the Pittsburgh 8 A. Prior to him leaving? Maybe. Maybe. I
9 team that was also in that group that brought you 9 don't know for sure.
10 in the first time about Mr. Levandowski? 11:11:30 10 Q. You don't remember having one-on-one 11:13:37
11 A. I don't know for sure. There may have 11 conversations with him before he decided to leave?
12 been. I don't know. 12 A. Like, I am trying to place, like, the --
13 Q. You can't think of one, though? 13 the -- like when, generally, he left and when,
14 A. I -- I don't know who was specifically in 14 generally, we started spending more time together.
15 the meeting when I first met him. 11:11:45 15 And my -- my general recollection is that 11:13:52
16 Q. Okay. Did -- did the folks that you 16 the time -- when we started spending more and more
17 brought in explain why they thought it would be a 17 time was as we were, like, really starting to work
18 good move to hire Mr. Levandowski? 18 on getting the deal done.
19 MS. DUNN: Form. 19 So, for me, that feels like February and
20 THE DEPONENT: I think when we first 11:12:06 20 March is when we started spending more time 11:14:13
21 started discussions, it wasn't clear, like, were we 21 together, and really even past that is when I think
22 going to hire him, or were we going to partner, 22 it got -- is, you know, when we really started
23 what -- what -- what we were going to do. 23 spending time. But in the early days, I was
24 Q. (By Mr. Verhoeven) Okay. But they 24 brought into meetings that existed.
25 suggested you meet him? 11:12:19 25 Q. Okay. So who was driving the train 11:14:36
Page 139 Page 141
1 Q. (By Mr. Verhoeven) Okay. Do you 11:15:36 1 with his lawyers, with the company's lawyers. 11:18:12
2 remember what your initial input was, generally? 2 THE DEPONENT: I can't answer that.
3 A. No, it was probably just sort of opinions 3 Q. (By Mr. Verhoeven) Were you involved in
4 on different options and probably just exploratory. 4 any way in the decision to hire forensic -- an
5 I don't know if I had a strong -- like, a strong 11:15:48 5 independent forensic firm to do an investigation of 11:18:24
6 opinion one way or the other in early meetings. 6 certain diligence to employees in connection with
7 Q. Did there come a time when you started to 7 the transaction that you did with Ottomotto?
8 have an opinion that was more formed? 8 A. No.
9 A. Probably. 9 Q. Were you aware of it?
10 Q. Yeah. Do you remember, roughly, when 11:16:04 10 A. Yes. 11:18:43
11 that was? 11 Q. When was the first time you became aware
12 A. For me, it feels like teams 12 of it?
13 early/mid-January. 13 A. I am not sure the -- the first time, but
14 Q. Of what year? 14 it feels like the March timeframe, march 2016.
15 A. 2016. 11:16:14 15 Q. And how did you become aware of it? 11:18:57
16 Q. Okay. Do you remember if it was before 16 A. Probably with a conversation with an
17 or after Mr. Levandowski left Google? 17 attorney.
18 A. Well, if it was early/mid-January, I 18 Q. Okay. What was your understanding of the
19 mean, that -- it's possible it was when he was 19 reason why it was being done?
20 still at Google. 11:16:30 20 MS. DUNN: I will caution the witness not 11:19:09
21 Q. Do you remember any conversations that 21 to answer to the extent he only knows this based on
22 you had personally with Mr. Levandowski before he 22 conversations with attorneys for the company.
23 left Google? 23 THE DEPONENT: She's answered for me.
24 A. I mean, I just have a general 24 Q. (By Mr. Verhoeven) So you -- you can't
25 recollection of the kinds of conversations that 11:16:44 25 answer -- it was all -- your understanding is 11:19:22
Page 143 Page 145
1 Q. I will just show it, so there's no 11:32:03 1 this right now? 11:34:16
2 ambiguity. I guess that's the safest thing to do. 2 Q. (By Mr. Verhoeven) No.
3 While they're looking for that, I will 3 Does this refresh your recollection -- I
4 keep asking you questions. 4 think you signed it. You might as well check that.
5 A. Okay. 11:32:26 5 MR. CHATTERJEE: Do you have another 11:34:26
6 Q. Did you know that the Stroz investigation 6 copy, Charlie?
7 was investigating, in part at least, the subject of 7 Q. (By Mr. Verhoeven) Is that your
8 bad acts by the diligence employees? 8 signature?
9 MR. CHATTERJEE: Form. 9 A. That is, yeah.
10 MS. DUNN: Form. 11:32:42 10 Q. Does this refresh your recollection of -- 11:34:36
11 THE DEPONENT: I don't know what you're 11 A. Well, I mean it says, "Agreement and Plan
12 specifically referring to. 12 Merger."
13 Q. (By Mr. Verhoeven) Do you remember 13 Q. Okay. Let's call it that.
14 seeing any documents referring to bad acts 14 A. Yeah.
15 associated with this transaction? 11:32:57 15 Q. That's what I was referring to. 11:34:44
16 A. I do not. 16 A. Okay. I mean, I haven't -- I mean, I --
17 MR. CHATTERJEE: Same objection. 17 I have not read this document, but -- but certainly
18 Q. (By Mr. Verhoeven) Did you read any 18 have -- you know, I see my signature on it, so yes.
19 agreements that talked about bad acts in connection 19 Q. Did you read it before you signed it?
20 with this transaction? 11:33:03 20 A. No. No. I was certainly briefed on it, 11:34:59
21 A. No. 21 though.
22 MS. DUNN: Form. 22 Q. Did your briefing include anything about
23 Q. (By Mr. Verhoeven) Did your counsel tell 23 bad acts?
24 you about bad acts associated with this 24 A. I don't recall anything like that.
25 transaction? 11:33:14 25 Q. Did it include anything about a Stroz 11:35:11
Page 151 Page 153
1 Did they give it back to you? 11:40:13 1 Q. "Few" meaning two, three -- 11:41:52
2 A. Yes, they did. 2 A. Something like that. I don't know the
3 Q. Okay. So what was the period of time 3 exact.
4 between -- 4 Q. Okay.
5 A. Yeah. 11:40:16 5 A. I'm sure the attorneys can figure that 11:42:08
6 Q. -- when you gave it and they gave it back 6 out when that happened.
7 to you? 7 Q. All right. You ready for documents?
8 A. Hours. 8 A. Let's do it.
9 Q. Hours? 9 (Discussion off the stenographic record.)
10 A. Yeah. 11:40:20 10 Q. (By Mr. Verhoeven) A good question I 11:42:55
11 Q. Okay. What was your understanding of 11 forgot to ask --
12 what they were doing with your cell phone? 12 A. Yeah.
13 A. They were getting all of the text 13 Q. -- is, have you exchanged any texts with
14 messages from it. 14 Mr. Levandowski since your phone has been returned
15 Q. Okay. 11:40:32 15 to you? 11:43:02
16 A. Specific to what they needed. 16 A. No.
17 Q. And this -- you got your cell phone back 17 Q. Okay. I'm going to try to shorten this
18 months ago? 18 based on your answers, so there may be some pauses.
19 A. Yes. 19 I apologize for that.
20 Q. Okay. Did you have any discussions with 11:40:43 20 You've already answered a lot of my 11:43:19
21 anybody after that point in time about what was on 21 questions, and so --
22 your cell phone? 22 A. That's nice of you.
23 A. I mean, only with attorneys. 23 Q. -- I apologize for that.
24 Q. Did you have discussions with attorneys 24 A. That's all right. Apology accepted.
25 about what was on your cell phone? 11:40:55 25 Q. Do you think that -- is it your belief 11:43:36
Page 159 Page 161
1 connection with the deal with Mr. Levandowski? 11:50:33 1 Do you see that? 11:52:32
2 A. I mean, I don't remember specifically. 2 A. I do.
3 No. I can't say it didn't happen, I just don't 3 Q. Okay. Do you remember having a meeting
4 remember. 4 in or about December 22 of 2015 where there was a
5 Q. Do you remember talking about wanting 11:50:48 5 discussion about a deal with AL, Mr. Levandowski, 11:52:41
6 something related to source? 6 that you attended?
7 A. No. 7 A. I mean, I don't remember the specific
8 Q. What does source mean, in your opinion? 8 meeting.
9 A. I -- I don't know. 9 I mean, I'm sure you could ask John about
10 Q. You don't know what Mr. Bares meant by 11:50:57 10 this. 11:53:11
11 that? 11 Q. I know. I'm just trying to --
12 A. No. It could be that -- I mean, there's 12 A. Yeah.
13 a lot of -- I could speculate as what he meant, but 13 Q. -- get what your understanding is and
14 I don't know what he meant. 14 what your recollection is.
15 Q. What do you think -- I mean, if you were 11:51:08 15 A. Yeah. I don't really have much. 11:53:15
16 asked, what do you think he meant? 16 Q. So this document doesn't refresh your
17 MS. DUNN: Form. 17 recollection?
18 THE DEPONENT: I mean, it could be 18 A. No.
19 that -- I just don't know, what is the timing of 19 Q. Doesn't trigger anything in your memory?
20 this -- what is the timing of this note? Like when 11:51:16 20 A. No, but I -- I do like, "He is very 11:53:21
21 was this note made? 21 focused and unstoppable about getting things done."
22 Q. (By Mr. Verhoeven) I will represent to 22 I like that part.
23 you it was -- 23 Q. You like it, but you don't remember.
24 A. Yeah. 24 A. No, but I definitely like that. If it's
25 Q. -- December 22 -- 11:51:22 25 talking about me, I'm -- I'm excited. 11:53:33
Page 167 Page 169
1 MS. DUNN: Form. 11:54:29 1 hiring the best talent, and much of the best talent 11:57:00
2 THE DEPONENT: I don't remember -- I 2 was at Google, for sure.
3 mean, no. I don't -- I don't specifically remember 3 Q. And do you remember that Uber and you
4 a discussion about that. 4 wanted to hire as many good people as possible from
5 But I think your question said December 11:54:40 5 Google as part of this deal? 11:57:10
6 and -- 6 MS. DUNN: Form.
7 Q. (By Mr. Verhoeven) Yeah, 7 THE DEPONENT: I don't -- I'm not sure it
8 December 22, 2015. 8 was part of this deal, but we were generally
9 A. Okay. Yeah. No, I don't remember that, 9 interested and continue to be interested -- very
10 no. 11:54:48 10 interested in hiring as many great scientists and 11:57:20
11 Q. Do you remember you generally having 11 engineers from Google as possible -- as is
12 discussions about a possible deal with 12 possible. And we have been very successful in
13 Mr. Levandowski in December of 2015? 13 doing that.
14 A. I remember deal -- sort of deal 14 Q. (By Mr. Verhoeven) Do you remember
15 discussions more in the January time frame. 11:55:04 15 discussions with Mr. Levandowski about targeting 11:57:33
16 Q. Did -- so you -- could they have happened 16 Google employees in the AV area, for him to bring
17 in December as well? 17 with him or recruit after he came over to you?
18 A. It's possible. 18 MS. DUNN: Form.
19 Q. Well, doesn't this document show it? 19 THE DEPONENT: I remember discussions
20 A. I don't know what the hell this document 11:55:23 20 about how we should best go about hiring the great 11:57:47
21 is. 21 talent at Google, and figuring out what are the
22 Q. Okay. If you turn the page. 22 best ways to do that while staying within certain
23 A. Okay. All right. 23 legal constructs.
24 Q. And if you look -- just for the record, 24 Q. (By Mr. Verhoeven) And when -- this is
25 page 323. 11:55:41 25 with Mr. Levandowski, these discussions? 11:58:04
Page 171 Page 173
1 how do we make it a reality for them to come to a 11:59:01 1 Google. It was about great talent in the space, 12:01:25
2 place which we feel is sort of more commercially 2 period, coming from all the companies that are
3 oriented, more sort of just works harder, you know, 3 working on it.
4 just a better environment to innovate in the space. 4 Q. (By Mr. Verhoeven) But you don't
5 Q. (By Mr. Verhoeven) Do you remember any 11:59:21 5 remember having discussions about Mr. Levandowski 12:01:32
6 discussion about compensation to Levandowski in 6 hiring as many people as he could from Google's AV
7 this potential deal being based on how many Google 7 space after he came over?
8 folks in the AV space he was successful in hiring 8 MS. DUNN: Objection to form.
9 away? 9 MR. CHATTERJEE: Join.
10 MR. CHATTERJEE: Form. 11:59:41 10 THE DEPONENT: Generally, we wanted to 12:01:47
11 MS. DUNN: Objection to form. 11 recruit as many great Google employees as we
12 THE DEPONENT: I don't remember that 12 possibly could.
13 being tied to the deal. It may have been, but I 13 We needed to figure out what were the
14 don't remember that. 14 right processes to do that, but we were very
15 I don't remember it being in milestones 11:59:49 15 excited about somebody -- having somebody on our 12:02:00
16 that we ended up with. 16 team who was a visionary in the space who could
17 But I do know that we were depend- -- for 17 attract that great talent.
18 him to -- to come across in an ultimate deal, we 18 Q. (By Mr. Verhoeven) Okay. But do you
19 were interested in his sense of who the great 19 remember having any -- my question was, do you
20 people were and how we could recruit them to come 12:00:10 20 remember having any conversations about it? 12:02:15
21 across. 21 A. I would say -- I don't remember any
22 Q. (By Mr. Verhoeven) Do you remember 22 specific conversations, but I would generally say
23 discussions asking him who the great people are 23 that -- I would acknowledge that conversations like
24 during this process? 24 that occurred.
25 MS. DUNN: Form. 12:00:23 25 Q. I direct your attention to -- back to the 12:02:32
Page 175 Page 177
1 12:03:29 1 about what we wanted. It's also about where -- you 12:05:53
2 2 know, where they are. Could -- does -- does a
3 3 partnership make sense or does going deeper make
4 . 4 sense?
5 Q. (By Mr. Verhoeven) Okay. 12:03:46 5 You know, yes, pros and cons across all 12:06:05
6 A. I don't know if that's referring to this 6 options, of course.
7 or not. 7 Q. (By Mr. Verhoeven) And why wasn't the
8 Q. Okay. And what do you remember about the 8 decision just to hire Mr. Levandowski straightaway?
9 discussion? 9 A. I mean, I would say though this was
10 I mean, what was -- what was being 12:03:54 10 technically an acquisition, it was very much like 12:06:21
11 pitched to you? 11 hiring him.
12 A. 12 Q. Okay. So --
13 13 A. Yeah.
14 14 Q. -- it was just structured as an
15 12:04:05 15 acquisition. 12:06:29
16 16 A. Yeah. It was like -- it was -- there are
17 17 different things on acquisition. You have this
18 18 thing called an acquihire. Then you have like an
19 19 acquisition of a very mature company. And there's
20 12:04:21 20 lots of stuff in between. 12:06:38
21 21 We basically were hiring him and his
22 22 team, but getting some -- like a sort of small
23 23 acquisition along with it. It was sort of -- it
24 24 was a -- it was a hybrid of the two.
25 12:04:40 25 Q. And what was the small acquisition? 12:07:01
Page 179 Page 181
1 wonderful engineers as well. But it's a two-way 12:08:21 1 plan was that he would build a company that would 12:10:17
2 street. Right? The other side, of course, has to 2 be acquired by Uber, wasn't it?
3 be excited about what they're doing. 3 MR. CHATTERJEE: Form.
4 Q. Right. 4 MS. DUNN: Form.
5 A. You know, they have to feel like they're 12:08:34 5 THE DEPONENT: Ultimately, in the April 12:10:25
6 being valued at what they're worth. 6 time frame we signed an agreement to acquire --
7 You know, a lot of -- my understanding is 7 upon certain conditions, but essentially acquire
8 a lot of Google employees had gotten very huge 8 his company. That was April, a few months after he
9 bonuses. So you're just going to have a tougher 9 had left Google.
10 time just recruiting in a situation like that. 12:08:46 10 Q. (By Mr. Verhoeven) Well, there was 12:10:39
11 Q. Okay. 11 discussion about that structure --
12 A. And that's why they went and built their 12 A. Yes.
13 company and started, because I -- they're like, 13 Q. -- way back in January, right? That
14 Well, if, you know, we're going to start building 14 was -- one of the options was --
15 something, and if you want to be -- us to be a part 12:09:00 15 A. Yeah. 12:10:47
16 of it, you're going to have to acquire it. 16 Q. -- instead of hiring him straight out, he
17 Q. I apologize. I was just talking about 17 form a company, and then after a little while you
18 the January/December time frame, but I appreciate 18 would buy the company.
19 your answer. 19 That was discussed.
20 A. No. 12:09:12 20 A. That -- that was discussed. 12:10:54
21 Q. During January and December, 21 Q. It was discussed before he left Google,
22 Mr. Levandowski was still a Google employee, 22 right?
23 right -- or a Waymo employee? 23 A. That's -- that's correct.
24 MS. DUNN: Form. 24 Q. Okay. And that's the -- there's more
25 Q. (By Mr. Verhoeven) One of the two. 12:09:20 25 specifics. But, generally, that's the structure 12:11:04
Page 183 Page 185
1 (Discussion off the stenographic record.) 12:12:13 1 Q. And the second horizontal green -- 12:15:16
2 Q. (By Mr. Verhoeven) All right. Going 2 A. Yeah.
3 back to Exhibit 366, which you're looking at, same 3 Q. -- bar --
4 page. 4 A. Yeah.
5 The last line says, quote, What about 12:13:23 5 Q. -- it says, "21 January meeting." 12:15:22
6 Google's IP, worried about stomping on this, 6 A. Yeah.
7 question mark. 7 Q. Do you see that?
8 Do you see that? 8 A. Yeah.
9 A. Yes, I do. 9 Q. And "TK" -- TK would be you, right?
10 Q. Again, this is -- these are notes that 12:13:34 10 A. Uh-huh. 12:15:28
11 Mr. Bares took in December of 2015. 11 Q. You have to say "yes" or "no."
12 Do you remember having a discussion about 12 A. Yes. Yes.
13 Google's IP in connection with the Levandowski 13 Q. And Emil, who is that?
14 transaction in or around this time? 14 A. At the time, my head of business
15 MS. DUNN: Form. 12:13:55 15 development. 12:15:34
16 THE DEPONENT: I mean, I remember 16 Q. And Cam is who?
17 generally being pretty adamant about making sure 17 A. Works for Emil, head of corporate
18 that none of Google's IP ended up at Uber. 18 development.
19 Q. (By Mr. Verhoeven) And how did that 19 Q. And just tell me the name.
20 subject come up? 12:14:07 20 A. Sorry? 12:15:42
21 A. Like if you're talking to somebody who 21 Q. Cam means -- the person's name.
22 works at a competitor, the topic naturally comes 22 A. Cameron?
23 up. I don't know specifically how it did. 23 Q. Yeah.
24 Q. Do you remember why -- if it's true, do 24 A. Yeah.
25 you remember why Uber was, quote, worried about 12:14:22 25 Q. Full name. 12:15:48
Page 187 Page 189
1 risk, minimize pain. 12:16:51 1 Q. (By Mr. Verhoeven) As of January 21, you 12:18:44
2 A. Yeah. 2 had decided that you wanted to do the deal, right?
3 Q. Close quote. 3 MS. DUNN: Form.
4 A. Yeah. 4 MR. CHATTERJEE: Form.
5 Q. Did you say that during the meeting? 12:16:57 5 THE DEPONENT: I -- I can't say for sure. 12:18:49
6 A. I don't know. I could have. I don't 6 It -- it may have been that I was super interested
7 know. 7 in doing the deal. You know, this -- this could
8 Q. You don't have any reason to believe 8 have been like -- like a green light, Hey, we're --
9 these notes are inaccurate, right? 9 we're interested in doing this, but we've got to
10 MS. DUNN: Form. 12:17:05 10 work through some legal stuff. 12:19:00
11 THE DEPONENT: I just don't -- I don't 11 So I don't know.
12 know. I didn't write them, but I'm not saying, Oh, 12 Q. (By Mr. Verhoeven) Well, setting this
13 I definitively didn't. I just don't remember. 13 down and just --
14 Q. (By Mr. Verhoeven) You told the team 14 A. Yeah.
15 that, We are going to do this deal, and tell legal, 12:17:15 15 Q. -- thinking about your memory -- 12:19:05
16 We are going to do this deal -- 16 A. Yeah.
17 A. Uh-huh. 17 Q. -- in January --
18 Q. -- period, and they needed to minimize 18 A. Yeah.
19 the risk and minimize the pain -- 19 Q. -- do you remember deciding, Hey, we want
20 MS. DUNN: Form. 12:17:26 20 to do this deal? 12:19:12
21 Q. (By Mr. Verhoeven) -- correct? 21 You don't have the structure yet.
22 MR. CHATTERJEE: Form. 22 A. Yeah.
23 THE DEPONENT: I don't know. That's 23 Q. We need to negotiate it, but I want to do
24 possible. 24 this deal.
25 Q. (By Mr. Verhoeven) What's the risk do 12:17:34 25 A. That feels right. 12:19:17
Page 191 Page 193
1 Q. Okay. You see at the top, on the left, 12:21:43 1 data is being referred to here. 12:23:57
2 it says, "TK, 4 January 2016." 2 Q. Okay.
3 A. Yeah. 3 A. I just don't know.
4 Q. And TK is -- is yourself, right? 4 Q. What are lasers?
5 A. I -- I didn't write this, but I would 12:21:56 5 A. Lasers are like a sensor that shoots 12:24:02
6 assume so. 6 beams into the world and gets a reflection back.
7 Q. Yeah. 7 Q. It's a references to LiDAR, right?
8 And AL would refer to Levandowski, right? 8 MS. DUNN: Form.
9 A. Yeah. 9 THE DEPONENT: Yeah. Yeah. Probably.
10 Q. And if you look down below the AL, to the 12:22:08 10 Q. (By Mr. Verhoeven) The second-to-last 12:24:16
11 rite of it, there's a number of sentences there. 11 line there says, quote, TK believes that lasers
12 Do you see those? 12 will be the longest pole, and we need access to
13 First one says, quote, TK met up with him 13 tech. And then it says, paren, "This part is" --
14 over the weekend and is a big fan. 14 and, let's see -- "This part is easy," close paren.
15 A. Okay. 12:22:25 15 Do you see that? 12:24:35
16 Q. Do you see that? 16 A. Yeah.
17 A. Yeah. 17 Q. Have you ever heard of something being
18 Q. Do you remember what that's referring to, 18 referred to as the longest pole?
19 meeting up with Mr. Levandowski over the weekend -- 19 A. Yeah.
20 A. I mean, I don't -- 12:22:31 20 Q. What does it -- what's your understanding 12:24:44
21 Q. -- in January? 21 of what that -- what that means when someone says
22 A. Yeah, I mean, I don't know specifics, but 22 that?
23 I don't do a deal until I'm a big fan of what -- 23 A. It means like it's going to -- like if --
24 who somebody is and what they're doing. 24 if you don't -- like -- let me give you an example.
25 Q. You met up with -- with Mr. Levandowski? 12:22:42 25 Like if it were a reference to, like, 12:24:56
Page 195 Page 197
1 start working on it, it could slow all the other 12:25:55 1 Q. Well, let me ask you -- 12:27:51
2 efforts down. 2 A. Yeah.
3 Like, you know, how to put it, it's like 3 Q. -- were you referring to Mr. Levandowski
4 you could have a car fully built, like a new Tesla, 4 in connection with that statement, "We need access
5 all the whiz, bam, awesome things that are on it, 12:26:10 5 to tech"? 12:27:57
6 but if it didn't have tires, like if you couldn't 6 MS. DUNN: Form.
7 get tires on the car, that would be your longest 7 THE DEPONENT: Well, I mean, at this time
8 pole. 8 we're looking at a bunch of different vendors of
9 Q. I see. 9 laser technology.
10 A. It doesn't necessarily mean that you're 12:26:23 10 So there's -- there's like -- there's a 12:28:05
11 going to spend all your time making tires, it may 11 company called Quanergy. There's a company called
12 even be the tires are easy. But if you don't have 12 Velodyne. There's a company called Luminar.
13 tires, your Tesla is going nowhere. And it's kind 13 We're looking at that, and getting access
14 of like that. 14 to those lasers is super important, somebody who
15 Q. Okay. So using that anal- -- using that 12:26:35 15 knows those vendors, knows the products that they 12:28:23
16 explanation -- 16 have, and what's possible, what's not.
17 A. Yeah. 17 Are they scaling their manufacturing or
18 Q. -- this sentence is saying, If you don't 18 not? How does scale manufacturing of lasers work?
19 have lasers, then you're not going to be able to -- 19 Like that's super important. So I don't
20 to have the AV vehicle. 12:26:45 20 know -- I don't know exactly what this means, but 12:28:37
21 MR. CHATTERJEE: Form. 21 it could be something like that.
22 THE DEPONENT: That -- that is for sure, 22 Q. (By Mr. Verhoeven) Well, it looks like
23 yeah. 23 this is saying, in this meeting that you're in,
24 Q. (By Mr. Verhoeven) And -- 24 that you stated, in connection with your
25 A. Well, it's not -- excuse me. It's not 12:26:50 25 discussions with Mr. Levandowski, that, We need 12:28:48
Page 199 Page 201
1 MR. CHATTERJEE: Form. 12:41:59 1 THE VIDEOGRAPHER: This marks the 01:21:15
2 THE DEPONENT: I mean, generally, he was 2 beginning of DVD No. 3 in the deposition of
3 not -- he was not okay or in any way tolerant of a 3 Travis Kalanick. Going back on the record. The
4 situation where we hired individuals. 4 time is 1:21.
5 Q. (By Mr. Verhoeven) And what did he say 12:42:08 5 (Exhibit 369 was marked for 01:21:23
6 to you about that? 6 identification by the court reporter and is
7 A. He said, I'm going to start a company. 7 attached hereto.)
8 It's going to be a trucking company. 8 MR. VERHOEVEN: I would like to mark as
9 I mean, eventually, he got there. He had 9 Exhibit 369 an email from Cameron Poetzscher?
10 a lot of different options at the beginning, a lot 12:42:17 10 A. Poetzscher. 01:21:35
11 of different areas he was exploring. 11 Q. Poetzscher?
12 And if you want -- if you want access to 12 A. Yeah.
13 this kind of talent, you're going to have to buy 13 Q. To -- Mr. Kalanick and some other folks,
14 the whole thing. Kind of all or nothing. 14 January 9th, 2016. What is "Project Dollar Sign"?
15 Q. And this was -- is it your recollection 12:42:33 15 A. I think that's referring to this project. 01:22:13
16 that -- 16 Q. Why was it called Project Dollar Sign?
17 A. Yeah. 17 A. Because I -- I started calling this -- I
18 Q. -- this was discussed in or around 18 started talking about Uber super-duper.
19 January 5th of 2016 with him? 19 Q. Uber super-duper?
20 A. I mean, this sort of describes a 12:42:41 20 A. Uber super-duper, which was U.S.D., and 01:22:37
21 structure that we would acquire, but it's -- 21 dollar sign just seemed like a more fun way of
22 it's -- it's -- it doesn't look like where we 22 doing it.
23 ultimately ended up. 23 Q. And why did you call it Uber super-duper?
24 So I don't know -- I mean, I think things 24 A. I don't know.
25 changed over time, but this is one potential thing 12:42:57 25 Q. You thought it was a super-duper deal? 01:22:49
Page 211 Page 213
1 01:29:29 1 the email on page 665 through 666, on the bottom of 01:32:27
2 Q. And that's the way you were negotiating 2 665, from Cameron, where it says,
3 with Mr. Levandowski at this time? 3 "Cameron Poetzscher wrote..."?
4 A. It -- yeah, probably. I mean, I -- I -- 4 A. Yeah. Okay. What about it?
5 my understanding, we ended up different than what 01:29:38 5 Q. If you go to the end, it says, "Jeff, I 01:32:53
6 this is sort of contemplating. But that appears to 6 think we need to do some quick work on per capita
7 be what's going on here. 7 equity for these guys versus other recent hires to
8 Q. And then if you look up to the top email 8 show them their math is wrong on not getting a
9 on page 150, that's an email from Emil Michael to 9 sufficient premium to off-the-street folks."
10 Cameron Poetzscher, and cc'ing yourself, correct? 01:29:54 10 Do you see that? 01:33:15
11 A. Yeah. 11 A. Uh-huh.
12 Q. And Emil says, "But that's" -- all caps 12 Q. That's referring to -- where it says
13 -- "a LOT of money for 25 people. A lot." 13 "them," that's referring to Mr. Levandowski and his
14 Do you see that? 14 team?
15 A. Yeah. Yeah. 01:30:08 15 A. Yeah. I mean, that seems about right. 01:33:28
16 Q. Do you remember having any discussions 16 Q. And they were demanding a premium over
17 with Mr. Michael about this payment and whether it 17 people you could just buy in the industry?
18 was too much? 18 MS. DUNN: Form.
19 A. I don't remember specific conversations, 19 THE DEPONENT: I think there's a
20 but I think also it -- it may have been a 01:30:18 20 difference between when you just hire individuals 01:33:39
21 misunderstanding of the structure of the deal 21 that come in through resumes, your job Website,
22 itself, due to a -- a misunderstanding of the 22 versus a group of people who have worked together,
23 structure of the deal. 23 you know.
24 Q. Did you have a discussion with 24 Q. (By Mr. Verhoeven) What extra value does
25 Mr. Michael about any misunderstanding he had of 01:30:32 25 that give you? 01:33:54
Page 219 Page 221
1 So we felt that it was important to move 01:35:16 1 of sniffing around, bringing on talent at, like, 01:37:23
2 fast on talent and that that was worth a premium. 2 exorbitant rates.
3 Q. (By Mr. Verhoeven) They knew what to do 3 And to be honest, if you just look at any
4 and what not to do? 4 scan of AV acquisitions or machine learning or
5 MR. CHATTERJEE: Form. 01:35:26 5 other types that are related, the kinds of 01:37:38
6 MS. DUNN: Form. 6 acquisitions and the kind of premium that the
7 THE DEPONENT: I mean, look, if I were -- 7 talent is getting right now, it's not really
8 if I were in the car manufacturing business, I 8 disputable that that's just normal.
9 would do better for myself to hire people who are 9 Q. (By Mr. Verhoeven) Why are they getting
10 in the car manufacturing business versus somebody 01:35:43 10 such a premium? 01:37:50
11 who builds toys for kids. 11 A. Because they are in high demand.
12 Right? 12 Q. Well, that begs the question: Why are
13 Q. (By Mr. Verhoeven) Right. 13 they in high demand?
14 A. Because they know they have experience 14 A. What's that?
15 doing the things that they are going to be doing. 01:35:52 15 Q. Why are they in high demand? 01:37:59
16 And that's typically how hiring works. 16 A. Because, like, there are only so many
17 Q. They would know how to proceed; whereas, 17 people who are really good at machine learning as
18 the person that was the toy manufacturer, I think 18 it relates to perception software, and there's a
19 you said, would not, correct? 19 lot more demand for those people than there is
20 A. Yeah. They just have -- 01:36:06 20 people that can do it. And so the price goes up. 01:38:18
21 MR. CHATTERJEE: Form. 21 Q. Did Mr. Levandowski's group offer a
22 MS. DUNN: Objection to form. 22 better -- higher value to you than some other group
23 THE DEPONENT: Sorry. Yeah, they have 23 in the AV industry?
24 experience in that space. And that's important. 24 MS. DUNN: Form.
25 Q. (By Mr. Verhoeven) The toy manufacturer 01:36:14 25 MR. CHATTERJEE: Form. 01:38:30
Page 223 Page 225
1 Q. Okay. And why would you want to have the 01:39:53 1 A. Oh, yeah. Yeah, I see that. 01:44:28
2 deal done as fast as possible? 2 Q. And that's a reference -- Newco is a
3 A. Deals don't happen when you take too much 3 reference to the Anthony Levandowski structure,
4 time. 4 right?
5 Q. Why? 01:40:05 5 MS. DUNN: Form. 01:44:38
6 A. I don't know. It's just a human thing. 6 THE DEPONENT: I think we just called --
7 Q. What happens to break them down if they 7 we just called the deal Newco.
8 take too long? 8 Q. (By Mr. Verhoeven) Okay. So it's a
9 MS. DUNN: Form. 9 reference to the deal with Anthony Levandowski?
10 MR. CHATTERJEE: Form. 01:40:32 10 A. Yeah. 01:44:45
11 THE DEPONENT: They maybe get an offer 11 Q. Okay. And at the bottom, it says,
12 from another -- from another company that's 12
13 interested in them. Maybe they lose interest in 13
14 working with you. Maybe they think that you are 14 Do you see that?
15 not interested. I mean, it could be a whole host 01:40:39 15 A. Yeah. 01:44:58
16 of reasons. 16 Q. So what -- that's referring to
17 Q. (By Mr. Verhoeven) You can put that 17
18 exhibit away. 18 A. Yeah.
19 MR. VERHOEVEN: I would like to mark as 19 Q.
20 Exhibit 372 an email string bearing Control Numbers 01:41:08 20 01:45:10
21 Uber 63618 to 622. 21
22 (Exhibit 372 was marked for 22 A. I think it's that; plus, they need to hit
23 identification by the court reporter and is 23 milestones.
24 attached hereto.) 24 Q. Okay. At this point, the milestones are
25 Q. (By Mr. Verhoeven) Again, this is a 01:41:41 25 agreed, according to this document, correct? 01:45:23
Page 227 Page 229
1 A. I don't remember. He's always been 01:46:23 1 THE DEPONENT: Yeah. Either they get 01:48:33
2 referred to as Salesky. I've never met him in 2 upset, or they get -- they find ways to retain
3 person. 3 those people versus them moving to another company.
4 Q. Okay. 4 Q. (By Mr. Verhoeven) And at the bottom, it
5 A. But he has his own autonomy start-up. He 01:46:30 5 says, "I am quite worried about what he may say to 01:48:46
6 used to work for Google. 6 Larry."
7 Q. I see. 7 Do you see that?
8 A. Yeah. And he was talking -- there were 8 A. Yeah, I do.
9 some conversations, if I understand -- I never met 9 Q. That's a reference to Larry Page?
10 him -- but there were some conversations between 01:46:46 10 A. Likely. 01:48:55
11 him and our team around the same time. 11 Q. You can put that one away.
12 Q. And then -- 12 A. Okay.
13 A. Lots of people were looking to leave 13 MR. VERHOEVEN: Let's mark as Exhibit 373
14 Google at this time. And most of their top people 14 an email dated January 26th, 2016 from
15 were leaving. 01:47:02 15 Cameron Poetzscher to Travis Kalanick. 01:49:19
16 Q. And what is your understanding of why -- 16 (Exhibit 373 was marked for
17 if you have one, why Cameron is saying that Uber 17 identification by the court reporter and is
18 shouldn't let him know anything about this deal? 18 attached hereto.)
19 MS. DUNN: Form. 19 Q. (By Mr. Verhoeven) This is an email from
20 THE DEPONENT: Because Salesky was -- my 01:47:16 20 Cameron to you, dated January 28th, 2016, correct? 01:49:50
21 understanding -- again, I've never met him, but my 21 A. Looks like it, yes.
22 understanding of the meetings they had with him, 22 Q. And the subject is Newco?
23 you could never quite trust him. 23 A. Yes.
24 And so he was talking to us about working 24 Q. And it is -- it says, "Did you tell
25 with us in some way. We weren't sure if he was 01:47:35 25 Anthony that you would indemnify them if they get 01:50:03
Page 231 Page 233
1 A. Yes. Sorry. Yes. 01:51:07 1 employees that Stroz would conduct forensic 01:54:03
2 Q. They are under that impression because 2 diligence on?
3 they think you told him that, right? Is that how 3 A. It certainly refreshes my memory of what
4 you read this? 4 the topics of the meeting were sort of about.
5 A. It looks like they are under the 01:51:18 5 Q. What was the forensic diligence going to 01:54:17
6 impression that they would get indemnified if they 6 be on?
7 were sued by Google. It doesn't appear to be that 7 A. Yeah, it was going to be on this -- you
8 they were under the impression that I told them. 8 know, the -- the group of people we were doing the
9 Q. Okay. And you have no recollection of 9 transaction with.
10 any of this? 01:51:35 10 Q. Did the discussion of doing a forensic 01:54:31
11 A. I -- I don't. 11 diligence -- withdrawn.
12 Q. Do you have any recollection of 12 Was the discussion of doing forensic
13 discussing indemnification as part of the deal? 13 diligence the result of Mr. Levandowski's
14 A. No. 14 disclosure that he had discs that contained Google
15 MR. VERHOEVEN: I'm going to mark as 01:51:45 15 information? 01:54:47
16 Exhibit 374 a meeting notice on Google Calendar 16 A. I think my understanding is, we were
17 bearing Control Number UB1424. 17 doing that diligence regardless of that disclosure.
18 (Exhibit 374 was marked for 18 Q. Okay. Did someone tell you that at this
19 identification by the court reporter and is 19 meeting?
20 attached hereto.) 01:52:43 20 A. I don't know. I don't know. 01:55:01
21 Q. (By Mr. Verhoeven) You see this is a 21 Q. But you don't believe that, at this
22 calendar note, dated March 11, 2016 to yourself? 22 meeting, there was any discussion of doing forensic
23 A. Yeah. Yup. I see that, yes. 23 diligence as a result of Mr. Levandowski's
24 Q. Okay. And under "More Details," it says 24 disclosure that he had files containing Google
25 "Newco meeting with principals." 01:53:11 25 information? 01:55:16
Page 235 Page 237
1 THE DEPONENT: My reaction was that no 01:56:15 1 email on the attachments line, it says, 01:59:26
2 files -- no content from his former employer can 2 "Project Zing, timing update."
3 come to Uber under any conditions and that he 3 Do you see that?
4 needed to talk to an attorney to figure out how to 4 A. Yeah.
5 properly do that. 01:56:27 5 Q. What does Project Zing refer to? 01:59:36
6 Q. (By Mr. Verhoeven) Why -- why did he 6 A. No idea.
7 tell you that he had those files at this meeting? 7 Q. Is that another name for the deal with
8 MS. DUNN: Form. 8 Mr. Levandowski?
9 MR. CHATTERJEE: Form. 9 A. I have no idea what it is.
10 THE DEPONENT: He probably felt like we 01:56:48 10 Q. Well, this was sent to you, right? 01:59:50
11 were going to find out one way or another. 11 A. Correct.
12 Q. (By Mr. Verhoeven) Do you remember what 12 Q. It says in the first paragraph, "They
13 he said one way or the other? 13 were supposed to get us their diligence materials
14 MR. CHATTERJEE: Form. 14 by last Sunday night, and we only got Anthony's
15 THE DEPONENT: I am sorry. I didn't 01:57:00 15 questionnaire on Friday and are still waiting on 02:00:06
16 understand the question. 16 three other employees, also still waiting on the IP
17 Q. (By Mr. Verhoeven) Do you remember what 17 diligence info from them."
18 he said one way or the other at this meeting? 18 Do you see that?
19 A. I don't remember specifically what he 19 A. I do.
20 said, but I remember, generally, him making some 01:57:07 20 Q. So does this refresh your recollection 02:00:18
21 kind of disclosure about having some kind of either 21 that Project Zing concerned the deal with
22 backup disc or some kind of content that was from 22 Anthony Levandowski?
23 his former employer. It was like backup data from 23 A. I mean, I assume it had something to do
24 former employer, something like that. 24 with that. I just don't remember anything about
25 Q. And that was after the discussion of -- 01:57:30 25 anything called Project Zing. 02:00:33
Page 239 Page 241
1 March 26th, 2016? 02:07:36 1 Q. Okay. If you look at the attachment, 02:09:59
2 A. Yes. 2 there's a whiteboard with red writing on it.
3 Q. And he says, 3 Do you see that?
4 4 A. Yeah.
5 Do you see that? 02:07:45 5 Q. Did you have a meeting with 02:10:13
6 A. Yeah. 6 Mr. Levandowski -- or withdrawn.
7 Q. What is the 7 Did you have a meeting around this date
8 A. I don't know. I don't know what that is 8 where you wrote all this on the whiteboard?
9 referring to. 9 A. It's possible.
10 Q. You have no recollection of any 02:07:53 10 Q. Is this your handwriting? 02:10:31
11 discussions about a 11 A. Yes, it is.
12 A. No. 12 Q. Okay. Do you remember having a
13 Q. Do you have any -- if you are reading 13 meeting -- do you remember the meeting associated
14 this, what -- how would you interpret the reference 14 with this picture?
15 to 02:08:03 15 A. No. 02:10:42
16 MR. CHATTERJEE: Form. 16 Q. Under No. 1 in the picture, it says,
17 MS. DUNN: Form. 17 "Pittsburgh ++- I know some," S word?
18 THE DEPONENT: I just don't know what it 18 A. Yes.
19 is referring to. I don't know what we are 19 Q. Do you see that?
20 talking about here. I just don't know. 02:08:13 20 A. I do. 02:11:01
21 Q. (By Mr. Verhoeven) Have you ever used 21 Q. Okay. What does that mean?
22 that -- that term, referring to the 22 MR. CHATTERJEE: Form.
23 in talking about a deal? 23 THE DEPONENT: I can't -- I mean, I don't
24 A. No. I mean, it's not something I would 24 know. But if he's consulting for us helping to
25 normally do, or not something that I have done, 02:08:23 25 bring some advice and sort of consultative approach 02:11:17
Page 247 Page 249
1 acquisition? 02:21:30 1 are, you know, maybe a high-level overview. But I 02:23:36
2 A. I am going to assume it's Cameron. 2 can -- I know I didn't talk to the details that are
3 Q. Okay. 3 in these slides here.
4 A. It may have been that Emil spoke, too; 4 I may have just been sort of the vision
5 but I would assume that it's Cameron. 02:21:39 5 guy, and maybe that's my part of leading this 02:23:48
6 Q. Were you involved? 6 discussion. But in terms of really leading this
7 A. I was maybe going to chime in if I saw 7 discussion and going through these slides, I -- I'm
8 something, but this is not a discussion I led. 8 very certain that I was not doing that.
9 Q. Okay. I am not trying to play any tricks 9 Q. Okay. By "these slides," you mean the
10 on you, but I'm going to give you a document. 02:21:54 10 slides attached to Exhibit 379? 02:24:04
11 MR. VERHOEVEN: Let's mark it as 380. 11 A. Yes.
12 (Exhibit 380 was marked for 12 Q. 379?
13 identification by the court reporter and is 13 A. Yeah.
14 attached hereto.) 14 Q. Let's go back to 379.
15 THE DEPONENT: You want me to put this 02:22:02 15 A. What is 379? 02:24:31
16 away or hold it? 16 Q. That's the slides.
17 Q. (By Mr. Verhoeven) Just keep it. Go 17 A. Okay. Got it. Yes.
18 ahead. 18 Q. So it looks like Project Zing is the deal
19 It is entitled "Minutes of Special 19 being -- the deal is being referred to as
20 board -- special meeting of boards of directors"? 02:22:08 20 Project Zing now? 02:24:47
21 A. Yeah. 21 A. Yeah. And I just -- you know, I got used
22 Q. "Uber Technologies, Inc., April 11th, 22 to the Newco thing. But it looks like they changed
23 2016." It bears Control Numbers Uber 101482 23 the same at some point.
24 through 498. And if you look at item 1 on the 24 Q. Okay. Do you see on page 346 it says
25 first page -- 02:22:39 25 "deal overview"? 02:24:59
Page 259 Page 261
1 whether or not Google would bring an action based 02:30:11 1 board meeting in connection with whether to do this 02:32:19
2 on IP theft or solicitation of employees? 2 deal is the potential blowback from Google?
3 MS. DUNN: Objection to form. 3 MS. DUNN: Objection to form.
4 Q. (By Mr. Verhoeven) Isn't that a fair -- 4 THE DEPONENT: It was certainly a
5 fair statement? 02:30:21 5 consideration. I don't know if it was at this 02:32:31
6 A. Anytime you do a transaction that 6 board meeting, but it was generally a
7 includes really smart, really talented people 7 consideration.
8 that -- that used to work at a competitor, this is 8 Q. (By Mr. Verhoeven) And the board? Was
9 just one of the considerations you have to take 9 it a consideration of the board?
10 into account. 02:30:37 10 A. I can't remember. 02:32:40
11 Q. So the -- is the answer "yes" then? 11 MS. DUNN: Objection to form.
12 A. The answer is, yes. 12 Q. (By Mr. Verhoeven) Would you expect that
13 Q. Yes. Okay. 13 that would have been a consideration the board took
14 Do you remember anything any of the other 14 into account?
15 board members besides yourself said on this 02:30:49 15 MR. CHATTERJEE: Form. 02:32:45
16 subject? 16 MS. DUNN: Form.
17 A. Not really, no. 17 THE DEPONENT: I cannot remember if the
18 Q. Was there any concern expressed about a 18 board discussed that or not. I just can't.
19 Google suit? 19 I can tell you that it was generally a
20 MS. DUNN: Objection to form. 02:31:00 20 consideration that I had going into this deal. 02:32:53
21 THE DEPONENT: I don't remember 21 Q. (By Mr. Verhoeven) Okay. So one of the
22 specifically. 22 considerations you had going into the deal with
23 Q. (By Mr. Verhoeven) Do you have any 23 Mr. Levandowski was potential blowback from Google;
24 general rec- -- recollection of that being 24 fair?
25 discussed? 02:31:07 25 MS. DUNN: Objection to form. 02:33:14
Page 267 Page 269
1 THE VIDEOGRAPHER: Going off the record. 02:40:02 1 mark as Exhibit 382 an indemnification agreement 02:56:24
2 The time is 2:39. 2 bearing Control Numbers Uber 4855 through 4874.
3 (Recess taken.) 3 Do you recognize this indemnification
4 THE VIDEOGRAPHER: We are back on the 4 agreement?
5 record. The time is 2:54. 02:54:18 5 A. No. 02:57:10
6 MS. DUNN: Since we are back on the 6 MR. VERHOEVEN: For the record, Counsel,
7 record, we would like to designate this transcript 7 there's redacted portions of this agreement, and we
8 AEO. 8 object to that and intend to move to compel, unless
9 (Exhibit 381 was marked for 9 you have the agreement now in a form that I can
10 identification by the court reporter and is 02:54:25 10 use. 02:57:27
11 attached hereto.) 11 MS. DUNN: I think you should use your
12 Q. (By Mr. Verhoeven) Okay. Let's mark as 12 document.
13 Exhibit 381 the Joint Defense and Common Interest 13 MR. VERHOEVEN: So -- so you don't have
14 and Confidentiality Agreement, dated -- well, I 14 one here, right?
15 don't know what the date is, but it bears Control 02:54:44 15 MS. DUNN: No. 02:57:34
16 Number 74893. I believe it's dated April 11th, 16 Q. (By Mr. Verhoeven) I direct your
17 2016. 17 attention to page 4873 on the control numbers.
18 So it's -- it bears Control Numbers Uber 18 A. Okay.
19 74893 through 903. 19 Q. That's your signature?
20 Do you recognize this agreement? 02:55:17 20 A. Yes, it is. 02:57:55
21 A. I do not. 21 Q. Did you read this document before you
22 Q. Turn to the last page. 22 signed it?
23 A. Okay. 23 A. I did not.
24 Q. I believe your signature is on there. 24 Q. Did you know what it was?
25 Can you locate it? 02:55:34 25 A. I knew it was part of a larger set of 02:58:00
Page 275 Page 277
1 just read this real quick. But it's not clear. 03:09:31 1 this. 03:13:30
2 Because the first bullet was Drew, and the second 2 Q. Did you know that Mr. Levandowski had
3 bullet was Anthony, but let me just read it and -- 3 developed a new laser design?
4 just give me a second. 4 A. No.
5 Q. (By Mr. Verhoeven) Okay. 03:09:40 5 MS. DUNN: Objection to form. 03:13:35
6 A. Yes, I have read. 6 Q. (By Mr. Verhoeven) Then it says -- the
7 Q. Now, directing your attention to the 7 last sentence says, "I would like to be -- it
8 third bullet -- 8 will" -- withdrawn.
9 A. Yeah. 9 The last sentence in this bullet says,
10 Q. -- the solid bullet down -- 03:11:32 10 03:13:48
11 A. Yeah. 11
12 Q. -- of Mr. Holden's May 13th, 2016 12
13 email -- 13 Do you see that?
14 A. Yeah. Yeah, yeah, yeah. 14 A. I do.
15 Q. -- where it says, "We also discussed the 03:11:41 15 Q. And that's referring to Mr. Levandowski's 03:14:02
16 laser plan." 16 estimate, right?
17 That was a discussion with 17 MS. DUNN: Objection to form.
18 Mr. Levandowski, right? 18 THE DEPONENT: I assume so.
19 A. I think it's a fair assumption. 19 Q. (By Mr. Verhoeven) Okay. Do you
20 Q. And then it says, 03:11:48 20 remember discussing that Mr. Levandowski's new 03:14:11
21 21 design would be
22 Do you see that? 22
23 A. Yeah. 23 A. I -- I don't remember pricing as it
24 Q. What's that a reference to? 24 related to a new design, but I do remember
25 A. Sounds like something to do with lasers. 03:11:59 25 understanding that, over time, the price of those 03:14:29
Page 287 Page 289
1 (Exhibit 387 was marked for 03:20:35 1 going to put these things together, right? 03:23:14
2 identification by the court reporter and is 2 MS. DUNN: Objection to form.
3 attached hereto.) 3 THE DEPONENT: I believe there are
4 Q. (By Mr. Verhoeven) You see this is an 4 certain constraints or limitations or -- or
5 email from yourself, dated August 16th, 2016, 03:21:06 5 criteria by which it wouldn't happen. And that's 03:23:20
6 during the subject line messaging notes? 6 why you had to go -- well, we just had a period of
7 A. Yeah. 7 time where it was in this middle area, post-signing
8 Q. What did you mean by messaging notes? 8 pre-closing.
9 A. I mean, this -- this is right around the 9 So until it closed, we didn't want to
10 announcement, so I -- I don't know what these notes 03:21:22 10 talk about it. 03:23:37
11 are from, per se, but my guess is, it's about how 11 Q. (By Mr. Verhoeven) Don't most companies
12 do we want to talk about the effort and the 12 announce these -- these types of transactions upon
13 acquisition. 13 a completion of the merger deal, before the
14 MS. DUNN: You need time to read the 14 closing?
15 document. Take your time. 03:21:46 15 A. I think most deals -- not all deals. I 03:23:51
16 THE DEPONENT: Okay. 16 mean, I have worked on deals where that didn't
17 Q. (By Mr. Verhoeven) When was the first 17 happen. So...
18 time that you let anybody outside of Uber know 18 Q. Most of time, that's what -- what
19 about this deal? 19 happens, right?
20 MS. DUNN: Objection to form. 03:21:54 20 MS. DUNN: Objection to form. 03:24:01
21 Q. (By Mr. Verhoeven) Was it the 21 THE DEPONENT: I'm thinking of
22 announcement? 22 acquisitions we have done -- literally,
23 MS. DUNN: Same objection. 23 acquisitions that Uber has done -- where we
24 THE DEPONENT: I'm -- I'm thinking. I 24 announce post-closing.
25 mean, that was the intention. I am trying to think 03:22:06 25 Q. (By Mr. Verhoeven) Which ones? 03:24:09
Page 295 Page 297
1 Q. (By Mr. Verhoeven) Do you have any 03:30:10 1 It was our -- I think it was the first time we were 03:32:26
2 discussions with Mr. Michael about -- about this 2 meeting Krafcik. He gave us a tour of the -- some
3 telephone call? 3 of the facility, and then we spent the conversation
4 A. I don't remember specific discussion, but 4 with us talking -- you know, myself and Emil
5 I did enjoy this email. 03:30:20 5 talking about our ideas for how we could partner. 03:32:44
6 Q. You enjoyed it? 6 And Krafcik really sort of not deeply
7 A. It's strange for a leader to talk trash 7 engaging in the -- in the conversation.
8 on the people that he hired just because they leave 8 Q. He wasn't interested?
9 and work somewhere else. 9 A. It didn't --
10 Q. Where is he talking trash? 03:30:33 10 MS. DUNN: Objection to form. 03:32:59
11 A. He basically said, "Only one thing you 11 THE DEPONENT: It didn't seem that he
12 said surprised me, that the auto acquisition was 12 was.
13 about assembling talent." 13 Q. (By Mr. Verhoeven) Do you remember
14 He said he knows the CV's and the 14 anything specific that he said?
15 pedigrees of all the folks that came from his team. 03:30:45 15 A. No, it was just like, you know, you know 03:33:04
16 And it's like he's literally talking trash about 16 in a business deal whether somebody is interested
17 the people that used to work for him -- 17 or not, sometimes they say, oh, that's -- that's
18 Q. And -- 18 interesting. Let me get back to you. That may not
19 A. -- saying that they are -- they are not 19 mean they are interested.
20 that good. 03:30:56 20 Q. Were you making a pitch to partner with 03:33:18
21 Q. And you knew they were good? 21 them?
22 A. Well, I certainly felt that they were. 22 A. I was constantly making a pitch to
23 They don't -- I mean, I am not in the details to 23 partner with them.
24 work with all these individuals, it's just -- it's 24 Q. Okay. Did Mr. Drummond say anything at
25 kind of a lowbrow thing to do. 03:31:06 25 the meeting? 03:33:27
Page 303 Page 305
1 meeting that we had about 03:46:33 1 Again, the end would be the leads for -- 03:49:30
2 . And, over time, it 2 for the autonomy effort, meaning all the people
3 became our regular update on what's going on. 3 that directly report to Anthony;
4 I am not sure where this is in that 4
5 timeline, but that was generally what Birdhouse was 03:46:54 5 03:49:44
6 about. 6 Q. Okay. Looking at the second bullet, it
7 Q. Well, the date is -- 7 says,
8 A. Yeah, I see the date. I just -- 8
9 apologize. Go ahead. I'm sorry. 9 Do you see that?
10 Q. I was just going to say, the date is 03:47:04 10 A. Yes, I do. 03:50:09
11 September 19th, 2016; is that how you read that? 11 Q. What does that mean?
12 A. Yes. Yeah. 12 A. I think what it means is that we --
13 Q. Go ahead. If you want to finish, go 13
14 ahead. 14
15 A. Yeah, I just don't know where that sits 03:47:12 15 03:50:32
16 in terms of how Birdhouse 16 Q. What is T1 and T2?
17 -- to 17 A. This is tier 1 and tier 2.
18 a general review of autonomy and how we were doing, 18 Q. I see.
19 if there was a transition, sort of a general, slow 19 And then the one, two, three, four, fifth
20 transition to the latter. I am not sure where 03:47:30 20 bullet down says, 03:50:44
21 September 19th was in that -- in that. 21
22 Q. I am not going to ask you about all the 22 Do you see that?
23 TK references, just -- just a couple. 23 A. Yeah.
24 A. Uh-huh. 24 Q. What's your -- what's your understanding
25 Q. So there's six solid flush-left bullets, 03:47:57 25 of that bullet? 03:50:57
Page 307 Page 309
1 (Exhibit 391 was marked for 04:06:05 1 Q. And do you recall any -- not everything 04:09:15
2 identification by the court reporter and is 2 there, but just the Waymo lawsuit. Do you remember
3 attached hereto.) 3 any discussion you had with this decision on the
4 MR. VERHOEVEN: Okay. Let's mark as 4 subject of the Waymo lawsuit beyond this letter?
5 Exhibit 391 an email dated June 20th, 2017, bearing 04:06:10 5 A. There was none. 04:09:39
6 Control Numbers Uber 99109 through 9910. 6 Q. Okay. In October of 2016, do you
7 MS. DUNN: Pursuant to the Court's order 7 remember having a discussion with Mr. Larry Page?
8 on the motion in limine, I'm going to instruct the 8 A. Yes. Yes.
9 witness he can answer questions about this, to the 9 Q. Okay. Did you call him?
10 extent that the questions have to do with this 04:06:47 10 A. I think he called me. 04:09:58
11 lawsuit. 11 Q. Did you -- did you ask him to call you?
12 MR. VERHOEVEN: Okay. 12 A. Yes, that's -- I did. That's usually how
13 MS. DUNN: Thanks. 13 it works with him, I think.
14 MR. VERHOEVEN: We object to that. I'm 14 Q. Okay. Did you tell him you wanted to
15 not sure we will have a problem, but we object to 04:06:58 15 talk about his interest in flying -- what was it -- 04:10:07
16 that. I certainly don't recall any instruction 16 flying -- what -- what did you tell him you wanted
17 from the judge on that. 17 to talk about?
18 Q. (By Mr. Verhoeven) So is this the letter 18 A. I wanted to talk him about flying cars.
19 that you are referring to? 19 Q. That's it.
20 I apologize that it's hardly legible, but 04:07:12 20 A. How could you forget that? 04:10:25
21 that's the way it was produced by your counsel. 21 Q. I didn't know the right name for it. I
22 A. This looks like it, yeah. 22 was going to say flying cars, but I thought that
23 Q. Well, I need to know, yes or no. 23 would be too simplistic.
24 A. Yes. Yes. 24 A. We call them -- what's the other word for
25 Q. This is the letter you were referring to? 04:07:23 25 it -- oh, yeah, VTOL, vertical takeoff and landing. 04:10:39
Page 319 Page 321
1 developing expertise, but we haven't been in this 04:11:46 1 remember the specific words, but it was -- it felt 04:14:07
2 industry as long. We certainly have a lot of 2 like he was repeating the same thing over and over
3 ridesharing things going on. There could be a 3 again.
4 really interesting -- interesting potential in 4 Q. So you don't remember beyond that what he
5 partnering those two efforts. 04:11:58 5 said? 04:14:14
6 Q. And what did he say on that subject in 6 A. No.
7 response to you during that call? 7 Q. Do you remember anything else during that
8 A. He said, still not very interested. And 8 conversation on the subject of driverless cars
9 maybe we can talk about that again in the new year. 9 beyond what you already testified to?
10 Q. Did he say anything else that you can 04:12:12 10 A. I don't remember anything else. 04:14:26
11 recall on the subject? 11 MR. VERHOEVEN: All right. I have no
12 A. On -- on the partnering subject? 12 further questions at this time.
13 Q. Yes, or the subject of driverless car 13 Oh. Sorry. I have a couple more
14 technology. 14 questions.
15 A. He -- he was -- he was upset about what 04:12:22 15 THE DEPONENT: Okay. 04:14:36
16 he -- what he kept talking about was us taking his 16 MR. VERHOEVEN: Won't be long.
17 IP. 17 (Discussion off the stenographic record.)
18 Q. So what did he say about that? 18 Q. (By Mr. Verhoeven) What did you do to
19 A. He kept saying that he -- that -- that we 19 get prepared for today?
20 have taken his IP. And I kept responding and 04:12:45 20 A. Spent a lot of hours sort of -- spent a 04:14:49
21 telling him that hiring his people is not taking 21 lot of hours just trying to understand what a
22 his IP. 22 deposition is about, try to understand how I should
23 Q. And what did he say in response to you 23 approach this, generally.
24 when you said that? 24 Q. Did you meet with people?
25 A. It was like we were having -- 04:12:59 25 A. Yeah. 04:15:07
Page 323 Page 325
1 I'd just go work and then come back in. It wasn't 04:16:15 1 I, Rebecca L. Romano, a Certified Shorthand
2 straight. But it was back and forth during that 2 Reporter of the State of California, do hereby
3 time period. 3 certify:
4 Q. Okay. Did you do any prep for this 4 That the foregoing proceedings were taken
5 deposition before that week? 04:16:29 5 before me at the time and place herein set forth;
6 A. No. 6 that any witnesses in the foregoing proceedings,
7 Q. Okay. 7 prior to testifying, were administered an oath;
8 MR. VERHOEVEN: At this time, I have no
8 that a record of the proceedings was made by me
9 further questions. I have to say some things on
9 using machine shorthand which was thereafter
10 transcribed under my direction; that the foregoing
10 the record, though. 04:16:35
11 transcript is true record of the testimony given.
11 So we reserve this time to ask further
12 Further, that if the foregoing pertains to the
12 questions at a later time because there's privilege
13 original transcript of a deposition in a Federal
13 fights that have not been resolved yet; document
14 Case, before completion of the proceedings, review
14 production has not been completed; the text issue
15 of the transcript [ ] was [x] was not requested.
15 is still being worked on. 04:16:56
16 I further certify I am neither financially
16 And just for the record, we disagree that
17 interested in the action nor a relative or employee
17 we are limited to an aggregate of seven hours. We 18 of any attorney or any party to this action.
18 can deal with that later; but, for the record, we 19 IN WITNESS WHEREOF, I have this date
19 disagree with that. 20 subscribed my name.
20 MS. DUNN: For the record, our position 04:17:16 21 Dated: July 28, 2017
21 is you are limited to seven hours. And we will 22
22 just ask how much time has been reserved within 23
23 that seven, so...
24 THE VIDEOGRAPHER: Once I am done, I will 24 Rebecca L. Romano, RPR,
25 give you the tally. 04:17:26 25 CSR. No 12546
Page 327 Page 329
Rule 30