F. Summary
In this case, the President made and caused to be made false statements to
the American people about his relationship with Ms. Lewinsky. He also made
false statements about whether he had lied under oath or otherwise obstructed
justice in his civil case. By publicly and emphatically stating in January 1998
that "I did not have sexual relations with that woman" and these "allegations
are false," the President also effectively delayed a possible congressional
inquiry, and then he further delayed it by asserting Executive Privilege and
refusing to testify for six months during the Independent Counsel investigation.
This represents substantial and credible information that may constitute grounds
for an impeachment.
1. The pseudonym Jane Doe was used during discovery to refer
to certain women whose identities were protected from the public.
2. For a discussion of the procedural background to the
Jones case, see Appendix, Tab C.
3. Sections 1621 and 1623 of Title 18 (perjury) carry a
penalty of imprisonment of not more than five years for knowingly making a
false, material statement under oath, including in any ancillary court
proceeding. An "ancillary proceeding" includes a deposition in a civil case.
United States v. McAfee, 8 F.3d 1010, 1013 (5th Cir. 1993); United
States v. Scott, 682 F.2d 695, 698 (8th Cir. 1982). The perjury statutes
apply to statements made during civil proceedings. As one United States Court of
Appeals recently stated, "we categorically reject any suggestion, implicit or
otherwise, that perjury is somehow less serious when made in a civil proceeding.
Perjury, regardless of the setting, is a serious offense that results in
incalculable harm to the functioning and integrity of the legal system as well
as to private individuals." United States v. Holland, 22 F.3d 1040, 1047
(11th Cir. 1994); see also United States v. Wilkinson, 137 F.3d
214, 225 (4th Cir. 1998).
4. Clinton 1/17/98 Depo.; see also Clinton 1/17/98
Depo. at 18.
5. Clinton 1/17/98 Depo. at 19.
6. Written interrogatories are a common discovery device in
federal civil cases by which a party serves written questions on the opposing
party. The rules require that they be answered under oath and therefore under
penalty of perjury. See Fed. R. Civ. P. 33.
7. V002-DC-00000016-32 (Plaintiff's Second Set of
Interrogatories, see Interrogatory no. 10). The interrogatory in the text
reflects Judge Wright's order, dated December 11, 1997, limiting the scope of
the question to cover only women who were state or federal employees at the
relevant times.
8. V002-DC-00000052-55 (President Clinton's Supplemental
Responses to Plaintiff's Second Set of Interrogatories, see Response to
Interrogatory no. 10).
9. Clinton 1/17/98 Depo., Exh. 1.
10. Robert S. Bennett, counsel for President Clinton.
11. Clinton 1/17/98 Depo. at 78 (emphasis added).
12. Id. at 204 (emphasis added). The full text of
Ms. Lewinsky's affidavit is set forth in the Doc. Supp. B, Tab 7.
13. White House records reflecting entry and exit are
incomplete. For Ms. Lewinsky, there are no records for January 7, 1996, and
January 21, 1996.
14. The President's false statements to the grand jury are
discussed in Ground II.
15. Lewinsky 8/26/98 Depo. at 6-7.
16. Id. at 7.
17. Id. at 8. Ms. Lewinsky stated that the
hallway outside the Oval Office study was more suitable for their encounters
than the Oval Office because the hallway had no windows. Lewinsky 8/6/98 GJ at
34-35.
18. Lewinsky 8/26/98 Depo. at 8.
19. Id. at 8, 21. Ms. Lewinsky testified that
she had an orgasm. Id. at 8.
20. Id. at 11-12.
21. Id. at 12-13.
22. Id. at 14.
23. Id. at 12-13.
24. Id. at 15-16.
25. Id. at 17. After the sexual encounter, she saw
the President masturbate in the bathroom near the sink. Id. at 18.
26. Id. at 18.
27. Id. at 18.
28. Id. at 19. They engaged in oral-anal contact as
well. See Lewinsky 8/26/98 Depo. at 18-20.
29. Id. at 21-22. This was shortly after their first
phone sex encounter, which occurred on January 16, 1996. Id. at 22;
Lewinsky 7/30/98 Int. at 9. Phone sex occurs when one or both parties masturbate
while one or both parties talk in a sexually explicit manner on the telephone.
30. Lewinsky 8/26/98 Depo. at 25.
31. Id. at 26. As Ms. Lewinsky departed, she
observed the President "manually stimulating" himself in Ms. Hernreich's
office. Id. at 27.
32. Id. at 28-32.
33. Id. at 28.
34. Id. at 30-31. Ms. Lewinsky testified that
she had an orgasm. Id.
35. Id. at 30-32. They engaged in oral-anal contact
as well. See Lewinsky 8/26/98 Depo. at 29-33.
36. Id. at 34-38.
37. Id. at 37-38. The President then put the cigar
in his mouth and said to Ms. Lewinsky: "it tastes good." Lewinsky 7/30/98
Int. at 12-13; see also Lewinsky Depo. at 38.
38. Lewinsky 8/6/98 GJ at 91, 94-97; Lewinsky 8/26/98 Depo.
at 40-42.
39. Lewinsky 8/26/98 Depo. at 40-43.
40. Id. at 45-49. They had engaged in phone sex a
number of times in the interim, according to Ms. Lewinsky. Lewinsky 7/30/98
Int. at 14-15.
41. Lewinsky 8/26/98 Depo. at 47. On this occasion, the
President ejaculated. Id.
42. FBI Lab Report, Lab Nos. 980730002SBO and 980803100SBO,
8/17/98.
43. Lewinsky 8/26/98 Depo. at 49-51.
44. Ms. Lewinsky testified that she had multiple
orgasms. Id. at 50.
45. Id. at 50-51; Lewinsky 8/6/98 GJ at 21. On this
occasion, the President ejaculated. Lewinsky 8/26/98 Depo. at 50-51.
46. Lewinsky 8/26/98 Depo. at 51-53.
47. Id. at 53. See also Lewinsky 8/6/98 GJ at
35-36.
48. Lewinsky 7/30/98 Int. at 11-16; Lewinsky 8/6/98 GJ at
24. The summary chart of contacts between the President and Ms. Lewinsky,
GJ Exhibit ML-7, which is based on information provided by Ms. Lewinsky,
lists 17 separate phone sex calls. Id. at 27-28. Ms. Lewinsky also
gave the President Vox, a novel about phone sex. Id.
While phone sex may not itself constitute a "sexual relationship," it adds
detail to Ms. Lewinsky's testimony and underscores the sexual and intimate
nature of the relationship between the President and Ms. Lewinsky.
Ms. Lewinsky also said that the President left a few messages on her
home answering machine (although he told her he did not like to leave messages).
Ms. Lewinsky provided four microcassettes of four messages to the OIC on
July 29, 1998. FBI Receipt for Property Received, dated 7/29/98.
49. FBI Lab Report, Lab No. 9800730002SB0, 8/3/98.
50. FBI Observation Report (White House), 8/3/98.
51. FBI Lab Report, Lab No. 980730002SBO and 980803100SBO,
8/17/98.
52. Id.
53. Catherine Davis 3/17/98 GJ at 9-10. Ms. Catherine
Davis talked to Ms. Lewinsky by telephone an average of once a week until
April 1997 when Ms. Davis moved to Tokyo; thereafter she and
Ms. Lewinsky remained in touch through e-mail. Id. at 14, 27.
54. Id. at 19-20.
55. Id. at 20.
56. Id. at 169.
57. Id. at 37.
58. Erbland 2/12/98 GJ at 9-10. Ms. Erbland testified
that she spoke on the phone with Ms. Lewinsky at least once a month.
Id. at 18-19.
59. Id. at 24, 30, 31.
60. Id. at 27.
61. Id. at 26 ("She told me that she had given him
[oral sex] and that she had had all of her clothes off, but that he only had his
shirt off and that she had given him oral sex and they kissed and fondled each
other and that they didn't have sex. That was kind of a little bit of a letdown
for her."); id. at 29 ("He put his face in her chest. And, you know, just
oral sex on her part, you know, to him.").
62. Id. at 29.
63. Id. at 45.
64. Id. at 39 ("They were like phone sex
conversations. They would, you know, talk about what they wanted to do to each
other sexually.").
65. Ms. Ungvari spoke with Monica Lewinsky on the
telephone an average of once a week, and visited her in Washington in October
1995 and March 1996. Ungvari 3/19/98 GJ at 9-11, 14-15.
66. Id. at 18.
67. Id. at 23-24.
68. Id. at 81.
69. Raines 1/29/98 GJ at 11. Ms. Raines and Monica
Lewinsky have become "close friend[s]" since Ms. Lewinsky left the White
House. Id. at 19.
70. Id. at 35-36, 38.
71. Id. at 30, 43, 48.
72. Id. at 51.
73. Andrew Bleiler 1/28/98 Int. at 3.
74. Id. at 3.
75. Ms. Lewinsky gave this Office permission to
interview Dr. Kassorla.
76. Kassorla 8/28/98 Int. at 2.
77. Id. at 2-3. Dr. Kassorla advised
Ms. Lewinsky against the relationship, stating that she was an employee
having an office romance with a superior and that the relationship would cost
Ms. Lewinsky her job. Id. at 2.
78. Tripp 7/2/98 GJ at 104.
79. Id. at 97-105.
80. Finerman 3/18/98 Depo. at 29-33.
81. She testified that the encounter concluded with the
President masturbating into a bathroom sink. Id. at 30-31.
Ms. Finerman indicated that "it was something I didn't want to talk about,"
and Ms. Lewinsky "sort of clammed up" thereafter. Id. at 35. See
also Lewinsky 8/26/98 Depo. at 18.
82. Finerman 3/18/98 Depo. at 33-35.
83. Young 6/23/98 GJ at 37-38.
84. Estep 8/23/98 Int. at 1. Ms. Estep is a licensed
certified social worker; Ms. Lewinsky gave this Office permission to
interview her.
85. Id. at 1, 4.
86. Id. at 3. Ms. Estep also thought that
Ms. Lewinsky had her "feet in reality." Id.
87. Id. at 2.
88. Id.
89. The President and Ms. Lewinsky had ten sexual
encounters that included direct contact with the genitalia of at least one
party, and two other encounters that included kissing. On nine of the ten
occasions, Ms. Lewinsky performed oral sex on the President. On nine
occasions, the President touched and kissed Ms. Lewinsky's bare breasts. On
four occasions, the President also touched her genitalia. On one occasion, the
President inserted a cigar into her vagina to stimulate her. The President and
Ms. Lewinsky also had phone sex on at least fifteen occasions.
90. This denial encompassed touching of Ms. Lewinsky's
breasts or genitalia.
91. He provided his responses during his August 17, 1998
grand jury appearance; those responses are separately analyzed in Ground II.
92. Chief Judge Norma Holloway Johnson, United States
District Court for the District of Columbia, and Judge Susan Webber Wright,
United States District Court for the Eastern District of Arkansas, each has one
copy of the videotape, and the Congress may see fit to seek the videotape from
either court. The videotape is valuable in facilitating a proper assessment of
the facts and evidence presented in this Referral.
93. Clinton 1/17/98 Depo., Exh. 1.
94. Clinton 8/17/98 GJ at 151.
95. Clinton 8/17/98 GJ at 151 (emphasis added).
96. The definition used at the President's deposition also
covers acts in which the deponent "cause[d] contact" with the genitalia or anus
of "any person." When he testified to the grand jury, the President said that
this aspect of the definition still does not cover his receiving oral sex. The
President said that the word "cause" implies "forcing to me" and "forcible
abusive behavior." Clinton 8/17/98 GJ at 17. And thus the President said that he
did not lie under oath in denying that he "caused" contact with the genitalia of
any person because his activity with Ms. Lewinsky did not include any
nonconsensual behavior. Id. at 18.
97. She testified that she had orgasms on three of the four
occasions. We note that fact because (i) the definition referred to direct
contact with the genitalia with the "intent to arouse or gratify" and
(ii) the President has denied such contact. Ms. Lewinsky also
testified that on one occasion, the President put his hand over her mouth during
a sexual encounter to keep her quiet. Lewinsky 7/31/98 Int. at 3.
98. MSL-55-DC-0094; MSL-55-DC-0124.
99. Lewinsky 8/20/98 GJ at 54.
100. Text of President's Address to Nation, reprinted in
Washington Post, August 18, 1998, at A5 (emphasis added).
101. Clinton 8/17/98 GJ at 107.
102. Following the President's public admission of an
inappropriate relationship, Judge Wright stated sua sponte in an order
issued on September 1, 1998: "Although the Court has concerns about the nature
of the President's January 17, 1998 deposition testimony given his recent public
statements, the Court makes no findings at this time regarding whether the
President may be in contempt." Jones v. Clinton, No. LR-C-94-290
(September 1, 1998), Unpublished Order at 7 n.5.
103. Clinton 8/17/98 GJ at 9-10.
104. Id. at 9-10. See also Excerpt from
President Clinton's Televised Address to the American People, 8/17/98,
reprinted in The Washington Post, at A5 (8/18/98) ("In a deposition in
January, I was asked questions about my relationship with Monica Lewinsky. While
my answers were legally accurate, I did not volunteer information.").
105. Clinton 8/17/98 GJ at 23-24.
106. Id. at 93.
107. Id. at 110 (emphasis added).
108. Id. at 95-96 (emphasis added).
109. Lewinsky 8/26/98 Depo. at 69.
110. MSL-55-DC-0094; MSL-55-DC-0124.
111. Lewinsky 8/20/98 GJ at 54.
112. Clinton 1/17/98 Depo. at 26 ("If the predicates are
met, we have no objection to detail").
113. See, e.g., Ungvari 3/19/98 GJ at 18, 22-24;
Erbland 2/12/98 GJ at 23-25.
114. V006-DC-00003737-3744.
115. 827-DC-00000008; 1222-DC-00000156,
1222-DC-0000083-85.
116. Lewinsky 7/30/98 Int. at 6; Lewinsky 8/24/98 Int. at
5.
117. The President contended that he had only one
encounter in 1997 with Ms. Lewinsky, whereas she says that there were two.
The motive for making a false statement on that issue is less clear, except that
perhaps the President wanted to portray the 1997 relationship as an isolated
incident.
118. Ms. Jones's attorneys had earlier served
President Clinton with a document request that sought documents reflecting "any
communications, meetings or visits involving" President Clinton and
Ms. Lewinsky. 1414-DC-00001534-46.
119. Throughout the Jones case, Judge Susan Webber
Wright ruled that Ms. Jones was entitled to discover information regarding
the nature of President Clinton's relationship with government employees,
including Monica Lewinsky, a federal employee at the time. See, e.g.,
921-DC-00000459-66; 920-DC-00000517-25; 1414-DC-00001006-14; 921-DC-00000736-44;
921-DC-00000751-52; 1414-DC-00001188-92.
120. Clinton 1/17/98 Depo. at 52-53 (emphasis added).
121. Ms. Lewinsky testified that many of her sexual
encounters with the President occurred in this windowless hallway. Lewinsky
8/6/96 GJ at 34-36.
122. The President had earlier testified that during the
government shutdown in November 1995, Ms. Lewinsky was working as an intern
in the Chief of Staff's Office, and had brought the President and others some
pizza. Clinton 1/17/98 Depo. at 58.
123. Id. at 58-59 (emphasis added).
124. Id. at 59(emphasis added).
125. Lewinsky 8/6/98 GJ at 20, 52.
126. Lewinsky 8/26/98 Depo. at 22; Lewinsky 8/6/98 GJ at
52-53.
127. Lewinsky 8/6/98 GJ at 76.
128. Id. at 52-53.
129. Id. at 35.
130. Id. at 34-36.
131. Id. at 20.
132. Currie 1/27/98 GJ at 32-33. See also Currie
5/6/98 GJ at 98. The Oval Office area includes the study, dining room, kitchen,
bathroom, and hallway connecting the area. See Appendix, Exhibit D
(diagram of Oval Office area).
133. Currie 1/27/98 GJ at 34-35 (recalling that after the
President's radio address, the President told Ms. Lewinsky he wanted to
show her his collection of political buttons and took her into the Oval Office
study for 15 to 20 minutes while Ms. Currie waited nearby, in the pantry or
the dining room).
134. Currie 1/27/98 GJ at 36-38 (testifying that
Ms. Lewinsky came to the White House and met with the President alone for
15 or 20 minutes). See also Currie 5/14/98 GJ at 116.
135. Currie 1/27/98 GJ at 35-36 (testifying that
Ms. Lewinsky and the President were in the Oval Office for "[p]erhaps 30
minutes."). Again, Ms. Currie testified that she believes no one else was
present. See also Currie 5/6/98 GJ at 103-105.
136. Ferguson 7/17/98 GJ at 23-35 (alone for approximately
45 minutes); Ferguson 7/23/98 GJ at 18-24.
137. Fox 2/17/98 GJ at 30-38 (alone for approximately 40
minutes).
138. Bordley 8/13/98 GJ at 19-30 (alone for approximately
30 to 35 minutes).
139. Garabito 7/30/98 GJ at 25-32.
140. Byrne 7/30/98 GJ at 7-12, 29-32 (alone for 15 to 25
minutes).
141. Muskett 7/21/98 GJ at 9-13, 22-32 (alone on Easter
Sunday 1996).
142. The last date that White House records reflect a
visit by Ms. Lewinsky is Sunday, December 28, 1997. 827-DC-00000018;
V006-DC-00000009.
143. Maes 4/8/98 GJ at 84-89.
144. Clinton 8/17/98 GJ at 9-10 (emphasis added).
145. Id. at 30-33.
146. Id. at 34.
147. Id. at 54.
148. Clinton 1/17/98 Depo. at 58-59.
149. See id. at 52-53, 59.
150. Clinton 8/17/98 GJ at 118; Lewinsky 8/6/98 GJ at
53-55.
151. In criminal law, a feigned lack of memory is
sufficient for a perjury conviction. See, e.g., United States v.
Chapin, 515 F.2d 1274 (D.C. Cir. 1975); Behrle v. United States, 100
F.2d 174 (D.C. Cir. 1938).
152. Clinton 1/17/98 Depo. at 75 (emphasis added).
153. Clinton 8/17/98 GJ at 36.
154. Lewinsky 8/6/98 GJ at 27-28, 150-51; GJ Exhibit ML-7.
155. FBI Receipt for Property received, 7/29/98.
156. Lewinsky 8/6/98 GJ at 26-28; GJ Exhibit ML-7.
157. Lewinsky 8/6/98 GJ at 151. Ms. Lewinsky's
subpoena directed in part: "Please produce each and every gift including, but
not limited to, any and all dresses, accessories, and jewelry, and/or hat pins
given to you by, or on behalf of, Defendant Clinton." 902-DC-00000135-38.
158. Lewinsky 8/6/98 GJ at 33, 152. See also
Lewinsky 2/1/98 Statement at 7. In fact, Ms. Lewinsky had told
Ms. Tripp about it. Ms. Lewinsky had also discussed the hat pin and
the subpoena's request for the hat pin with Mr. Jordan. Lewinsky 8/6/98 GJ
at 132, 140.
159. Currie 5/6/98 GJ at 142 (relating incident where the
President asks Ms. Currie about the hat pin he gave to Ms. Lewinsky).
After this criminal investigation started, Ms. Currie turned over a box of
items -- including a hat pin -- that had been given to her by Ms. Lewinsky.
Ms. Currie understood from Ms. Lewinsky that the box did contain gifts
from the President. SeeCurrie 5/6/98 GJ at 107. Ms. Lewinsky
testified that the box contained gifts from the President, including the hat
pin. Lewinsky 8/6/98 GJ at 154-162.
160. Ms. Lewinsky testified that the President had
given her a gold brooch, and she made near-contemporaneous statements to
Ms. Erbland, Ms. Raines, Ms. Ungvari, and Ms. Tripp
regarding the gift. Lewinsky 8/6/98 GJ at 26-28; GJ Exhibit ML-7; Erbland
2/12/98 GJ at 41; Raines 1/29/98 GJ at 53-55; Ungvari 3/19/98 GJ at 44; Tripp
7/29/98 GJ at 105.
161. Ms. Lewinsky testified that Leaves of
Grass was "the most sentimental gift he had given me." Lewinsky 8/6/98 GJ at
156. Ms. Lewinsky made near-contemporaneous statements to her mother, her
aunt, and her friends Ms. Davis, Ms. Erbland, and Ms. Raines that
the President had given her Leaves of Grass. Davis 3/17/98 GJ at 30-31;
Erbland 2/12/98 GJ at 40-41; Finerman 3/18/98 Depo. at 15-16; Marcia Lewis
2/10/98 GJ at 51-52; Marcia Lewis 2/11/98 GJ at 10 ("[S]he liked the book of
poetry very much."); Raines 1/29/98 GJ 53-55.
162. Lewinsky 8/6/98 GJ at 27; GJ Exhibit ML-7.
163. Lewinsky 8/26/98 Depo. at 15-16; Lewinsky 8/6/98 GJ
at 27; GJ Exhibit ML-7; Finerman Depo. 3/18/98 at 13-17; Ungvari 3/19/98 GJ at
43-44.
164. Clinton 1/17/98 Depo. at 76-77 (emphasis added).
165. Lewinsky 8/6/98 GJ at 27-28, GJ Exhibit ML-7;
Lewinsky 7/27/98 Int. at 12-14.
166. Lewinsky 8/6/98 GJ at 235-36.
167. Id. at 27, 150; GJ Exhibit ML-7.
168. V002-DC-00000475 (Letter to OIC, 3/16/98).
169. Lewinsky 8/6/98 GJ at 27; GJ Exhibit ML-7. See
also Lewinsky 7/27/98 Int. at 14.
170. Lewinsky 8/6/98 GJ at 185.
171. Letter from David Kendall to OIC, August 3, 1998.
172. V002-DC-00000471. Ms. Lewinsky testified that
she bought and gave the President that book in early January 1998, and that when
she talked to him on January 5, 1998, he acknowledged that he had received the
book. Lewinsky 8/6/98 GJ at 189-192. When testifying before the grand jury, the
President acknowledged receiving "a particularly nice book for Christmas, an
antique book on Presidents. She knew that I collected old books and it was a
very nice thing." Clinton 8/17/98 GJ at 36.
173. V002-DC-0000003.
174. Lewinsky 8/6/98 GJ at 27-28, 109; GJ Exhibit ML-7.
175. Id.; Lewinsky 8/6/98 GJ at 26-28; Lewinsky
7/27/98 Int. at 13. The President did not turn over this antique book in
response to a subpoena.
176. Lewinsky 8/6/98 GJ at 27-28; GJ Exhibit ML-7. The
President did not produce The Notebook in response to a subpoena.
177. Lewinsky 8/6/98 GJ at 27-28, 182-183; GJ Exhibit
ML-7. Ms. Lewinsky saw a copy of the book in the President's study in
November 1997. Lewinsky 8/6/98 GJ at 183. White House records list Oy Vey
and Vox on an October 10, 1997, catalog of books in the West Wing.
1361-DC-000000029 (Catalog of Books in the West Wing Presidential Study as of 10
October 1997). The President did not produce Oy Vey in response to a
subpoena.
178. Lewinsky 8/6/98 GJ at 27-28, 183-84; Lewinsky 7/27/98
Int. at 13; GJ Exhibit ML-7. Ms. Lewinsky testified that she had seen the
book in the President's study in November 1997. Lewinsky 8/6/98 GJ at 183-84.
The President did not produce this book in response to a subpoena.
179. Id. at 27-28, 183-84; Lewinsky 7/27/98 Int. at
12-13; GJ Exhibit ML-7.
180. Lewinsky 8/6/98 GJ at 26-28; GJ Exhibit ML-7.
181. These included a Sherlock Holmes game sometime after
Christmas 1996; a golf ball and tees on February 28, 1997; after the President
injured his leg in March 1997, a care package filled with whimsical gifts, such
as a magnet with the Presidential seal for his metal crutches, a license plate
with "Bill" for his wheelchair, and knee pads with the Presidential seal; a
Banana Republic casual shirt and a puzzle on golf mysteries on May 24, 1997; the
card game "Royalty" in mid-August 1997; shortly before Halloween of 1997, a
package filled with Halloween-related items, such as a pumpkin lapel pin, a
wooden letter opener with a frog on the handle, and a plastic pumpkin filled
with candy; and on December 6, 1997, a Starbucks Santa Monica mug and a Hugs and
Kisses box. Lewinsky 8/6/98 GJ at 27-28; GJ Exhibit ML-7; Lewinsky 7/27/97 Int.
at 12-15.
182. Clinton 8/17/98 GJ at 47.
183. Id. at 34-36.
184. Id. at 173 (emphasis added). The President
testified that "to his knowledge" he has turned over all the gifts that
Ms. Lewinsky gave him. Id. at 154-155.
185. Id. at 172-173.
186. Currie 5/6/98 GJ at 88-89; see also id.
at 184; Currie 5/14/98 GJ at 78. Courier receipts show that Ms. Lewinsky
sent nine packages to Ms. Currie. See 0837-DC-00000001 to
0837-DC-00000027.
187. T1 at 63-64.
188. Currie GJ 5/6/98 at 88-89; see also Currie GJ
5/14/98 at 78.
189. Currie 5/6/98 GJ at 129.
190. Currie 5/14/98 GJ at 145.
191. In his grand jury testimony, the President said that
this question at his civil deposition confused him and that he thought that the
questioner was asking whether he could list specific gifts he had given her
rather than whether he had ever given Ms. Lewinsky a gift. Clinton
8/17/98 GJ at 51-52. Even if that explanation were credited, the President's
answer to the hat pin question is inaccurate, particularly because he had
discussed it with Ms. Lewinsky on December 28, according to her testimony.
192. Clinton 1/17/98 Depo. at 75.
193. Lewinsky 8/6/98 GJ at 167.
194. Clinton 1/17/98 Depo. at 70-71 (emphasis added).
195. Lewinsky 8/6/98 GJ at 123; Lewinsky 8/26/98 Depo. at
57-58; Lewinsky 2/1/98 Statement at 4.
196. Lewinsky 8/6/98 GJ at 123-24; Lewinsky 2/1/98
Statement at 4 ("When asked what to do if she was subpoenaed, the Pres.
suggested she could sign an affidavit to try to satisfy their inquiry and not be
deposed.").
197. Lewinsky 8/6/98 GJ at 123 (emphasis added); Lewinsky
2/1/98 Statement at 4 ("In general, Ms. L. should say she visited the WH to
see Ms. Currie and, on occasion when working at the WH, she brought him
letters when no one else was around.").
198. Lewinsky 8/6/98 GJ at 123-24.
199. Jordan 5/5/98 GJ at 136, 142, 144-45; Lewinsky 8/6/98
GJ at 133, 135.
200. Lewinsky 8/6/98 GJ at 151-52; Lewinsky 8/20/98 GJ at
65-66; Lewinsky 2/1/98 Statement at 6.
201. Lewinsky 8/6/98 GJ at 152; Lewinsky 8/20/98 GJ at 66.
202. Lewinsky 8/6/98 GJ at 152; Lewinsky 8/20/98 GJ at 66.
See also Lewinsky 8/1/98 Int. at 11 (noting that the President said
something like "I don't know" or "I'll think about it").
203. Lewinsky 8/6/98 GJ at 154-59. See also
Lewinsky 8/1/98 Int. at 11-12.
204. Lewinsky 8/6/98 GJ at 197.
205. Clinton 8/17/98 GJ at 33.
206. Id. at 36-37 (emphasis added).
207. Id. at 39-40 (emphasis added).
208. Clinton 1/17/98 Depo. at 68.
209. Id. (emphasis added).
210. Jordan 5/5/98 GJ at 144; Lewinsky 8/6/98 GJ at
138-39.
211. Clinton 8/17/98 GJ at 36 (emphasis added).
212. Lewinsky 8/6/98 GJ at 149-153, 191-192, 195-198;
Lewinsky 8/20/98 GJ at 35-36, 47, 49, 65-66.
213. Clinton 8/17/98 GJ at 106.
214. See 18 U.S.C. ßß 1503, 1512, 1621.
215. Lewinsky 8/6/98 GJ at 121-26.
216. Id. at 126; Lewinsky 8/20/98 GJ at 70.
217. 920-DC-00000013-18.
218. 920-DC-00000018.
219. Lewinsky 8/6/98 GJ at 132.
220. Id. at 132.
221. Id. at 133.
222. Jordan 3/3/98 GJ at 159. Mr. Jordan stated that
Ms. Lewinsky was crying both on the telephone earlier that day and then
again in his office. Id. at 149-150.
223. Lewinsky 8/6/98 GJ at 149.
224. Id. at 149.
225. Id. at 152. This statement was false.
Ms. Lewinsky had "in fact . . . told people about the hat pin." Id.
226. Id. at 152. In a later grand jury appearance,
Ms. Lewinsky again described the conversation, and said "I don't remember
his response. I think it was something like, 'I don't know,' or 'Hmm' or --
there really was no response." Lewinsky 8/20/98 GJ at 66.
227. Lewinsky 8/26/98 Depo. at 58.
228. Lewinsky 8/6/98 GJ at 166-67 (emphasis added).
229. Id. at 154; Lewinsky 8/20/98 GJ at 71.
230. Lewinsky 8/6/98 GJ at 154-55.
231. Lewinsky 2/1/98 Statement at 7 (emphasis added);
see also Lewinsky 8/6/98 GJ at 179; Lewinsky 8/20/98 GJ at 62 ("I was
truthful in my [February 1] proffer").
232. Lewinsky 8/6/98 GJ at 155.
233. Id. at 154.
234. Currie 1/27/98 GJ at 57-58.
235. Currie 5/6/98 GJ at 105-06.
236. Id. at 126 (emphasis added).
237. Id. at 108.
238. Lewinsky 8/6/98 GJ at 156-58.
239. Id. at 158.
240. Currie 5/6/98 GJ at 105, 107-08.
241. Lewinsky 8/20/98 GJ at 72-73.
242. Lewinsky 8/6/98 GJ at 158.
243. FBI Receipt for Property Received, 1/23/98;
824-DC-00000001-2 (letter from Karl Metzner, attorney for Betty Currie, dated
1/23/98, to the OIC, listing items in the box).
244. Clinton 8/17/98 GJ at 43-44 (emphasis added). In his
grand jury testimony, the President repeated this "whatever you have" language
several times. Id. at 45, 46-47, 115.
245. Id. at 51.
246. Id. at 114-15.
247. Id. at 46-47.
248. Id. at 46.
249. Ms. Currie testified that she was taking St. John's
Wort to try to remember, but it was not helping. Currie 7/22/98 GJ at 172.
250. Lewinsky 2/1/98 Statement at 7 (emphasis added).
251. Lewinsky 8/6/98 GJ at 154-55; see also
Lewinsky 8/20/98 GJ at 70-72.
252. Currie 5/6/98 GJ at 126.
253. Lewinsky 9/3/98 Int. at 2.
254. Id.
255. Id. In addition, under her immunity agreement,
Ms. Lewinsky has no apparent motive to shift blame on this issue. In fact,
just the opposite. If the truth were that she had called Ms. Currie, she
could have said as much, and it would not have affected Ms. Lewinsky's
legal rights or obligations at all. Moreover, she stated that does not want to
harm the President with her truthful testimony. Lewinsky 8/26/98 Depo. at 69.
256. Currie 5/6/98 GJ at 108.
257. Currie 5/6/98 GJ at 32; see also id. at
44, 45.
258. Clinton 8/17/98 GJ at 106.
259. Clinton 1/17/98 Depo. at 75.
260. Lewinsky 8/20/98 GJ at 5 (Ms. Lewinsky could not
visit the President unless Ms. Currie cleared her in); see
also Lewinsky 7/31/98 Int. at 4-5 (Currie was "in the loop" when it
came to keeping Lewinsky's relationship with the President discreet); Currie GJ
5/6/98 at 14-15, 57-58, 97-98.
261. Lewinsky 8/6/98 GJ at 189-91, 197-98.
262. Id. at 189, 198.
263. Lewinsky 9/3/98 Int. at 2.
264. Lewinsky 8/6/98 GJ at 198.
265. Id.
266. V0002-DC-0000093-116.
267. Clinton 8/17/98 GJ at 127.
268. Id. at 49-50.
269. President Clinton also committed perjury before the
grand jury if he was involved in the concealment of the gifts.
270. Lewinsky 8/6/98 GJ at 121-22.
271. Id. at 122-23.
272. Lewinsky 2/1/98 Statement at 4.
273. Lewinsky 8/19/98 Int. at 4-5; see also
Lewinsky 8/6/98 GJ at 123.
274. Id. at 124.
275. Id. at 234 (emphasis added).
276. Id. at 145-48.
277. Lewinsky Affidavit, Jan. 7, 1998, 8
(849-DC-00000634).
278. Ms. Lewinsky spoke to one of her friends,
Catherine Allday Davis in early January. Ms. Lewinsky informed her of her
situation. Ms. Davis said that "I was very scared for her" and "I didn't
want to see her being like Susan McDougal." Catherine Davis 3/17/98 GJ at 80.
Ms. Davis said that she did not want Monica "to lie to protect the
President." Id. at 173.
279. Lewinsky 2/1/98 Statement at 9; see also
Lewinsky 8/19/98 Int. at 4.
280. Jordan 5/5/98 GJ at 223-25.
281. Id. at 223-25.
282. Carter 6/18/98 GJ at 113.
283. Clinton 1/17/98 Depo. at 54.
284. Id. at 54.
285. Id. at 204 (emphasis added).
286. Clinton 8/17/98 GJ at 120. See also id.
at 82 ("I was glad she saw a lawyer. I was glad she was doing an affidavit.").
287. Clinton 8/17/98 GJ at 117.
288. Id. at 22 (emphasis added).
289. Id. at 25.
290. Id. at 30.
291. Id. at 59 (emphasis added).
292. Id. at 20.
293. Id. at 61.
294. Id. at 61-62.
295. Id. at 26.
296. Lewinsky 8/6/98 GJ at 53-54 (Q: "When you say that
you planned to bring papers, did you ever discuss with the President the fact
that you would try to use that as a cover?" ML: "Yes.").
297. Muskett 7/21/98 GJ at 25-26, 83, 89-90; Fox 2/17/98
GJ at 34-35.
298. Householder 8/13/98 GJ at 11; Byrne 7/30/98 GJ at 9,
16, 30, 37; Garabito 7/30/98 GJ at 17. Other Secret Service officers testified
that they saw Ms. Lewinsky in the West Wing carrying paperwork. Moore
7/30/98 GJ at 25-26; Overstreet 8/11/98 GJ at 7; Wilson 7/23/98 GJ at 32.
299. Lewinsky 8/6/98 GJ at 54-55.
300. Id. at 55.
301. Id. at 27-28; GJ Exhibit ML-7.
Ms. Lewinsky testified that she met with the President in private after she
left her position at the White House on eleven dates in 1997: February 28
(following the radio address), March 29, May 24, July 4, July 14, July 24,
August 16, October 11, November 13, December 6, and December 28.
302. See Appendix, Tab E (Table of Recorded Visits).
303. Lewinsky 8/6/98 GJ at 55.
304. Clinton 8/17/98 GJ at 117.
305. Lewinsky 8/6/98 GJ at 123.
306. Id. at 123-24 (emphasis added).
307. Clinton 1/17/98 at 50-51 (emphasis added).
308. Id. at 52-53.
309. Id. at 192-93 (emphasis added).
310. Id. at 197.
311. Clinton 8/17/98 GJ at 119.
312. Id. at 117. According to Ms. Lewinsky,
this was the conversation in which the President told her that her name was on
the Jones witness list, and in which she and the President discussed her
filing an affidavit and the continued use of cover stories. Lewinsky 8/6/98 GJ
at 121-23.
313. Clinton 8/17/98 GJ at 118, 119-20 (emphasis added).
The President repeated at several other points in his testimony that he did not
remember what he said to Ms. Lewinsky in the phone conversation on December
17. See id. at 117 ("I don't remember exactly what I told her that
night."); id. at 118-19 ("you are trying to get me to characterize
something [the cover stories] that I'm -- that I don't know if I said or not").
314. The OIC is aware of no evidence that Mr. Bennett
knew that Ms. Lewinsky's affidavit was false at the time of the President's
deposition.
315. Lewinsky 8/6/98 GJ at 67-69.
316. 849-DC-00000002-10.
317. Ms. Lewinsky said that on October 6, 1997, she
had been told by Linda Tripp that a friend of Tripp's at the National Security
Council had reported that Lewinsky would not be getting a White House job.
Ms. Lewinsky said that at that point she finally decided to move to New
York. Lewinsky 7/31/98 Int. at 9-10.
318. Id. at 10-11.
319. Id. at 11.
320. Lewinsky 8/13/98 Int. at 2-3.
321. Lewinsky 8/6/98 GJ at 103-04.
322. 968-DC-00003569 (Presidential call log).
323. Bowles 4/2/98 GJ at 67.
324. Id. at 70.
325. Podesta 2/5/98 GJ at 31-33, 35, 40-41.
326. Richardson 4/30/98 Depo. at 28.
327. Lewinsky 7/31/98 Int. at 12. Ms. Lewinsky said
that she spoke to President Clinton about the phone call on October 23, during
which she suggested to the President that she was interested in some job other
than at the United Nations. Id. According to Ms. Lewinsky, the
President replied that he just wanted her to have some options. Id.
Ms. Lewinsky said that she spoke to the President again on October 30
about the interview, in which she expressed anxiety about meeting with the
Ambassador. Ms. Lewinsky said that the President told her to call Betty
Currie after the interview so he would know how the interview went. Id.
at 13.
328. Lewinsky 7/31/98 Int. at 14.
329. Lewinsky 8/26/98 Depo. at 67; Lewinsky 7/31/98 Int.
at 14.
330. Lewinsky 7/31/98 Int. at 14.
331. Id. at 15. Ms. Lewinsky related this
incident to her friend, Catherine Allday Davis, in a near-contemporaneous
email. 1037-DC-00000017. See also Catherine Davis 3/17/98 GJ at 124.
332. Lewinsky 7/31/98 Int. at 14-15.
333. V004-DC-00000135 (Akin Gump phone records); Jordan
5/5/98 GJ at 52-55.
334. Lewinsky 8/6/98 GJ at 26-27 and GJ Exhibit ML-7.
Ms. Lewinsky stated that just before Thanksgiving, 1997, she called Betty
Currie and asked her to contact Vernon Jordan and prod him along in the job
search. Lewinsky 8/4/98 Int. at 8. It was Ms. Lewinsky's understanding that
Jordan was helping her at the request of the President and Ms. Currie.
Id.
335. See Clinton 8/17/98 GJ at 84-85. Under the
federal witness tampering statutes, it is a crime to corruptly persuade a
witness to alter his testimony. See 18 U.S.C. ßß 1503, 1512.
336. 1178-DC-00000026 (WAVES records).
337. Lewinsky 8/4/98 Int. at 2.
338. Jordan 3/3/98 GJ at 48-49.
339. Id. at 65.
340. 921-DC-000000459-66.
341. Lewinsky 8/6/98 GJ at 121-23.
342. Id. at 121; Lewinsky 8/1/98 Int. at 6, 10.
343. Lewinsky 8/6/98 GJ at 127-28.
344. Id. at 138-41; Lewinsky 2/1/98 Statement at 6;
cf. Jordan 3/3/98 GJ at 182-90 (recalls discussion of job search only).
345. V002-DC-000000052 (President Clinton's Supplemental
Responses to Plaintiff's Second Set of Interrogatories).
346. Lewinsky 8/6/98 GJ at 149.
347. Lewinsky 8/6/98 GJ at 151-52; Lewinsky 7/27/98 Int.
at 7. This was the same meeting where the President and Ms. Lewinsky
discussed their concerns over the Lewinsky subpoena and its demand for the
production of gifts.
348. Sutphen 5/27/98 Depo. at 39; Lewinsky 7/27/98 Int. at
5.
349. Lewinsky 8/6/98 GJ at 191-98, 205-06.
350. Jordan 5/5/98 GJ at 223-25.
351. Id. at 232; Lewinsky 8/6/98 GJ at 209.
352. Lewinsky 8/6/98 GJ at 208-10.
353. Jordan 5/28/98 GJ at 39 (emphasis added).
354. Ms. Jones's attorney named the "other women" he
planned to call at trial:
Mr. Fisher: They would include . . . Monica Lewinsky
Judge Wright: Can you tell me who she is?
Mr. Fisher: Yes, your Honor.
Judge Wright: I never heard of her.
Mr. Fisher: She's the young woman who worked in the White House for a
period of time and was later transferred to a job in the Pentagon.
1414-DC-00001327-28.
355. 1414-DC-00001334-46.
356. Lewinsky 8/6/98 GJ at 214.
357. Bowles 4/2/98 GJ at 78-79.
358. Hilley 5/19/98 GJ at 74; Hilley 5/26/98 GJ at 11.
359. 830-DC-0000007.
360. 921-DC-00000775-78; 1292-DC-000000661-86.
361. The arrangement may not be explicitly spelled out. In
this case, for example, there is no evidence that Ms. Lewinsky received an
explicit proposal where someone said, "I'll give you a job if you lie under
oath."
362. In a recorded conversation, Ms. Lewinsky
discussed the job assistance various individuals, including Vernon Jordan, gave
Webster Hubbell, and she expressed her concern that someone could similarly
consider the assistance she was provided as improper in some manner: "I think
somebody could construe, okay? Somebody could construe or say, 'Well, they gave
her a job to shut her up. They made her happy.'" T2 at 11.
363. Clinton 1/17/98 Depo. at 68-69 (emphasis added).
364. Id. at 72 (emphasis added). See also
id. at 73 ("[m]y understanding was . . . that she was going to move to
New York and that she was looking for some advice [from Jordan] about what she
should do when she got there").
365. Jordan 3/5/98 GJ at 26.
366. Jordan 3/5/98 GJ at 29.
367. 833-DC-0017890 (Pentagon phone records). See
also Jordan 3/3/98 GJ at 92-93 (testifying that Ms. Lewinsky called him
up and she was "very upset" about "being served with a subpoena in the Paula
Jones case").
368. Jordan 5/5/98 GJ at 142-43.
369. Id. at 133-34. Mr. Jordan had told
Ms. Lewinsky to come see him at 5:00 p.m. Lewinsky 8/6/98 GJ at 129. See
also Jordan 5/5/98 GJ at 144 (relating why he wanted to tell the President
about Ms. Lewinsky's subpoena).
370. 1178-DC-00000014 (White House phone records); Jordan
5/5/98 GJ at 145.
371. Jordan 5/5/98 GJ at 145-47.
372. Jordan 3/3/98 GJ at 167-69. White House records
indicate that Mr. Jordan was scheduled to arrive at 8:00 p.m., and actually
arrived at 8:15 p.m. See 1178-DC-00000026 (WAVES record). Mr. Jordan
testified, however, that he is certain that he did not arrive at the White House
until after 10 p.m. Jordan 5/5/98 GJ at 164.
373. Jordan 3/3/98 GJ at 169.
374. Id. at 172.
375. Jordan 5/5/98 GJ at 221-22.
376. Jordan 3/5/98 GJ at 24-25, 33; Jordan 5/5/98 GJ at
223-26; V004-DC-00000159 (Akin Gump phone records).
377. The affidavit is dated January 7, 1998, so the
conversation informing the President that it had been signed could not have
occurred any earlier than this date.
378. Jordan 5/5/98 GJ at 224-26.
379. Jordan 3/5/98 GJ at 25. Cf. Jordan 5/5/98 GJ
at 225-26 (When President was told Ms. Lewinsky signed affidavit, "[t]here
was no elation. There was no celebration.").
380. Jordan 3/5/98 GJ at 26 (emphasis added).
381. Id. at 125.
382. Clinton 8/17/98 GJ at 73-75.
383. Id. at 75-77.
384. That matter is still under criminal investigation by
this Office.
385. Under the federal witness tampering and obstruction
of justice statutes, it is a crime to attempt to corruptly persuade another
person with intent to influence the person's testimony in an official
proceeding. See 18 U.S.C. ßß 1503, 1512.
386. Clinton 1/17/98 Depo. at 68.
387. Id. at 70-71.
388. Id. at 72-73, 79.
389. Id. at 80-82.
390. Id. at 212-213.
391. Jones v. Clinton, Order of Judge Susan Webber
Wright, January 29, 1998, at 2.
392. Currie 1/24/98 Int. at 8 ("CURRIE advised CLINTON may
have mentioned that CURRIE might be asked about LEWINSKY"); Currie 5/6/98 GJ at
118 (Q: "Didn't the President talk to you about Monica's name coming up in those
cases [Whitewater or Jones v. Clinton]?" BC: "I have a vague recollection of him
saying that her name may come up. Either he told me, somebody told me, but I
don't know how it would come up.").
393. Currie 5/7/98 GJ at 80-81; GJ Exhibit BC 3-10,
1248-DC-00000307 (Presidential Call Log, Jan. 17, 1998). The White House call
log indicates that the President called Ms. Currie at 7:02 p.m., they
talked at 7:13 p.m., and the call ended at 7:14 p.m.
The President returned to the White House from the deposition at 4:26 p.m.
1248-DC-00000288 (Kearney's logs).
394. Currie 1/27/98 GJ at 65-66. The President confirmed
that he called Betty Currie shortly after his deposition, and that he asked her
to come in on Sunday, her day off. Clinton 8/17/98 GJ at 148-49.
The next day at 1:11 p.m., the President again called Ms. Currie at
home. Currie 5/7/98 GJ at 85. GJ Exhibit BC 3-11, 1248-DC-00000311 (Presidential
Call Log, Jan. 18, 1998). Ms. Currie could not recall the content of the
second call, stating: "He may have called me on Sunday at 1:00 after church to
see what time I can actually come in. I don't know. That's the best I can
recollect." Id. at 89.
395. Currie 5/7/98 GJ at 91. See also Clinton
8/17/98 GJ at 149 (acknowledging that Ms. Currie normally would not be in
the White House on Sunday).
396. Currie 1/27/98 GJ at 70.
397. Currie 1/24/98 Int. at 6.
398. Currie 1/27/98 GJ at 71, 73-74. At different points
in the grand jury testimony, there are minor variations in the wording used or
agreed to by Ms. Currie in recounting the President's statements.
Compare id. at 71 ("You were always there when Monica was there."
(Currie statement)) with id. at 74 (Q: "'You were always there
when she was there, right?' Is that the way you remember the President stating
it to you?" BC: "That's how I remember him stating it to me.").
399. Id. at 72.
400. Id. at 72. See also Currie 1/24/98 Int.
at 6.
401. Ms. Currie interpreted this last comment as
simply a statement, not necessarily one for which the President was seeking her
agreement. Currie 1/27/98 GJ at 72-73.
402. Currie 1/27/98 GJ at 71 (Q: "Okay. And then you told
us that the President began to ask you a series of questions that were more like
statements than questions." BC: "Right.").
403. Id. at 72-76.
404. Id.
405. Currie 1/24/98 Int. at 7.
406. Id. at 6.
407. Currie 1/27/98 GJ at 32-34.
408. Id. at 82-83.
409. Id. at 76.
410. Currie 5/7/98 GJ at 99-100. Ms. Lewinsky called
Betty Currie shortly after 10:00 p.m., but told Ms. Currie that she could
not talk to her that night. Id. at 101.
411. GJ Exhibit BC 3-12, V006-DC-00002068 (call log). The
call lasted approximately one minute.
412. Currie 5/7/98 GJ at 102.
413. 831-DC-00000009 (Lewinsky pager records). As the
records reflect, Betty Currie used the name Kay or Kate when paging Monica
Lewinsky. Lewinsky 8/6/98 GJ at 215-17; Currie 7/22/98 GJ at 148-49.
414. V006-DC-00002069; V006-DC-00002070 (White House
telephone records). Ms. Currie testified that she probably called the
President to tell him that she had not yet spoken to Ms. Lewinsky.
Ms. Currie does not remember the substance of the conversations with the
President for either of the calls that he made to her. Currie 5/7/98 GJ at
106-07. The phone calls from the President were approximately one and two
minutes in length. That Monday, January 19, was a holiday, and Ms. Currie
was not at work.
415. Currie 1/27/98 GJ at 80-82 (emphasis added).
416. Clinton 8/17/98 GJ at 56-57 (emphasis added). See
also id. at 131-32 (Q: "You said that you spoke to her in an attempt to
refresh your own recollection about the events involving Monica Lewinsky, is
that right?" WJC: "Yes.").
417. Id. at 132-34 (emphasis added).
418. Id. at 134.
419. Id. at 134-35 (emphasis added).
420. Id. at 136-37.
421. The President is referring to the statement he read
at the beginning of his grand jury appearance.
422. Id. at 139-40 (emphasis added).
423. Id. at 141-42.
424. Two federal criminal statutes, Sections 1512 and 1503
of Title 18 of the United States Code, prohibit misleading potential witnesses
with the intent to influence their grand jury testimony. Section 1512 provides
that whoever "corruptly . . . engages in misleading conduct toward another
person, with intent to -- (1) influence, delay, or prevent the testimony of
any person in an official proceeding . . . shall be fined under this title or
imprisoned not more than ten years, or both." 18 U.S.C. ß 1512(b). It is no
defense to a charge of witness tampering that the official proceeding had not
yet begun, nor is it a defense that the testimony sought to be influenced turned
out to be inadmissible or subject to a claim of privilege. 18 U.S.C. ß 1512(e).
Section 1503 provides that whoever "corruptly or by threats or force . . .
influences, obstructs, or impedes or endeavors to influence, obstruct, or impede
the due administration of justice" has committed a felony. 18 U.S.C. ß
1503(a)-(b).
The Governor of Guam was convicted of witness tampering for lying to a
potential witness "intending that [the witness] would offer [the Governor's]
explanation concerning the [illegally used] funds to the FBI." United States
v. Bordallo, 857 F.2d 519, 525 (9th Cir. 1988), amended on other
grounds, 872 F.2d 334 (9th Cir.), cert. denied, 493 U.S. 818 (1989).
425. Podesta 2/5/98 GJ at 13. Mr. Podesta has served
as Deputy Chief of Staff since January 1997, and previously served as Staff
Secretary for the Clinton Administration from 1993 through 1995. Podesta 2/5/98
GJ at 9-10.
426. Podesta 6/16/98 GJ at 84-85.
427. Id. at 85.
428. Id.
429. Id. at 92 (emphasis added).
430. Mr. Podesta dated this conversation as perhaps
taking place on January 23, 1998. Podesta 6/16/98 GJ at 88.
431. Id. at 88.
432. Mr. Podesta testified that he was "sensitive
about not exchanging information because I knew I was a potential witness."
Podesta 6/23/98 GJ at 79.
433. Podesta 6/16/98 GJ at 94; see also Podesta
6/23/98 GJ at 79.
434. See id. at 79 (emphasis added).
435. Podesta 6/23/98 GJ at 77-78.
436. Bowles 4/2/98 GJ at 12. Mr. Bowles has been the
Chief of Staff for President Clinton since January 20, 1997. Id.
437. Id. at 83-84 (emphasis added).
438. Id. at 91.
439. Blumenthal 2/26/98 GJ at 4-5.
440. Blumenthal 6/4/98 GJ at 46-53.
441. Blumenthal 6/4/98 GJ at 49 (emphasis added).
442. Blumenthal 6/25/98 GJ at 41.
443. Blumenthal 6/4/98 GJ at 50.
444. Blumenthal 6/25/98 GJ at 27.
445. Blumenthal 6/4/98 GJ at 52 (emphasis added).
446. Blumenthal 6/25/98 GJ at 17. See also
Blumenthal 6/25/98 GJ at 26 ("My understanding was that the accusations against
him which appeared in the press that day were false, that he had not done
anything wrong").
447. Ickes 7/23/98 GJ at 8. Mr. Ickes worked as
Deputy Chief of Staff for President Clinton from early 1994 through January
1997. Id.
448. Ickes 6/10/98 GJ at 21-22, 66 (meeting occurred on
Monday following the week that the media first reported the Lewinsky story).
449. Ickes 6/10/98 GJ at 73 (emphasis added). See
also Ickes 8/5/98 GJ at 88 ("[H]e denied to me that he had had a sexual
relationship. I don't know the exact phrase, but the word 'sexual' was there.
And he denied any obstruction of justice").
450. Ickes 6/10/98 GJ at 73.
451. Clinton 8/17/98 GJ at 105-109 (emphasis added).
452. Id. at 107.
453. 1512-DC-00000037.
454. Text of President's Address to Nation, reprinted
in Washington Post, August 18, 1998, at A5.
455. Morris 8/18/98 GJ at 28.
456. Id. at 30.
457. Id. (emphasis added).
458. Id. at 35.
459. Televised Remarks by President Clinton at the White
House Education News Conference, Monday, January 26, 1998, 10:17 a.m.
460. Other than Ms. Lewinsky's status and age,
several aspects of the relationship could have raised public concerns.
First, Ms. Lewinsky lost her job at the White House in April 1996
and was transferred to the Pentagon. Under oath, Ms. Lewinsky was asked:
"Do you believe that if you hadn't had a sexual relationship with the President
that you would have kept your job at the White House?" She answered: "Yes."
Lewinsky 8/26/98 Depo. at 60.
Second, Ms. Lewinsky was asked, "Do you believe that your
difficulty or inability to return to employment at the White House was because
of your sexual relationship with him?" She answered: "Yes. Or the issues that,
or that the problems that people perceived that really were based in truth
because I had a relationship with the President." Lewinsky 8/26/98 Depo. at 60.
Third, in late 1997, the President saw to it that Ms. Lewinsky
received extraordinary job assistance. Such assistance might have been tied to
her involvement in the Jones case, as discussed earlier, as well as a
benefit to an ex-paramour. If the latter was a factor, then the President's
actions discriminated against all of those interns and employees who did not
receive the same benefit.
461. NBC News, "Today" Show, interview with Mrs. Clinton
by Matt Lauer, Jan. 27, 1998, 1998 WL 5261146.
462. Associated Press, Jan. 27, 1998, 1998 WL 7380187.
463. Nightline, Jan. 26, 1998, 1998 WL 5372969.
464. Associated Press, Jan. 26, 1998.
465. Schmidt and Baker, Ex-Intern Rejected Immunity
Offer in Probe, Washington Post, Jan. 24, 1998, at A1.
466. "The NewsHour with Jim Lehrer," PBS, Jan. 21, 1998,
1998 WL 8056086. The President stated later in the interview: "I'll do my best
to help them get to the bottom of it."
467. All Things Considered, National Public Radio, Jan.
21, 1998, 1998 WL 3643482.
468. Roll Call Interview, Jan. 21, 1998, 1998 WL
5682372.
469. Lloyd N. Cutler, Legal Opinion of September 28, 1994.
470. Brief for President Clinton, filed June 15, 1998, at
30, In re Lindsey, 148 F.3d 1100 (D.C. Cir. 1998).
471. 418 U.S. 683 (1974).
472. Hernreich 2/25/98 GJ at 5-7.
473. Even though the White House later withdrew the claim,
the mere assertion of Executive Privilege as to Ms. Hernreich is important.
Such an invocation causes a needless, but substantial, expenditure of litigation
resources and delays and impedes the grand jury process. The overuse of
Executive Privilege against the United States in the criminal process
thus ultimately hinders the faithful execution of the laws -- as the Supreme
Court unanimously recognized twenty-four years ago in United States v.
Nixon.
474. In re Grand Jury Proceeding, 5 F. Supp. 2d 21
(D.D.C. 1998).
475. John F. Harris, Clinton Finds There's No Escape;
In Africa, President Sidesteps Executive Privilege Questions, Wash. Post,
Mar. 25, 1998, at A2.
476. Declaration of Charles F.C. Ruff at 56 (Mar. 17,
1998).
477. Breuer 8/4/98 GJ at 96-97, 108-09.
478. In re Grand Jury Proceedings, Unpublished
Order (under seal), August 11, 1998.
479. Mills 8/11/98 GJ at 53-54.
480. Id. at 53, 54, 64-66, 71-74, 77-78.
481. Clinton 8/17/98 GJ at 167 (emphasis added).
482. Lindsey 8/28/98 GJ at 58. The President's use and
withdrawal of Executive Privilege was not new to this Office. In August 1996,
the White House invoked Executive Privilege to prevent White House attorneys
from producing documents regarding their communications with Hillary Rodham
Clinton. After the OIC filed a motion to compel in the United States District
Court for the Eastern District of Arkansas, the claim was withdrawn, and the
White House relied solely on a claim of government attorney-client privilege,
which the United States Court of Appeals for the Eighth Circuit rejected. The
public never knew at that time of the President's assertion of Executive
Privilege in that case.
In 1997, the President again asserted Executive Privilege -- this time to
prevent Thomas "Mack" McLarty from testifying fully. The conversations in
question related in part to Mr. McLarty's efforts to find employment for
Webster Hubbell as Mr. Hubbell was resigning his position as Associate
Attorney General. The President withdrew the assertion before the OIC filed a
motion to compel.
483. President Clinton's Motion for Continuance, filed
July 28, 1998.
484. DeFrank, Prez Vows Cooperation Pledges Complete,
Truthful Testimony, N.Y. Daily News, Aug. 1, 1998, at 3.
485. Clinton 8/17/98 GJ at 7.
486. Clinton 8/17/98 GJ at 10.
487. E.g., Clinton 8/17/98 GJ at 12, 102, 109, 110.
488. Text of President's Address to Nation, reprinted
in Washington Post, August 18, 1998, at A5 (emphasis added).