THIS STORY HAS BEEN FORMATTED FOR EASY PRINTING
Deposition of Cardinal Bernard Law
October 11, 2002, Offices of Greenberg Traurig, Boston
On October 11, 2002, Cardinal Bernard F. Law was deposed by Boston lawyer Roderick MacLeish Jr. in connection with civil lawsuits filed against Law by three alleged victims of the Rev. Paul R. Shanley. Questioning also took place on Aug. 13-14 and Oct. 16, 2002. Two previous days of deposition were taken June 5 and June 7, 2002.
COMMONWEALTH OF MASSACHUSETTS
COUNTY OF MIDDLESEX
GREGORY FORD, et al.,
Plaintiff,
Superior Court
vs. Civil Action
No. 02-0626
BERNARD CARDINAL LAW, a/k/a,
CARDINAL BERNARD F. LAW,
Defendants.
---------------------------------
PAUL W. BUSA,
Plaintiff,
vs. Civil Action
No. 02-0822
BERNARD CARDINAL LAW, a/k/a,
CARDINAL BERNARD F. LAW, et al.
Defendants.
-------------------------------------
ANTHONY DRISCOLL,
Plaintiff,
vs. Civil Action
No. 02-1737
BERNARD CARDINAL LAW, a/k/a,
CARDINAL BERNARD F. LAW, et al.
Defendants.
THE FIFTH DAY OF THE VIDEOTAPED DEPOSITION
OF CARDINAL BERNARD F. LAW, a witness called by
the Plaintiffs, taken pursuant to the applicable
provisions of the Massachusetts Rules of Civil
Procedure, before Kathleen L. Good, Registered
Professional Reporter and Notary Public in and
for the Commonwealth of Massachusetts, at the
offices of Greenberg Traurig, One International
Place, Boston, Massachusetts 0, on Friday,
October 11, 2002, commencing at 10:04 a.m.
K. L. GOOD & ASSOCIATES
P. O. BOX 6094
BOSTON, MASSACHUSETTS
TEL. (781) 598-6405 - FAX (781) 598-
APPEARANCES:
Greenberg Traurig
(by Roderick MacLeish, Jr., Attorney, and
Courtney Pillsbury, Attorney)
One International Place
Boston, Massachusetts
- and -
Murphy, Pearson, Bradley & Feeney
(by James A. Murphy, Attorney)
88 Kearny Street
San Francisco, California 94108
Attorneys for the Plaintiffs
The Rogers Law Firm, PC
(by Wilson D. Rogers, Jr., Attorney)
One Union Street
Boston, Massachusetts
Attorneys for the Defendants
Todd & Weld
(by Ian Crawford, Attorney)
28 State Street
Boston, Massachusetts
Attorneys for Cardinal Law personally
ALSO PRESENT: Wayne Martin, Videographer
Rodney Ford
Father John Connolly
Thomas F. Maffei, PC
Mr. and Mrs. Doe
Diane Nealon
Mr. and Mrs. Doe-1.
John Doe
WITNESS
CARDINAL BERNARD F. LAW,
Resumed
EXAMINATION BY MR. MacLEISH
DIRECT EXAMINATION
THE VIDEOGRAPHER: We are now recording
and on the record. My name is Wayne Martin. I'm
a certified legal video specialist for National
Video Reporters, Incorporated. Our business
address is 58 Batterymarch Street, Suite 243,
Boston, Massachusetts .
Today is October 11, 2002, and the time is
10:04 a.m. This is the continued deposition of
Cardinal Bernard Law, Volume 5, in a case being
heard in Suffolk Superior Court, Gregory Ford,
et. al., Plaintiff, versus Bernard Cardinal Law,
a/k/a Cardinal Bernard F. Law, Defendant, Civil
Action No. 02- and related actions.
The deposition is being taken at One
International Place in Boston, Massachusetts, on
behalf of the plaintiffs.
The court reporter is Kathleen Good of K. L.
Good & Associates.
Counsel will state their appearances and the
examination will continue.
MR. MacLEISH: Roderick MacLeish, Jr.,
for the plaintiffs.
MS. PILLSBURY: Courtney Pillsbury, for
the plaintiffs.
MR. MURPHY: James Murphy on behalf the
plaintiffs.
MRS. DOE: Mrs. Doe, parent.
MR. DOE: Mr. Doe, parent.
MS. NEALON: Diane Nealon for the
plaintiffs.
MR. MAFFEI: Present, Thomas Maffei,
MR. ROGERS: Wilson D. Rogers, Jr., for
His Eminence Cardinal Law.
MR. CRAWFORD: And Ian Crawford, for
His Eminence Bernard Cardinal Law.
CARDINAL BERNARD F. LAW, Resumed
DIRECT EXAMINATION BY MR. MacLEISH, cont.
Q: Good morning. Again, thank you for --
A: Good morning, Mr. MacLeish.
Q: -- coming in to do your deposition today. I
think this is now the fifth time we've been
together.
First, let me just afford you the
opportunity, if you would like it, to modify,
correct any part of your previous deposition that
you would like to modify or correct.
Is there anything you would like to correct,
modify, change in any way, Cardinal Law?
A: I'm not conscious of anything other than, you
know, I did review some of the records and I have
perhaps made some corrections. I can't recall
the details of those, but I have nothing in my
mind right now that I need to refer to.
Q: Do you recall that when we were last together, we
talked about your experience in Cape-Girardeau,
Missouri, when you were bishop of the Springfield
diocese?
A: I recall your raising that issue, yes.
Q: And do you recall me asking you whether when you
were bishop of Springfield, Missouri, whether you
were ever confronted with any allegation of
sexual misconduct by a priest?
A: Yes.
Q: And you testified, did you not -- and we have the
transcript right here -- that you could recall
only one instance involving a Leonard Chambers?
A: That's correct.
Q: Did you know -- was there a parish under the
Springfield diocese in Branson, Missouri, known
as the Parish of Our Lady of the Lake?
A: There was, and still is, I think.
Q: And did you know Father Paul McHugh?
A: I knew Father Paul McHugh.
Q: He's deceased at this point; is that right?
A: He's deceased.
Q: Did you know a Father Hugh Beehan?
A: That name does not -- that doesn't ring a bell
with me.
Q: Okay. Let me just give you the spelling on that,
B-e-e-h-a-n, in case I mispronounced it.
A: No, I don't recall the name.
Q: Okay. Did you have occasion, Cardinal Law, to
assist at mass in that parish at some point prior
to the time that you left the Diocese of
Springfield, Missouri, when Father McHugh was
ill?
A: Did I have occasion to celebrate mass in that
parish?
Q: Yes.
A: Yes, I did. I was there ten years so there were
times when I was in that parish.
Q: Do you recall specifically that there came a time
when Father McHugh became ill and was no longer
able to celebrate mass?
A: No, I don't recall that. I recall that he died,
but I don't recall that there was an inability to
celebrate mass
Q: Did he die when you were Bishop of Springfield?
A: He did.
Q: Was there a period of time when there was a need
for extra assistance at that parish because of
the unfortunate death of Father McHugh?
A: I'm sure there would have been, but I don't
recall the details of that.
Q: Did you ever fill in or assist in that parish
with the celebration of mass or any other duties
because of the death of Father McHugh?
A: I may have. I have no recollection of that. I
was -- you know, the diocese was a different kind
of a diocese than Boston.
Q: Right.
A: There were -- so that it could very well have
been that I went down on a weekend to fill in if
there was a -- if I was free. But I don't recall
that detail.
Q: Do you recall in 1982 meeting with a twelve-year
old young man who was interested in the
priesthood and this young man informing you that
he had been molested by Father McHugh?
A: I certainly do not recall that.
Q: Do you recall telling this, any young man, when
you were in the Diocese of Springfield,
Missouri -- withdraw the question.
Do you recall, Cardinal Law, telling a young
man who was making allegations against Father
McHugh that he had to keep quiet about the abuse
if he wanted to go on to seminary, or words to
that effect?
MR. CRAWFORD: Object to the form.
You may answer.
THE WITNESS: Excuse me?
MR. CRAWFORD: You may answer.
A: First of all, I don't recall such an allegation.
Q: Right.
A: And No. 1.
Q: Right.
A: No. 2, I have certainly never told anyone under
any circumstances that if you make such an
accusation, you would not be accepted for the
seminary.
Q: Okay. So if this young man were to so testify,
then, even though you don't have a recollection,
in your view, based upon your practices at the
time, you have to state that such an allegation
would be untrue?
MR. ROGERS: Objection to the form.
MR. CRAWFORD: Objection.
MR. MacLEISH: That's bad question.
Let me put it to you this way.
Q: If a young man were to so testify that he had
been told by you to keep quiet about allegations
of abuse involving Father McHugh, that would be
incorrect testimony in your view; is that
correct?
MR. CRAWFORD: Objection to form.
You may answer.
MR. MacLEISH: Go ahead.
A: Mr. MacLeish, in terms of the hypothetical that
you put to me --
Q: Right.
A: -- I have -- do I have to answer hypotheticals?
The fact of the matter is that I do not
recall at all having occurred the instance that
you have put before me. No. 1.
No. 2, I do not recall ever having said to
anyone that if you persist in making such an
accusation, that will preclude you from being
considered as an acceptable candidate for the
seminary.
Q: And you don't also remember ever telling anyone
to keep quiet about allegations of sexual
misconduct that they might make against a priest;
is that correct?
A: That's another question, isn't it? That's a much
broader question.
Q: Right.
A: In the context in which you set forth the
question, I do not recall that. I do not recall
in the wider context either.
Q: Okay. So just so I'm clear, it's never, as you
can best recall, been your practice to tell
anyone, from the time that you first were
ordained up until the present time, to keep quiet
about allegations of sexual misconduct involving
a priest. Is that your testimony?
MR. CRAWFORD: Objection to form.
You can answer if you can.
A: I'm not sure that I can respond to that,
Mr. MacLeish. I can't recall from 1961 until now
every conversation that I have had, and it
would -- is that my policy or has it been my
custom or has it been my approach to suggest that
the best way to handle this issue is to keep it
quiet? The answer is no.
Q: Okay. Let's just -- the question did span a
broad period of time. So let's look at Boston
since you arrived as Archbishop here in Boston.
Since that time, Cardinal Law, can you ever
recall stating to anyone who was making an
allegation of sexual misconduct against a priest
that that person should be quiet, not report the
allegation, words to that effect?
MR. CRAWFORD: Objection to the form.
You can answer.
A: No.
Q: You cannot recall?
A: No.
Q: Okay. Now, when you came to Boston in 1984, you
were aware, were you not, of a social service
agency called the Department of Social Services?
You became aware of that agency?
A: Well, I became aware of it. I probably wasn't
aware when I came, but I became aware of it, yes.
Q: You became generally aware there was a child
protective agency in Massachusetts; is that
correct?
A: I would have become aware of it indirectly
through Catholic Charities, which is our social
service arm and which would interact and
interface with social services.
Q: Would it be fair to state that by 1986, you were
aware that there was such a child protective
agency in Massachusetts called the Department of
Social Services?
A: I can't answer when that was that I became
specifically aware of that, but I am aware of it.
I was aware of the facts in a general way that
this state, like most states, would have an
appropriate agency to handle these matters.
Q: When you say "these matters," you're referring --
A: With regard to child welfare.
Q: Let me finish the question.
When you say "these matters," you're
referring to matters involving the welfare of
children; is that correct?
A: That's correct.
Q: And that includes the abuse and neglect of
children; is that correct?
A: That's correct.
Q: And you may have not have known the precise name
then by 1986 of the child protective agency, but
you were generally aware that there was such an
agency here in Massachusetts; is that correct?
MR. CRAWFORD: Objection to the form.
You may answer.
A: I was generally aware that there would have been
a state agency charged with the social welfare of
children, yes.
Q: Is it true that one of the reasons why it was
not, as you put it, your custom or policy to tell
people to keep quiet about allegations of sexual
abuse was because you wanted these matters to be
taken seriously by public authorities when people
reported them? Is that correct?
MR. ROGERS: Objection.
A: Yes. I would not want to give the impression, in
response to your question, Mr. MacLeish, that I
had direct and frequent contact with persons
making such allegations to begin with.
Q: Right.
A: Would you repeat that question again.
Q: Yes. Certainly.
One of the reasons why you would not want
individuals who might have credible allegations
of sexual misconduct by a priest to keep quiet
was because it could be important for those
allegations to be reported to public authorities
such as the child welfare agency in
Massachusetts.
Would you agree with me about that?
MR. CRAWFORD: Objection to the form.
You may answer.
A: I don't know to what extent that issue was
present in my mind, but certainly the -- as
handling of these cases evolved, and certainly at
the point in '93, when we -- and before that as
we prepared the written policy -- the indication
to those who were bringing forward allegations,
the suggestion that they should consider
reporting this was because of the fact that, that
this was an appropriate agency and it was
appropriate for that information to come forward,
yes.
Q: All right. If someone from the Massachusetts
Department of Social Services had personally
contacted you in 1986 to inform you that there
were allegations against diocesan priests, is
that a matter in 1986 that you would have taken
seriously?
MR. CRAWFORD: Objection to the form.
You can answer it.
A: If that was a matter that was -- that actually
was before me and that I saw, I would have
certainly taken it seriously and I would have
referred it to the person who would have assisted
me in these matters.
Q: And we've been over your statement in May where
you express that you wish you had known about the
allegation involving Father Paul Shanley,
Cardinal. That's Exhibit No. 12.
Do you want to take a look at that?
A: Exhibit No. 12?
Q: Right.
A: They go backwards. Okay.
Q: Yeah. I want to direct you specifically -- we've
been over this exhibit before -- to the third
page, and you'll see the second full paragraph on
that page. Take your time if you want to read
it. I don't mean to cut you short there.
A: If I may. The third page?
Q: Yes.
A: Any particular part?
Q: Yeah. I'm going to read the second full
paragraph, Cardinal.
"In addition, it has been reported that
someone alleges I was informed after mass in 1984
that Father Shanley had molested a child. I have
absolutely no memory of such a conversation, and
those who have worked most closely with me can
attest that such a report would have been acted
upon. There is no record of that having
happened. And furthermore, I had no suspicion
about Father Shanley concerning this in the
ensuing years. The 1993 allegation was my first
knowledge. I wish I had known in 1984 and I wish
I had been aware of the 1966 report. It is only
possible to act based on what is known, however."
Do you see that?
A: I do.
Q: Those were your words in May --
A: They were.
Q: -- of this year; is that correct, Cardinal Law?
A: That's correct.
Q: You'll notice in this statement that was issued
by you, you'll notice that in the second
sentence, it states that a "report would have
been acted upon."
Do you see those words in the second
sentence?
A: I do.
Q: And the last sentence, it says:
"It's only possible to act based on what is
known, however."
Do you see that?
A: I do.
Q: All right. So that implies, does it not, that if
you had been aware of the 1966 report involving
Father Paul Shanley, that there would have been
some sort of action taken by you in the
Archdiocese; is that correct?
A: What I was attempting to say here was, first of
all, that I had no memory --
Q: Right.
A: -- of that allegation having come to me.
And then secondly, what I was setting forth
here is that those who worked with me in that
could attest to the fact that had such a report
come, that that information would have been acted
upon, and that there was no record of that having
been acted upon.
Q: Right. I'm focusing on the word "action." What
type of action did you have in your mind when you
wrote that statement?
A: Well, the kind of action that, in fact, is very
much in place now, and the kind of action that we
had in place since '93, and the kind action that,
you know, was present even before then. And that
was the action of investigating the allegation,
looking at the facts, trying to ascertain the
substantiality of the allegation, and then taking
appropriate action in response to that
information.
Q: You know, if we take a look at that sentence in
the last part, Cardinal Law, of Exhibit No. 12,
it states:
"I wish I had known in 1984 and I wish I had
been aware of the 1966 report. It is only
possible to act based on what is known, however."
Would you agree with me that there were
different protocols for dealing with allegations
of childhood sexual abuse before 1993 and after
1993?
A: Before?
Q: 1993 and after 1993.
A: Different, but, again, the '93 policy, the
written policy, wasn't created in a vacuum.
There were elements of it that certainly were
new, and one of them was the review board.
But the idea of trying to ascertain the
facts, the idea of trying to deal in a
responsible way with the evidence, the result of
that investigation, that -- what we did in '93
built upon our experience in this.
But certainly, in '93, we did, I think,
develop our policy in a significant way.
Q: But there was no, as I think we've covered
before, Cardinal Law, no written policy
concerning the protection of children from sexual
abuse prior to 1993; is that correct?
A: That's correct.
Q: And I think we've also established that the
protection of children from sexual abuse in
Archdiocesan-sponsored programs was one of your
top priorities; is that correct?
A: Certainly. The history, I think, of this
Archdiocese from the time -- from my time and
before my time has been one of providing services
for children and being concerned for children,
and, obviously, like any other agency, there
would be a desire and a priority in trying to
protect children.
Q: Right. And a particular --
A: However, the consciousness of this particular
issue is a consciousness that I think is much
more acute today than it was in earlier time.
And the knowledge about this issue is --
certainly my knowledge is much more acute today
than it was before.
Q: When you say consciousness about this issue,
you're referring to consciousness about sexual
abuse; is that correct?
A: That's correct.
Q: And you're talking about your own consciousness,
consciousness within the Church; is that correct?
A: Yes.
MR. CRAWFORD: Objection to the form.
You can answer.
A: But I would -- yes, but I would --
Q: You're not an expert in what was the
consciousness in other areas of society in 1984?
A: I'm not an expert about many things, perhaps no
things. But my sense is that, that there is a
general keener awareness today across society.
Now certainly -- is it even? I mean, did every
segment of society come to a deeper consciousness
at the same time? No. I'm sure that there are
segments of society which were ahead of the
curve.
Q: When you refer to a deeper consciousness,
Cardinal Law, you would agree with me that when
you came in as Archbishop of Boston in 1984, you
knew that the sexual abuse of children was
something that was wrong. You had dealt with it
in Missouri and you had dealt with it in
Mississippi. Is that correct?
A: Yes.
Q: You knew that sexual abuse of children could be
particularly traumatizing if it was inflicted by
someone in a position of trust. You knew that in
1984; is that correct?
A: That's correct.
Q: You knew that there could be psychological damage
to children if they were sexually abused by a
priest; is that correct?
A: That's correct.
Q: And protecting children from sexual abuse by
clergy was, therefore, a top priority for you in
1984 when you came in as Archbishop of Boston?
A: Yes. But, you know, Mr. MacLeish, I would not be
accurate if I were to leave the impression that
this was seen as a pervasive, major problem,
because, as a matter of fact, I did not see it as
that.
I was not -- I did not view it as -- in the
dimensions that I now view it.
Q: When you say it's not a "pervasive, major
problem," you would certainly agree with me that
it would be a pervasive, major problem for the
family of a child that was --
A: I did --
Q: Let me finish the question, please.
-- a pervasive, major problem for the family
of a child that was sexually abused by a priest?
A: The reason why I inappropriately interrupted you
is because the way you restated what I said was
inaccurate.
Q: Okay.
A: What I said is that I did not see it -- I did not
say it was not a problem. I said I did not see
it as a major problem in the dimensions in which
I now see it.
And what I mean by that is that the number
of cases that have come forward recently for an
earlier time frame make me understand something
about that earlier time frame that I did not
understand in 1984 when I came here.
Q: Let's just focus on what your knowledge was in
1984. And I understand that your knowledge of
the pervasiveness of the problem has increased.
You knew that if a child was sexually
molested by a priest in 1984, it had the
potential to be a major problem --
A: Yes.
Q: -- for the family and child; is that correct?
A: Certainly.
Q: And it was something back in 1984 that you would
take action on, as is set forth in Exhibit
No. 12, if such an allegation came to your
attention; is that correct?
A: That's correct.
Q: And you were the final person to make decisions
about the reassignment of priests; is that
correct?
A: I was.
Q: And when there was an allegation of sexual
misconduct involving a priest that was deemed
credible, you would receive reports from your
staff; is that correct?
A: That's correct.
Q: That would include Bishop McCormack; is that
correct?
A: That's correct.
Q: And when you state that you did not believe it
was a major, pervasive problem, you're referring
to within the Archdiocese of Boston, I take it;
is that correct?
A: That's correct.
Q: But you would agree with me that from 1984 to
1989 -- let's go back, yes -- 1984, when you
arrived, up to 1989, which was the period of time
up to the allegation involving Mr. Ford's son
being molested and Mr. and Mrs. Doe's son being
molested at St. Jean's Parish in Newton, you
would, during that period of time, have occasion
to be informed of priests against whom there were
credible allegations of sexual misconduct; is
that correct?
MR. CRAWFORD: Objection to form.
You can answer if you can.
Q: Do you understand the question?
A: I do understand the question, Mr. MacLeish.
Absent written records about that time, I
would say that in all likelihood, yes, the answer
would be yes.
Q: So your consciousness with respect to particular
cases involving particular priests was a high
one, is that correct, from 1984 to 1989?
A: It would have been high with regard to specific
cases, yes.
Q: But there was, as I think you've expressed
earlier, this other obligation that you also had
which was to protect the Church from scandal,
correct?
A: I'm not so sure that the issue of scandal would
be the operative concern here. I think that a
case -- one has to try to put one's self in the
time and see what is the protection of the
plaintiff, how did the allegation come forward.
Scandal, protecting the Church from scandal
is certainly a motive, but in this kind of a
situation, would certainly not be, to my mind, a
dominant motive, and I would hope was not a
dominant motive.
Q: You had a general obligation as Archbishop of
Boston to protect the Church from scandal, did
you not?
A: I had a general -- I have a general obligation as
the Archbishop of Boston to do the best I can do
in handling -- in providing pastoral leadership
and in dealing with some very difficult
situations and to deal with them in an equitable
and in an effective way.
Q: But my question is more specific. My question
is, is it not -- has it not been since 1984, one
of your missions to protect the Church from
scandal?
A: Frankly, Mr. MacLeish, that is not how I have
viewed my mission. My mission is to try to see
that the Church does the right thing in the right
way.
Q: All right. Go ahead.
A: And that's the best protection against scandal.
Q: So when you said that you did not see childhood
sexual abuse by clergy as a pervasive, major
problem, you were referring to the '84 to '89
time period, Cardinal Law?
A: You introduced the question originally to me as
to the time when I arrived here in '84.
Q: Right.
A: And coming into this Archdiocese in 1984, I had
no sense whatsoever that this was a major,
pervasive problem in this Archdiocese.
Q: Even though you yourself had dealt with it in
Mississippi --
A: I had dealt with the problem, yes. But --
Q: Let me finish the question.
MR. ROGERS: He was finishing the
answer. I think he's entitled to finish the
answer.
MR. MacLEISH: He interrupted me, but
that's okay. Finish the answer.
THE WITNESS: You go ahead and ask the
question.
Q: Even though you had dealt with it in two
situations in Mississippi, I think we
established, and also at least one occasion in
Missouri, you didn't view it, when you came to
Boston, as a pervasive, major scandal?
A: Mr. MacLeish, it was not a pervasive problem in
Mississippi. It was not -- what is the word --
excuse me. Perhaps I don't understand what you
mean by the term "pervasive." Would you describe
that -- define that term for me.
Q: Let's focus -- I will. Let's focus on the '84 to
'89 time period, Cardinal Law.
You have some recollection of meeting with
Father Doyle and, in 1984 and before, and
speaking about the potential problem of childhood
sexual abuse by clergy. You have some
recollection of that; is that correct?
A: Yes.
Q: You arrive in Boston and you've dealt with, I
think we have three situations in your prior
career in Mississippi and in Springfield,
Missouri, involving the sexual abuse of children
by clergy, correct?
A: That's correct.
Q: Between 1984 and 1989, if we could look at that
time period, which is the operative time period
in the Ford case, did you generally become aware
that there were situations within the Archdiocese
of Boston where there were credible allegations
of childhood sexual misconduct by clergy?
A: Yes. Absent the records for those years, but
relying in a general way on memory, I would say
that I did become aware in those years of some
allegations being made against some priests, yes.
Q: We're going to go over some of the records of
that time period later. But you don't, as you
sit here today, this morning, believe that in the
'84 to '89 time period, the problem was a
pervasive one within the Archdiocese?
MR. CRAWFORD: Objection to the form.
MR. ROGERS: I object also to the form.
A: Again, Mr. MacLeish, what do you mean by
"pervasive"?
Q: Well, you brought it up. Actually, Cardinal, you
used that word initially yourself, so why don't
you give us a definition you're comfortable with
so that we'll be clear on the record. Does that
sound fair?
A: Fine. A pervasive problem would be a problem
that is manifesting itself in a dimension which
is -- which becomes characteristic of the, in
this case, of the population you're talking
about, which would be the clergy.
And certainly, I did not see this as a
pervasive problem.
Q: Between 1984 and 1989?
A: That's correct.
Q: Did you at some point see it as a pervasive
problem?
A: I don't see it as a pervasive problem in terms of
the overall number of clergy and the percentage
of those against whom allegations have been made,
but I see it as a problem of profound concern,
and the number of cases is of profound concern to
me.
Q: But it's not a pervasive problem even now?
A: It's not a pervasive problem in the sense that
it -- that it affects most of the clergy, of
course not.
Q: You used the term "percentage," Cardinal, in your
prior answer in terms of the number of clergy
involved. Do you recall that testimony? It's
not a pervasive problem in terms of the
percentage of individuals involved. Do you
remember saying that?
A: Mr. MacLeish, this is a terrible problem, you
know, and if there is one case of clergy abuse,
that's a very serious matter.
Q: Right. My question was you used the word
"percentage" a minute ago and I just want to get
an understanding of, that you were referring to
the percentage of clergy involved in the
Archdiocese of Boston.
Do you remember that statement that you
made?
A: Yes, yes, I --
Q: What, Cardinal Law, is your understanding of the
percentage of clergy against whom there are now
credible allegations of sexual misconduct within
the Archdiocese of Boston?
A: I can't give you that precise number.
Q: Could you give me a general number?
A: I would rather not because I don't want to be
pressed on a number when I say that I cannot give
you the number and then try to guess at the
number. I would prefer to get that number and
give it to you.
MR. CRAWFORD: Let me direct you should
not guess at an answer.
MR. MacLEISH: That's inappropriate
coaching, Ian. We've talked about that before.
MR. CRAWFORD: It's not coaching.
MR. MacLEISH: Yes, it is.
Q: Cardinal Law, you are generally aware, are you
not, that the number of allegations against
priests of the Archdiocese of Boston, both living
and deceased, from 1960 is now approaching 100
priests? Are you aware of that?
A: I am not aware of all of the cases that have come
forward recently, and I can't, with any
assurance, speak to the number, but it's a large
number.
Q: And as you said earlier, any time that there's a
credible allegation, it's a major problem for
you --
A: Absolutely.
Q: -- and it always has been a major problem for
you; is that correct?
A: That's correct.
Q: It's information that you've wanted to know about
so that you could take action; is that correct?
A: That's correct.
Q: And what you said in your May statement was that
if you'd known something about Father Paul
Shanley, either directly through contact with a
parishioner, for example, or through records, you
would have taken action.
MR. ROGERS: I object to the form.
I don't think that's what the May statement
says.
MR. MacLEISH: Let the Cardinal
describe it.
A: I believe what I said here was the 1993
allegation was my first knowledge.
Q: Right.
A: Which I think is important to say. I wish I had
known in 1984, which was my statement on this
occasion, and is my statement now, and I wish I
had been aware of the 1966 report. That was my
statement then --
Q: Right.
A: -- it's my statement now. Yes.
Q: What I'm trying to get at, Cardinal Law, is that
doesn't this statement imply that if you had been
aware of the prior allegations, or if someone had
come up and told you that there was an allegation
against Father Paul Shanley, you would have taken
action?
A: Yes.
Q: Okay. But you didn't know until 1993?
A: That's what I'm saying.
Q: That's what you're saying.
Now, you, I think we've established earlier,
had a personal secretary when you started at the
Archdiocese of Boston whose name is Father
William Helmick; is that correct?
A: That's correct.
Q: And he had been with you -- he'd been with
Cardinal Medeiros before he became your personal
secretary; is that correct?
A: That's correct.
Q: I think we've been through in both the Shanley
case and a number of other cases to date in your
deposition that sometimes when there were
complaints specifically about priests that came
in to your office, they would be stamped "Not
acknowledged at the Residence," and that the
purpose of the stamp was then so it could be
followed up by your Vicar for Administration; is
that correct?
A: That's correct. I think what I had said
earlier -- and I hope it's what I've said earlier
because it's the fact -- is that the way in which
correspondence is handled in my office, is to
usually refer letters to those whose
responsibility it will be to follow-up on this,
which means to look into this, to assess it and
to recommend or prepare or to take appropriate
action. And that stamp is a way in which that
has tended to be done.
Q: Okay. So if there was not a stamp on the
particular communication, then it would suggest
that the matter was not referred out to one of
your subordinates; is that correct?
A: Not necessarily, but it could -- it would be an
indication that possibly that was the case.
Q: There was correspondence, Cardinal, that you did
review in the '84 to '89 time period concerning
allegations of sexual misconduct by priests; is
that not correct?
A: I am not able to focus on specific allegations,
but it could have been. I can't -- if you were
to ask me to give names right now, I couldn't.
MR. MacLEISH: We'll mark an exhibit
here.
(Law Exhibit No. 65, Letter, 7/10/86,
marked for identification.)
MR. CRAWFORD: Do you want him to look
at this?
MR. MacLEISH: Yes. If you could just
look at that.
(Pause.)
(Law Exhibit No. 66, Letter, 8/19/86,
marked for identification.)
(Law Exhibit No. 67, Letter, 8/25/86,
marked for identification.)
THE VIDEOGRAPHER: Time is 10:42.
We'll stop the video to go off the record.
(Pause.)
THE VIDEOGRAPHER: We're back on the
record at 10:44.
Q: Cardinal Law, have you had the opportunity to
review Exhibits 65, 66 and 67?
A: I have.
MR. MacLEISH: Mr. Rogers, we have, for
the record, redacted copies that omit the name of
this victim, but we're happy to provide you with
unredacted copies during the break.
Q: Cardinal Law, you'll see on July 10, 1986, an
individual who works for the Department of Social
Services wrote you a letter; is that correct?
A: I see this letter here now, yes.
Q: And you'll see it has official letterhead at the
top saying the "Commonwealth of Massachusetts,
Executive Office of Human Services, Department of
Social Services."
Do you see that?
A: I do.
Q: This is a letter from a government -- employee of
a government agency; is that correct?
A: Yes.
Q: And you'll see also that the letter starts by
referencing the TV series called, quote, 1986,
where the topic of sexual abuse of minor children
by parish priests came up.
Do you see that in the first paragraph?
A: I see that.
Q: It states in the first paragraph as follows:
"The special on sexual abuse of minor
children by Catholic priests talked about how the
Catholic Church did not acknowledge the problem,
enforce sanctions on priests who were involved in
such cases and simply transferred the priest to
another unsuspecting parish."
Do you see that?
A: I see that.
Q: And by 1986, you had made the decision, had you
not, to send Father John Geoghan to St. Julia's
Parish in Weston, Massachusetts? Is that
correct?
A: He was transferred at that time, I think, yes.
Q: And he was transferred without informing the
parishioners that there had been allegations of
sexual misconduct against him; is that correct?
A: That's correct.
Q: And Father Eugene O'Sullivan, who had pled guilty
to rape, had been assigned to the Diocese of
Matuchen by the time this letter from the
Department of Social Services was received in
1986; is that correct?
MR. ROGERS: I object to the form of
that question.
I don't believe there's any testimony about
assignment.
A: I did not assign him to Matuchen.
Q: He was permitted -- I think we've been over this
on the second day of your deposition -- he was
permitted to go to the Diocese of Matuchen where
he would serve as a priest after he had pled
guilty to rape.
Didn't we go over that in the second day of
your deposition?
MR. ROGERS: I object to the form of
the question.
I don't believe he pled guilty to rape
either. I think it's mischaracterization of
testimony.
MR. MacLEISH: Okay.
A: I believe that the way you are describing this
case is not the way in which this case was
perceived by me or the way this case was handled.
Q: I'm not asking about perceptions. Let me see if
we can just agree on the following:
By the time this letter, Exhibit 65, from
the Department of Social Services that refers to
a television program where priests accused of
sexual misconduct were transferred to another
unsuspecting parish, as of the date of this
letter, Father Eugene O'Sullivan, you would agree
with me, had pled guilty to some crime involving
sexual misconduct with children. Would you agree
with me about that?
MR. CRAWFORD: Object to the form of
the question.
You can answer.
A: Mr. MacLeish, I would have to look at the record
there. I don't keep that in mind.
Q: Well, at some point, you're aware that Father
Eugene O'Sullivan pled guilty to some crime
involving the sexual misconduct of children.
That did happen?
A: I would want to review the record and see what he
did and did not do.
Q: We've already had some of your testimony, but
we'll be happy to go back over that. But you do
agree with me that John Geoghan had been assigned
by you to St. Julia's without the parish, the
parishioners, rather, being informed that there
were allegations of child molestation against
him?
A: I would agree that Father Geoghan was assigned,
with my understanding at the time based upon
medical advice that this was a safe and
appropriate assignment.
Q: Well, Cardinal, we went through that, I think,
before, is that you were the one to make the
final decisions. The medical doctors didn't
recommend reassignment; they simply prepared a
report for the Archdiocese. Is that not the
case?
A: That's correct, Mr. MacLeish, but I would not
want the record to imply that there was a willful
assignment of someone who was perceived to be a
danger to children. It was quite the opposite.
Q: That was your perception, that he was not a
danger to children, correct?
A: Well, that's correct.
Q: And it turns out that that was not a correct
perception, is that not true, Cardinal Law?
A: That's true.
Have you ever made a mistake, Mr. MacLeish?
Q: He went on to molest children at St. Julia's
where you had assigned him; is that not true?
A: That's correct.
Q: And then he was sent to the Institute for Living,
is that correct, in 1989?
A: That's correct.
Q: And he was then reassigned by you back to St.
Julia's where he molested other children; is that
not true?
A: I am not certain about the time frames of the
abuse, but I can certainly say that any
assignment that he had after the Institute of
Living was made because of that assessment of the
Institute of Living.
Q: We're going to go over that in a moment, Cardinal
Law. But can you point to an assessment of John
Geoghan or any other priest where the assessment
itself recommends that a priest who has been
accused of child molestation should be assigned
to active ministry again?
A: As you yourself have said just a moment ago, the
medical personnel don't make that kind of a
recommendation, no.
Q: You're the one that makes the final decision; is
that correct?
A: In -- yes.
Q: So here we have a letter in 1986, this would have
been following the first assignment of Father
Geoghan then to St. Julia's, where you have a
letter which expresses concern about the transfer
of priests to unsuspecting parishes after there's
been an allegation of abuse; is that correct?
See that in the first paragraph?
A: Well, this is a letter which speaks about a
television show that makes that allegation,
that's correct.
Q: Right.
A: I must say that this is a letter that I do not
recall ever having seen.
Q: I understand. But you understand, Cardinal Law,
that this is a letter from a government agency.
You see that, correct?
MR. CRAWFORD: Objection to the form.
A: I see on the letterhead.
Q: Is this not the type of letter that would have
been brought to your attention by Father Helmick
when it was received at the Archdiocese?
MR. CRAWFORD: Object to the form.
You may answer.
A: I can't answer that question.
Q: Then you'll see -- go ahead.
A: I can't answer that question because I don't know
the response of Father Helmick.
Q: We're going to get to that in a minute.
A: All right.
Q: In the second paragraph, Cardinal Law, the letter
states:
"As a former victim of sexual misuse by a
number of diocesan priests, I have witnessed
firsthand the pain and anguish that such an
incident can occur."
Do you see that?
A: I do that.
Q: Is it not, you would agree with me, a fair
reading of this letter, this man is reporting
himself that he has been victimized by diocesan
priests?
A: It certainly appears to be the case.
Q: And it's plural; it's not just one?
A: Yes.
Q: It's plural?
A: Yes.
Q: And then in the concluding paragraph, it states:
"If you are interested in hearing more about
the circumstances of my past experiences as a
victim and its continuing emotional effects,
perhaps we can schedule a meeting."
Do you see that?
A: I do.
Q: So would it have been your practice in 1986, if
there were someone, particularly someone from a
child protection agency, reporting to you that he
had been abused by diocesan priests, would it
have not been consistent with your unwritten
policy to schedule a meeting?
A: It would certainly have been my own policy and my
hope and my desire that anyone coming forward in
this way would have been met with, and the
circumstances being alleged would have been
pursued, not only for the sake of the victim, but
also for the sake of determining if there were
people out there who were putting children at
risk.
Q: Okay. That was your policy in 1986; is that
correct?
A: Yes.
Q: You'll notice on this letter, unlike some of the
other letters that we've been through, Cardinal
Law, such as the Higgs letter -- you remember
that letter?
A: Yes.
Q: This one is not stamped "Not acknowledged at
Residence."
A: That's correct.
Q: Now, you'll see Exhibit No. 66, which is Father
Helmick's response?
A: That's correct.
MR. MacLEISH: Again, we can provide
you, Mr. Rogers, with the original letter of
Father Helmick that has the name of the person.
This is actually someone that we represent and
we're happy to also make him available for a
deposition.
Q: The response that is sent to this individual is:
"His Eminence Cardinal Law has asked me to
respond to your letter of July 10."
You see that?
A: I do.
Q: And you agree with me that this letter of July 10
sets forth some very serious matters that you
would want to know about, correct?
A: That's correct.
Q: And it says:
"Whatever might have been the truth of the
TV show which you saw, you may be sure that any
incident of sexual abuse of a child by anyone is
viewed most seriously by the Church. Here in the
Archdiocese of Boston, if there were to be an
incident of such abuse by a priest, you can be
sure that the matter would be taken most
seriously with deep concern for the victim, the
people and the priest. Thank you for expressing
your concern to His Eminence. With best wishes,
I am sincerely in Christ, William Helmick."
See that?
A: I do.
Q: So the first paragraph of the letter states that
you had asked Father Helmick to respond to
Exhibit 65, this letter of July 10, 1986,
correct?
A: That's what it says, Mr. MacLeish, and I'd like
to comment on that.
Q: We're going to allow you to comment on it,
Cardinal, but before we get there, do you know
that Father Helmick was deposed in this very room
two days ago? Are you aware of that generally?
A: No, I'm not.
Q: I can represent to you that he testified that in
light of that first sentence in his letter, he
would have discussed Exhibit No. 65 with you.
Would you agree with me that in fact you did
discuss this letter of July 10, 1986, from the
Department of Social Services, with Father
Helmick before he sent his response to the
Department of Social Services?
MR. ROGERS: Objection to the form of
the question.
MR. CRAWFORD: Note mine also.
MR. MacLEISH: You can answer.
A: I really cannot agree to that. You know, I
cannot agree to that. I would understand that
certainly the substance of the letter, the
importance of the letter would indicate that it
would have been discussed with me.
On the other hand, I do not recall seeing
this letter, and the phrase, "His Eminence
Cardinal Law has asked me to respond to your
letter of July 10" actually can cover -- can be
an implicit -- a reference to an implicit
understanding that there are matters which the
secretary is able to respond to for me implicitly
without my having necessarily seen it.
Q: You agree with me that the literal text of the
sentence, excuse me, the literal text, "His
Eminence Cardinal Law has asked me to respond to
your letter of July 10," suggests there was a
conversation with you about this letter? The
literal text?
MR. ROGERS: I object to the form of
the question.
MR. CRAWFORD: Objection.
A: The literal text does suggest that. The style
for the handling of correspondence would allow a
secretary to understand implicitly that I want
this responded to by them because that's part of
their job.
Q: Given -- go ahead.
A: I must say that the second paragraph is an
adequate response, an accurate reflection of the
attitude of the Archdiocese.
What obviously is missing is picking up on
the possibility of -- on meeting with this person
to determine what that person's experience had
been and how that might impact in terms of
personnel in the Archdiocese.
Q: Cardinal Law, you have a state official charged
with protecting children writing to you and
telling you that he has been the victim of sexual
misuse by a number of diocesan priests. He then,
in the concluding paragraph, asks that if you're
interested in hearing more about this, we can
schedule a meeting. That's the sum and substance
of what's set forth in Exhibit 65, correct?
MR. ROGERS: I object to this.
MR. CRAWFORD: Is that a question?
MR. MacLEISH: Yes, it is.
MR. ROGERS: I object to the form of
the question as well.
A: That's the sum and substance --
MR. CRAWFORD: Wait. One at a time.
MR. ROGERS: I object to the form of
the question. There's no indication here that
this is an individual who is a state official
charged with protection of children. I think
it's an argumentative question and inappropriate.
MR. CRAWFORD: If you can answer --
Q: Cardinal Law, can you answer the question?
He's willing to talk to you about his
experience as a victim of sexual abuse. Do you
see that in the letter? Is that what it says?
A: Yes. In the letter that I do not recall ever
having seen before.
Q: Right. I understand that you don't recall ever
having seen it before, but I'm asking you is in
this case, this gentleman, who is writing on
letterhead from the Department of Social
Services, reports that he's been the victim of
sexual misuse by a number of diocesan priests and
is willing to meet with you. Is that not
correct?
A: That's what the letter says.
MR. ROGERS: It's now eleven o'clock,
Mr. MacLeish.
MR. MacLEISH: Can I just finish this?
We started late. Just a few more questions and
then we'll break.
Q: So the response to this individual by Father
Helmick did not follow-up on his offer to meet,
to discuss his experiences, correct?
A: That's correct.
Q: And was that consistent -- the omission of that
follow-up concerning the meeting, was that
consistent with your unwritten policy that was in
effect in 1986 concerning allegations of sexual
misconduct by priests?
A: Let me say, Mr. MacLeish, even though this person
uses, you know, rather -- not very forceful about
the idea of a meeting, "If you are interested in
hearing more about the circumstances of my past
experience as a victim and its continuing
emotional effects, perhaps we can schedule a
meeting," I would certainly have wanted such a
meeting to take place.
Q: But Father Helmick's letter doesn't reflect that,
does it?
A: Father Helmick's letter does not reflect that.
Q: You would want to know about any diocesan priests
that were abusing children?
A: I would have wanted to have known, yes.
Q: If there had been such a meeting, would you be
surprised to learn that this gentleman would have
reported to you allegations concerning Father
Paul Shanley, Father Gale and Father Graham?
MR. CRAWFORD: Objection to form.
MR. ROGERS: Objection to form of the
question.
A: I would have no way of knowing who the people are
because the letter doesn't mention anyone, so I
would have had absolutely no way of guessing who
those might be or even whether they were in this
Archdiocese.
But certainly, I would have wanted that
meeting to have taken place.
Q: So there was a violation of the policy,
correct --
MR. CRAWFORD: Objection.
MR. ROGERS: Objection to the form of
the question.
Q: -- by Father Helmick?
MR. ROGERS: Objection to the form of
the question.
He should have scheduled a meeting. Isn't
it just common sense?
MR. ROGERS: Object to the form of the
question again.
MR. MacLEISH: Why don't we take a
break and he can think about that during the
break.
MR. ROGERS: That's not the purpose of
the break, Mr. MacLeish.
MR. CRAWFORD: If you want to ask a
question when we come back, he'll give an answer.
THE VIDEOGRAPHER: Time is 11:01.
We'll stop the video to go off the record.
(Recess.)
THE VIDEOGRAPHER: We're back on the
record. The time now is 11:15 a.m.
Q: Cardinal Law, when Father Helmick was here, he
testified that he was not authorized to write a
letter on your behalf unless he had spoken to you
about it, specific letter.
Was that in fact the policy as you remember
it in July, I'm sorry, August of 1986, when this
Exhibit 66 was sent out?
MR. ROGERS: Object to the form.
MR. MacLEISH: Go ahead. You can
answer.
MR. CRAWFORD: Note my objection also.
A: My understanding would have been that
secretaries, both now and then, would have been
empowered to respond to correspondence in my
name --
Q: Okay.
A: -- where that was appropriate.
Q: He also testified that he was not authorized by
you to say he had spoken to you about a matter
when in fact he had not.
Was that your understanding of the policy
that was in effect in 1986?
A: You know, I don't really recall discussions about
policy. I think that, as I have stated already,
my understanding and my expectation would have
been that as a personal secretary, handling
correspondence for me, knowing my mind in a
general way and very often specific ways, in
order to handle the volume of correspondence that
a person holding Father -- Monsignor Helmick's
position would indeed be able to say, as he does
here, "His Eminence Cardinal Law has asked me to
respond to your letter of July 10."
There was an implicit request, as far as my
understanding is concerned, and that's why I've
indicated that in regard to this letter.
I cannot respond or comment on what
Monsignor Helmick said in deposition.
Q: Okay. So you have Exhibit 65, this complaint
that you just testified about sets forth serious
allegations that comes in, an offer to meet,
diocesan priests involved in, as he described it,
sexual misuse.
You would agree with me that Father
Helmick's response to that does not reflect any
invitation to set up a meeting. You would agree
with me about that, Cardinal Law?
A: I would not want to agree -- you didn't imply
this, but I want to make it clear that the letter
itself does not say that these are priests of the
Archdiocese of Boston.
It doesn't make the charge any less
egregious, but I just, as a matter of record, it
does not say that.
Q: Doesn't use the word -- go ahead.
A: And to infer that, I think, there would be no
reason to infer that from this letter.
Q: How would you know either way, Cardinal Law,
whether it was referring to priests of the
Archdiocese of Boston or priests of other
dioceses? Wouldn't you want to know whether it
was a priest of the Archdiocese of Boston?
MR. CRAWFORD: Objection to the form.
You may answer.
A: You asked two questions there. First is: How
would you know? And that's exactly the point I'm
making, that you wouldn't know.
And the second question is: Wouldn't you
want to know? Of course I would want to know.
But the letter itself does not imply or does not
suggest that these are priests of the Archdiocese
of Boston.
Q: It says either way. I mean, you don't know
either way, Cardinal Law?
A: But one would want to follow-up with the person,
which I think is to the point.
Q: Are you testifying that Exhibit 65, this letter
from an individual working at the Department of
Social Services, are you testifying that you can
read the second paragraph as meaning that it does
not include -- that this man was not a victim of
sexual misuse by Archdiocesan priests? Is that
what your testimony is? Or is it your testimony
that you can't tell either way?
A: If you got that out of what I just said, then
either I don't know how to speak English or
you're not hearing me.
Q: Probably I'm not hearing you correctly.
A: Absolutely not. What I am saying is that --
well, let me read what the person says.
Q: Right.
A: And my presumption is that the person is working
for the agency --
Q: Sure.
A: -- that is carried on the letterhead, but I have
no knowledge of that.
"As a former victim of sexual misuse by" --
and it's "misuse" here.
Q: Right. I used those words earlier.
A: --"sexual misuse by a number of" -- "by a number
of diocesan priests."
All I'm saying is --
Q: Why don't you read the full sentence.
A: "I have witnessed firsthand the pain and anguish
that such an incident can occur."
All I'm saying is that that letter in and of
itself does not say that these are diocesan
priests in the Archdiocese of Boston. It doesn't
say that they're in Manchester, New Hampshire.
They could be anywhere.
So my only point is that this letter, of
itself, does not suggest that these priests are
of the Archdiocese of Boston.
However, as I said, Mr. MacLeish, it doesn't
change the egregious nature of the act nor does
it -- nor does it argue for not meeting with this
person. All I'm saying is that the letter of
itself does not make a charge against priests of
this Archdiocese.
Q: You don't know from reading the letter, Cardinal,
whether it's the Archdiocese or some other
diocese, do you?
A: The letter does not make a charge against priests
of this Archdiocese. That's all I'm saying,
Mr. MacLeish.
Q: How do you know that, Cardinal Law? How do you
know that? How do you know that, respectfully?
It says:
"As a former victim of sexual misuse by a
number of diocesan priests, I have witnessed
firsthand the pain and anguish that such an
incident can occur."
Letter is addressed to you. How can you
exclude that this man was victimized by priests
of the Archdiocese as opposed to some other
diocese?
A: I'm not excluding anything, Mr. MacLeish.
MR. CRAWFORD: Objection to the form of
the question.
A: I'm not excluding anything. I'm just trying to
be specific about what this letter contains.
Q: Cardinal Law, let me show you the original
unredacted letter, if I could, please.
I'm not going to mark it as an exhibit
because it contains a victim's name.
You'll see up in the upper left-hand corner,
you see a telephone number, handwritten telephone
number. See that?
A: I do.
MR. ROGERS: Upper left-hand corner?
MR. MacLEISH: Upper right-hand corner.
THE WITNESS: Upper right-hand corner.
You're correct. I'm looking at it
backwards.
A: Yes.
Q: There's a telephone number there, right,
handwritten?
A: I see a letter there.
Q: May I have the document back, please.
Someone at the Archdiocese could have simply
picked up the phone and spoken to this man; is
that correct?
MR. CRAWFORD: Objection to the form.
A: Yes.
Q: In fact, speaking to him about this would have
been consistent with your unwritten policies on
following up and investigating allegations of
sexual misconduct.
A: I believe that's what I've indicated earlier,
yes.
Q: But it wasn't done in this case, was it, Cardinal
Law?
A: Apparently not.
Q: And do you have any explanation for why it wasn't
done?
A: No.
Q: Did Father Helmick follow the correct procedure
when he did not offer to meet with this
individual or speak to him on the telephone?
MR. CRAWFORD: Objection to the form.
You may answer.
A: Here again, it's difficult for me to try to
reconstruct what Father Helmick did about a
letter that I have no recollection seeing before
this morning.
Q: This came from your files, Cardinal Law.
A: I understand that. But I have no recollection of
having seen that. There are many things that can
come from the files that you have in your
possession that I will not have seen.
Q: Well, all I'm asking you is -- we've acknowledged
that there are serious allegations in Exhibit 65
involving diocesan priests. We've acknowledged
that your policy was to follow-up, investigate
and act, as you set forth in Exhibit 12, which
you would have done if you'd learned about the
'66 allegation of Paul Shanley.
What I'm asking you here is whether Exhibit
65 is a letter that required some type of action?
A: I thought I answered that in the affirmative
earlier.
Q: Right. Do you have any evidence yourself as you
sit here today, whether this particular
allegation against diocesan priests was followed
up on or investigated in any way?
A: Mr. MacLeish, the only evidence I have about this
is what you've set before me now. I have no
recollection of this, so, obviously, I have no
recollection of what action was taken on this or
might have been taken on this, other than what is
contained in this letter.
Q: Assuming there was no contact in 1986 with this
victim who reports these allegations to you,
would you agree with me that the failure to do
any follow-up would be inconsistent with your
unwritten policy on protecting children and
sexual misconduct that was in effect prior to
1993?
MR. CRAWFORD: Objection to the form of
the question.
MR. ROGERS: Objection.
A: Again, I find myself in a strange position
because I don't like to nitpick.
Q: Right.
A: That's not the way I like to approach life.
Q: Sure. I would agree.
A: But the fact of the matter is that the policy --
my policy is to investigate cases that are
brought to me over which I have responsibility,
which would be the priests of this Archdiocese.
If there are cases brought against someone
else, I would refer that to the person
responsible to deal with that. If these cases
were in fact, as you have indicated --
Q: Represented, yes.
A: -- and represented, if these cases, if these
instances were in fact allegations against
priests of this Archdiocese, then that should
have been followed up with, and that would have
been a violation of what my understanding was of
the policies and procedures for handling such
cases.
Q: As you sit here today --
A: Now, excuse me.
Q: Go ahead, Cardinal.
A: If I may finish.
Q: Continue. Absolutely.
A: What was in the mind of Father Helmick in seeing
this letter and in understanding what was or was
not alleged, I don't know. You know, I can't
answer that.
But I have no recollection of seeing this
letter or entering into a discussion. And I
would find it very strange if I were not to have
asked either Father Banks or Father McCormack to
pursue this with a discussion.
Q: Okay. Cardinal Law, any downside, as you sit
here today, that was in effect in 1986 that would
have prevented Father Helmick, you or anybody
else that received this complaint, this letter,
Exhibit 65, from just picking up the phone and
talking to the person who had written the letter
and had put down his telephone number in the
upper right-hand corner of the document? Any
downside to that in 1986?
MR. CRAWFORD: Objection to the form.
MR. ROGERS: Objection to the form.
MR. CRAWFORD: You may answer.
A: Any downside? The question implies that this --
the possibility of calling this person up and
entering into contact had to be weighed, and then
if it were viewed to be the right thing to do,
then we'd go ahead and contact the person.
I think what I've tried to say is not only
do I think that there was no downside to it, but
I think that there was simply an appropriate and
reasonable response to be in contact with this
person and to see what are -- what is the
substance of what this person is saying in that
final paragraph.
Q: Cardinal Law, in 1986, you did review certain
correspondence that was sent to you by
individuals, third parties from the outside; is
that correct?
A: I did.
Q: And did you have any understanding with your
personal secretary as to what types of
communications you should see and not see?
A: Is the implication of the question, was there an
effort to shield me from certain kinds of
correspondence?
Q: There's no implication whatsoever, Cardinal Law.
Absolutely not. I'm asking you whether or not --
what the protocol was for you seeing certain
communications and not seeing other
communications.
I'm not suggesting in any way that there was
an effort to insulate you from letters concerning
sexual abuse. I'm asking what the protocol was.
A: The protocol -- you could test this with my
secretaries to date and see if it isn't still in
place.
Q: We did with Father Helmick two days ago.
A: But the protocol is a protocol of trust in the
judgment of those assisting me with
correspondence to be sure that matters are
handled expeditiously, are handled by the
appropriate persons. And that sometimes may be
that a secretary can respond personally. Doesn't
happen too often. It more often would be that a
letter would be sent to a cabinet secretary or
later the delegate for the handling of this kind
of case, if that had been in place at the time.
Then there are some letters which come to me
directly.
Q: Important letters?
A: Well, I would say that they're all important.
But there are different ways of handling them.
If someone is responsible, for example, to
handle educational matters for me, it's going to
be much more helpful for me to have that letter
sent to the Secretary for Education. That person
is going to be more directly knowledgeable, au
courant, on that subject, and --
Q: Sorry?
A: -- is going to be able then to draft --
Q: Au courant?
A: Yes.
Q: I'm sorry. I understand. Going back to --
A: So you know, it might be good if one person could
stay on top of everything that comes across my
desk, but I'm not the person able to do that.
That's why I think we said in one of the
first depositions, the very organization of the
Archdiocese was an effort to ensure that I'd be
able to handle things expeditiously and that they
not get caught on my desk.
Q: But -- go ahead.
A: As each day, I have a -- there's -- I have two
folders for the mail that I get every day. And
then there's one is red and one is blue. The red
folder is correspondence that is viewed to be
something that I probably am going to want to
respond to. The blue is informational or maybe
something, someone acknowledging something I
sent. Likely something that doesn't call for a
response.
If I receive personal and confidential
letters, they're in that file to me. I open
those letters.
But that mail, before it comes to that
point, has been gone through, and that mail that
is not marked personal and confidential is
opened, it's looked at, and if it's matter that
pertains to education, if it's matter that
pertains to social services, if it's matter that
pertains to some financial question, it's sent to
the appropriate person to look at.
If those persons have the ability to
respond --
Q: Go ahead. I'm sorry. I'm listening.
A: Is it all right?
Q: Yes.
A: If those people have the ability to respond and
it's appropriate, then they do. Otherwise, a
draft of a letter would be sent for me for my
signature.
Q: Okay. Cardinal Law, you testified about the red
folder as containing some things that you would
probably want to respond to.
Do you recall that testimony?
A: Yes.
Q: And that was the system of red folder, blue
folder was the system in effect in 1986; is that
correct?
A: I don't know when that system went into effect,
but I think it's probably -- some variant of that
was in place where I would -- because, obviously,
I would need to receive each day the mail that I
needed to be attentive to.
Q: Right.
A: And it was put -- at some point it was segregated
into things that probably don't need a response
but you want to look at and then those things
that do need a response.
Q: Right. So just so I understand, we're focusing
on 1986. Was every piece of mail that was sent
to you contained either in the blue folder or the
red folder?
A: No, no. I hope I didn't imply that because
that's not what I meant to.
Q: No, you didn't. I wanted to clarify. And you
receive a great volume of mail; is that correct?
A: Yes.
Q: And you did in 1986 receive a great volume of
mail, correct?
A: Right.
Q: It's impossible for you to respond to every piece
of mail that you get; is that correct?
A: (Witness nods head.)
Q: Would have been impossible in 1986 to respond to
every piece of correspondence that you received;
is that correct?
A: I'm hopeful that every piece of correspondence is
responded to, but I've indicated the manner in
which it is responded to. I have people working
with me in whom I have confidence, and they
assist me in specific areas and they help me with
the correspondence related to that area.
Q: So who made the decision in 1986 as to what gets
into the red folder? Who would that person be?
A: The persons usually handling the mail and, again,
I think I've indicated this before, would be the
priest secretary -- I say "usually," because
sometimes they're not available to do that and
the mail can't wait three days or four days --
and my administrative assistant.
Q: They make the decisions; is that correct?
A: That's correct.
Q: And they have an understanding as to what goes
into the red folder, what you have to see
personally; is that correct?
A: That's correct.
Q: And certainly, you would put in that red folder,
communications from the Holy See, for example,
would go into the red folder or be brought to
your attention some other way; is that correct?
A: It could be. It may be something quite
routine --
Q: Sure.
A: -- and need not go into the red folder.
Q: Certainly, as you've testified earlier, it was
not routine to receive complaints about
Archdiocesan priests from 1984 to 1989; correct?
A: That's correct.
Q: And you would agree with me that from 1984 to
1989, there was no greater priority than ensuring
children were protected in Archdiocesan programs?
MR. ROGERS: Objection to the form of
the question.
Q: Correct?
A: Certainly with regard to the handling of sexual
abuse cases, the priority is the protection of
children. There are other priorities in the
mission of the Church.
Q: Well, I'm talking about -- and we've been over
this a number of times -- whether the sexual
abuse of children, its prevention, was a top
priority for you in the period from 1984 to 1989?
A: In the handling of such cases, absolutely. But
it's not the only priority. And for me to say
that would -- because it wasn't the dominant
problem facing us.
Q: So you would agree with me that a letter such as
Exhibit 65 was not a routine type of letter that
was received by you at your residence; is that
correct?
A: Absolutely.
Q: And would your secretaries and Father Helmick
have some general understanding of the pieces of
correspondence that you would want to see and
need to know about?
MR. CRAWFORD: Objection to the form.
You can answer.
A: Would you repeat that question again.
Q: Sure. What I'm trying to do, Cardinal Law, is to
get an understanding of what actually, what types
of correspondence came to your attention as
opposed to those that did not come personally to
your attention.
Do you understand what I'm asking?
A: Yes.
Q: Okay.
A: This letter --
Q: Exhibit 65?
A: Exhibit 65, in my understanding, could have very
appropriately been sent either to -- in '86, I
think Father McCormack would have been there as
Secretary for Personnel, not yet named Delegate.
I don't think we segregated out that role yet.
But he functioned in that way. So that this
letter could very appropriately and perhaps more
appropriately have been sent to Father McCormack.
Q: Well, there's no indication from the files that
we've received that it was sent to Father
McCormack or that Father McCormack followed up on
this. The only thing we have from your files is
the response from Father Helmick.
So my question is, to you, Cardinal, can you
state with absolute certainty that you did not
see Exhibit 65? Can you state that with absolute
certainty?
MR. CRAWFORD: Objection to the form.
You can answer.
A: I have stated, when you put this letter before
me, that I have no recollection of having seen
this letter before and I state that again.
Q: I'm asking you also, in responding to that, to
look at Exhibit 66 and accept my representation
that Father Helmick testified in this room two
days ago that he would have spoken to you about
this letter because he was not authorized to
state that he had spoken to you or met with you
about a particular piece of correspondence unless
he actually had done that.
In light of all that, Cardinal Law, can you
state unequivocally that you did not see Exhibit
65?
MR. CRAWFORD: I believe he already
stated. Asked and answered.
MR. ROGERS: Asked and answered.
Objection.
MR. MacLEISH: Let the record --
A: I have answered the question that you put before
me with regard to Exhibit 65 as best I can.
Q: Okay. No recollection?
A: I have no recollection.
Q: But if Father Helmick has a recollection of
meeting with you about that letter, you would not
be in a position to contradict him; is that
correct?
MR. CRAWFORD: Objection to the form.
MR. ROGERS: Objection to the form of
the question.
MR. MacLEISH: Okay.
A: Monsignor Helmick, as I trust everyone that is
deposed before you, is going to speak the truth
as they know it, as they recall it. And he
certainly is an honorable person. All I can tell
you is that I have no recollection of having ever
seen this letter before.
Q: Do you have a recollection, Cardinal Law -- go
ahead.
A: Nor do I have a recollection of, a fortiori, nor
do I have a recollection of having discussed the
letter with Monsignor Helmick.
Q: Do you have a recollection -- we've been through
a number of letters already involving Father
Shanley and we're going to go through with some
other priests.
Do you have a recollection between 1984 and
1989 of ever reading a letter making an
allegation that a priest had sexually molested a
child? This is in the '84 to '89 time period.
A: It's difficult for me to answer the question
other than to say that I, as you have put the
question to me, I cannot say to you, oh, yes, I
got a letter on such and such a priest at such
and such a time. I don't know that.
If you put the letter before me, perhaps
that will awaken my memory and I can respond yes
or no.
Q: We'll go through those correspondence.
Exhibit No. 67 is a follow-up of Father
Helmick's letter of August 19 in which it is
addressed to you, Cardinal Law, and it says:
"I have received the letter which you asked
Reverend William Helmick, your secretary, to
write me in response to my letter of July 10."
And it says:
"I must state my deep concern regarding this
response. In Father Helmick's letter, he wrote
'If there were to be an incident of such abuse by
a priest, you can be sure that the matter would
be taken most seriously with deep concern for the
victim, the people and the priest.' A very
appropriate and responsible response on the
surface."
Do you see that, Cardinal Law?
A: Yes, I do.
Q: Then goes on to state:
"Unfortunately, this response negates the
fact that I am aware of such incidents of abuse,
not only from this documentary, but my own
personal experience as a victim. As I reread
this statement, I can't help but wonder on what
basis he is questioning the existence of my own
experience as a victim (as stated in my letter of
July 10). By not believing an honest and
revealing statement by a victim, you are altering
your own perception of reality. In doing so, it
becomes much easier to believe you are responding
appropriately. I implore you to step forward
into a perception of reality and come to
understand and believe that such incidents do
occur. By adopting this frame of reference, you
can honestly answer whether or not you are
answering appropriately. Sincerely."
Do you see that?
A: I do.
Q: Do you ever remember receiving that letter,
Cardinal Law?
A: I do not.
Q: Do you know whether there was any response to
that letter?
A: I do not. I do not know.
Q: But it is your testimony that Exhibit 65 would
have been the type of communication that would
have been followed up on and sent down, at that
time, to Father McCormack or Bishop Banks; is
that correct?
A: It would be the type of a letter that should have
been handled in that way, I think, yes.
Q: Earlier, Cardinal Law, at your earlier
deposition, I believe the --
A: May I?
Q: Sure. Absolutely.
A: May I just -- this is not to the point really
but -- no. I'll let it go.
Q: I've asked you on two previous occasions,
Cardinal Law, in your deposition, whether you can
think of any priest against whom there was
allegations of child molestation between 1984 and
1989, in that period of time, who was not
returned to ministry, and you indicated that you
wanted more time to look at the records.
I would ask that same question again,
whether you can identify any priest between '84
and '89 against whom there was credible
allegations of child molestation who was not
ultimately returned to ministry?
A: And I have to -- let me get back to you after
lunch.
Q: Fine. All right.
We're now going to turn, Cardinal Law, to
some of the matters concerning Paul Shanley and
we're going to start with a letter from Bishop
Banks, dated December 20, 1989.
(Law Exhibit No. 68, Letter from Banks,
12/20/89, marked for identification.)
THE WITNESS: Is this for me?
MR. MacLEISH: Yes.
Q: Have you read the letter, Cardinal Law?
A: I have.
Q: Have you seen this letter before today?
A: I don't recall seeing this letter.
Q: Now, you do recall, though, that you met with
Paul Shanley on more than one occasion prior to
the time that he submitted his resignation. I
think we covered that in your last day.
Do you recall that?
A: We covered it at some point, yes, the issue of
the oath.
Q: Right. And this was an oath that Paul Shanley
was not required to take. I think we established
that.
A: Well, that's correct.
Q: And we've also established -- and we'll go
through that correspondence if necessary -- that
Paul Shanley was placed on sick leave in January
of 1990 after he left St. Jean's.
Do you recall that?
A: 1990, that's correct.
Q: And other priests such as John Geoghan, who had
allegations of sexual misconduct against them,
were also placed on sick leave; is that not true?
A: Well, you know, Mr. MacLeish, if what you're
trying to suggest -- God bless you -- if you're
trying to suggest that every priest who is put on
sick leave is a priest who is guilty --
Q: Oh, no, I'm certainly not.
A: Well, so I'm happy to hear that because it seemed
to me that that was implicit in the way you
framed that question.
Q: No, no.
A: Would you state the question again.
Q: I would just like you to answer the question.
There were situations where priests such as
John Geoghan, who had allegations of sexual
misconduct, were placed on what was referred to,
under Archdiocesan personnel policies, as sick
leave; is that not correct?
A: That's correct.
Q: Thank you. You'll see in Exhibit No. 68, you'll
see this letter to Paul Shanley from Bishop
Banks, and it states, in the second paragraph --
first, it acknowledges receipt of the Cardinal's
letter accepting your resignation as pastor of
St. John's.
Do you see that?
A: I do.
Q: Then it says:
"I am also grateful for you seeing Father
John Connolly about the issue."
Do you see what?
A: That's correct.
Q: Do you know what is meant by "the issue"?
A: I do not.
Q: Father John Connolly, who would that be?
A: I don't know which John Connolly that would be.
Q: Then it goes on in the third paragraph, it says:
"It is my hope that the time away will help
you resolve your difficulties with the
situation."
Do you see that?
A: Yes.
Q: And do you have any idea what Bishop Banks might
mean about "the situation"?
A: The only thing that I can imagine are the two
motives for agreeing to his accepting his
resignation. The underlying cause, as I pointed
out to you, was the fact that he had difficulty
with the new oath that pastors had to make. He
felt in conscious he couldn't make it. And as I
tried to explain to him, the oath in its older
form really was not substantially different than
the new one, and he had taken that so I didn't
see why he had a problem. But at any rate.
Secondly, he had health problems, health
problems, physical health problems, not
psychological, not emotional that I knew of at
that point. But he had physical problems and
that was what he wanted to deal with, to attend
to.
Q: So you're testifying now that there were no
emotional problems that were the reason for his
leave as you perceived it at the time?
A: That's correct. As I perceived it at the time,
they were organic, physical problems, not
psychological problems.
Q: Cardinal Law, when you have written about other
priests who've had allegations of sexual abuse,
have you not used the term "malaise," for
example, in describing the problem of priests
accused of sexual abuse? Have you used those
words before, "malaise"?
A: I don't -- I don't deny having used the term, but
I don't recall the term.
Q: We'll go over some of those letters later on.
MR. MacLEISH: Next exhibit please.
(Law Exhibit No. 69, Letter, 12/22/89,
marked for identification.)
Q: Want to take a moment and look at that letter.
(Pause.)
Q: Have you had the opportunity to read that letter?
A: I have.
Q: In the letter, Cardinal, you said:
"I write" -- in the second paragraph -- "I
write now because I find your help is needed
again in working out these details."
Do you see that?
A: I do.
Q: What details were you referring to?
A: My presumption is, from the notes that are at the
bottom, which are not my notes, but someone
else's notes --
Q: Bishop McCormack's?
A: Yeah, I would think that's Bishop McCormack.
Father McCormack at that point.
I would presume that they had to do with the
details of his remuneration during that period of
time, what his -- and it may be that he was
claiming certain needs that might have been
excessive and he needed his help in talking
through those to come to an equitable
determination.
But that's -- I'm guessing. But I believe
that that's what that would be referring to.
Q: Okay. You'll note in the first paragraph, it
says:
"When I wrote you earlier this month, I
indicated that I felt additional time was needed
to work out the details you mentioned in your
letter regarding the period when you will be away
from an assignment."
Do you see that?
A: Yes.
Q: As of December 22, 1989, Paul Shanley would have
been in what I think is referred to as the
unassigned category of priests; is that correct?
A: I can't say which assignment he was in. If
you've gotten that from -- in deposition from
people who were handling those matters and that's
what they said, that's what it would be.
Q: There is a category within the Archdiocesan
personnel policies called the unassigned category
for priests; is that correct?
A: That's correct.
Q: That's different from being on sick leave; is
that correct?
A: That's correct.
Q: So when you wrote to Paul Shanley on December 22,
1989, you said, "regarding the period when you
will be away from an assignment."
Do you see that?
A: That's correct. So that very likely refers to
that category into which he's going, and the
details that need to be worked out would be how
we would respond in helping meet your needs.
Q: There's no mention in your letter of Paul Shanley
being on sick leave, in your letter of December
22, 1989?
A: Well, this wouldn't be a letter -- no, there's no
mention of being on sick leave or being
unassigned either, but the implication would be
unassigned.
Q: And other priests, Cardinal Law, who have been in
the unassigned category have been priests who
have been accused of sexual misconduct; is that
correct? Such as John Geoghan? Ronald Paquin?
MR. CRAWFORD: I object to the form.
You may answer if you can.
MR. MacLEISH: Go ahead.
A: Here, again, the form "unassigned" is not --
these designations don't adhere to a specific
case such as sexual abuse.
Q: I understand that. There was no category for
priests, specific category for priests who had
allegations against them of sexual misconduct.
There was no category of assignment?
A: That's correct.
Q: They were either -- go ahead.
A: That's correct.
Had there been such a category, with the
knowledge that I had in 1989, Father Shanley
would not have fit into that category.
Q: I'm simply asking you whether there were other
priests such as John Geoghan and Ronald Paquin
and Father Rosenkranz who were in -- who had
allegations of sexual misconduct against them and
for periods of time were in the category known as
unassigned?
A: Mr. MacLeish, I'd have to -- I'd have to check
the records on each one of those and determine
what the category was.
Q: Do you have any reason as to why Father Shanley
was in what you described as probably an
unassigned category in December of 1989, and then
by January of 1990, was on sick leave?
A: No, I don't know that. That's a rather routine
matter that is determined by the case and my
Personnel Office assists in putting those --
getting the priests in the appropriate category.
Q: Was it not the usual practice of the Archdiocese
to have priests who were on sick leave to have
some sort of a medical evaluation done, medical
report before they were put in that category?
A: Yes.
Q: Are you aware of any medical evaluation that was
done in the case of Father Paul Shanley?
A: I am not aware one way or the other.
Q: So you would agree with me that if there were
testimony from your Personnel Office that there
was no medical evaluation of Paul Shanley before
he was placed on sick leave, that would be a
departure from the policy as you understood it;
is that correct?
MR. ROGERS: Objection to the form.
MR. CRAWFORD: Note mine also.
A: I would, you know, I would follow the -- the
Personnel Office would handle things of that kind
so they would be the ones who could answer that
question.
Q: My question is really your understanding. You
understand that it was the normal practice of the
Archdiocese that before someone went on sick
leave, that they would have some sort of a
medical evaluation to substantiate their illness?
A: That's the normal case. Certainly I was talking
to a priest yesterday about his need to go on
retirement for purposes of health and he is
sending me -- but it doesn't always happen, but I
did -- but he is -- he's having his physician
send a recommendation to that effect.
MR. MacLEISH: Okay. Next exhibit,
please.
(Law Exhibit No. 70, Certification of
Paul Shanley, marked for
identification.)
Q: Cardinal Law, this Exhibit 70 is a certification
which states:
"This is to certify that Reverend Paul R.
Shanley, ordained on February 2, 1960, is a
priest in good standing and enjoys the faculties
of the Archdiocese of Boston," dated January 18,
1990.
Do you see that?
A: I do.
Q: And it's signed by -- I can't read it. It looks
like Richard J. Lennon. Would that be correct?
A: Richard, I think it's G.
Q: G. Lennon. Assistant for canonical affairs?
A: Yes.
Q: Have you seen certifications such as this on
other occasions before today involving different
priests?
A: I know that such certifications are given when a
priest from the diocese, who is in good standing,
goes to another diocese. It's customary to give
such an attestation.
Q: Is there a process that's followed before this
attestation takes place?
A: What do you mean?
Q: This is a representation, in effect, for a priest
that's going to another diocese that the priest
is in good standing and enjoys the faculties of
the Archdiocese of Boston; is that correct?
A: That's correct.
Q: So my question is, is before that -- let me
withdraw that question.
This is the type of document that is sent so
that another diocese will know that they are
getting a priest who's in good standing; is that
correct?
A: That's correct.
Q: And this is the type of document that another
diocese would rely upon; is that correct?
A: Yes. As I myself rely on it from priests coming
from elsewhere here.
Q: And you expect that -- and you expected back in
1990, that if there was a problem with a
particular priest, such as the priest being
involved in misconduct with minors, that that
would have been something that would be brought
to your attention before you accepted in a priest
from another diocese, correct?
A: That's correct.
Q: One of the ways that you could find out about
whether a priest had been involved in sexual
misconduct was to review the files of the
Archdiocese; is that correct?
A: That's correct.
Q: We've gone through the confidential files that
would contain that type of information; is that
correct?
A: What is your point here?
Q: The question, Cardinal Law -- I think we went
over this earlier in your deposition -- that the
confidential files that are maintained by the
Archdiocese, that only a few individuals such as
yourself have access to, would contain matters
relating to scandal including sexual misconduct;
is that not correct?
A: That's correct.
Q: And you had access to those files; is that
correct?
A: That's correct.
Q: And others within the Archdiocese had access to
those files?
A: That's correct.
Q: So one of ways that you could have determined
whether there had been allegations of misconduct
involving a priest would be to look at the
confidential files; is that correct?
Talking about in general, not in relation to
this.
A: That's correct.
Q: Okay. And so was it part of your policies and
procedures that before this attestation that
another diocese would rely upon, was it part of
your policies and procedures that there would be
a review and check of the confidential file?
A: If a priest was in an assignment, as Father
Shanley was in an assignment as pastor, was not
removed and was not resigning in response to a
request on my part because of an allegation of
sexual abuse or any other kind of misconduct, but
was asking that I accept his resignation as
pastor and he be given time away for health
reasons, if that is done, then that priest is in
fact in good standing. He is a priest who has an
assignment in the diocese. He enjoys the
faculties of the diocese. And such an
attestation says just that.
Q: So the answer is no to my question?
A: The answer is that this document states what was
in fact the understanding about Father Paul
Shanley on January 18, 1990; that he is a priest
in good standing and enjoys the faculties of the
Archdiocese of Boston.
Q: So is the answer to my question no?
A: The answer to the question is that that's what
this document states.
Q: My question was whether or not as part of the
policy and procedures of the Archdiocese, when a
priest is being sent to another diocese and this
attestation is going to be something that is
going to be relied upon, was there any protocol
in effect in 1990 whereby there would be a review
of the file that would contain information about
the priest's misconduct? That's my question.
A: What I don't think you understand, Mr. MacLeish,
is that if a priest has a position in the
diocese, the priest is in good standing.
Q: I understand that. I understand all of that,
Cardinal Law. I'm asking you just a very simple
question, whether there was a protocol when an
attestation that would be relied upon by another
diocese was given, that there would be a review
of the confidential file? That's all I'm asking.
A: I'm not aware of such a protocol.
Q: Thank you.
Would you agree with me that before this
attestation could be sent, that Bishop Banks, at
the time in 1990, would have known about such an
attestation?
A: Excuse me?
Q: Would Bishop Banks, who was, in January of
1990 --
A: Moderator of the Curia.
Q: That's right. Moderator of the Curia. And also
Vicar for Administration.
A: Yes.
Q: Your No. 2 guy.
A: Right.
Q: The No. 2 man in the Archdiocese. Will he know
about these types of attestations? Would it go
through his office, is my question?
MR. CRAWFORD: Could you hold on for a
second.
MR. MacLEISH: Sure. I'm going way too
fast.
MR. CRAWFORD: No. She lost her
earpiece and was not typing. Why don't you
restate it.
Q: I'm asking you whether, with these attestations,
did they come under the purview of Bishop Banks'
office as Vicar for Administration?
A: Well, you know, you'd have to ask him, but it
would certainly have been appropriate for Father
Lennon to have issued such an attestation
because --
Q: Go ahead. I'm listening to you.
A: -- because he would have been Assistant for
Canonical Affairs and that's where this comes in.
Q: All right.
A: He was a very trusted colleague.
Q: You will see up in the left-hand corner, Vicar
for Administration.
Do you see that?
A: Yes.
Q: You're also aware that, in fact -- I think we
went over this before -- Bishop Banks sent out a
letter to the San Bernadino diocese indicating
that there were no problems with Paul Shanley.
A: That's correct.
Q: And you're also aware --
A: I'm aware of it because you showed it to me.
Q: I showed it to you.
A: Yes.
Q: You're also aware -- and I think we covered this
earlier -- that Bishop Banks had before him
responded to the Higgs letter and was aware of an
1988 allegation of misconduct involving Paul
Shanley and a mentally-ill person at Maclean
Hospital.
Do you recall that testimony?
A: I have a recollection of the materials you put
before me. I cannot speak to what it is that
Bishop Banks himself knew or did not know.
Q: You already gave testimony. I don't want to
repeat that. But it's Exhibit No. 63, right
here, is the letter of Bishop Banks.
Want to take a moment and look at that.
A: Yes. I recall this.
Q: And you don't have any testimony at the present
time as to why Bishop Banks would not have
mentioned the '85 allegation of Mrs. Higgs and
the '88 allegation from the patient at Maclean
Hospital?
A: I cannot, no. I can't speak for Bishop Banks on
that.
Q: So before -- as Bishop Banks stated to the
Diocese of San Bernadino with respect to Paul
Shanley, "I can assure you that Father Shanley
has no problem that would be of concern to your
diocese," when you make an attestation such as
that, the Archdiocese in 1990, is there any
review of the confidential file?
A: You know, Mr. MacLeish, I really cannot respond
here as to how it is that the Vicar for
Administration handled the matter that is
implicit in that letter.
I know that that letter reflects what my
understanding was concerning Father Shanley at
that point. And my presumption is that that was
the understanding of Bishop Banks. But I can't
go beyond that because I simply can't answer
that.
MR. ROGERS: May I suggest we take a
break?
MR. MacLEISH: Sure, sure. Absolutely.
MR. ROGERS: It's a little after twelve
now.
THE VIDEOGRAPHER: Time is 12:04. This
is the end of Video Cassette No. 1. We're off
the record.
(Recess.)
(Law Exhibit No. 71, Letter to
McCormack from Shanley,
marked for identification.)
THE VIDEOGRAPHER: We are back on the
record. The time is 12:16 p.m. This is the
beginning of Video Cassette No. 2, Volume 5, of
the deposition of Cardinal Bernard Law.
Q: Cardinal, I have in front of you Exhibit No. 71,
which is a letter from Paul Shanley to John
McCormack, Bishop McCormack has testified about.
I'm going to address you to one section but
you're free to read all of it.
(Pause.)
A: Fine.
Q: You've read Paul Shanley's letter of May 13,
19 --
A: I have, which I have never seen before.
Q: I understand.
On the second page, if you could turn to
that, Cardinal, it states as follows:
"The Cardinal thought a warm, dry climate
was the place for my allergies, but it turns out
the desert has a dust problem, and the dust is my
major allergy."
Do you see that?
A: I do.
Q: Did you have, in fact, have any recollection of
telling Paul Shanley that?
A: I certainly have no recollection of suggesting
where he go.
Q: Right.
A: But I do have a recollection of his indicating
that he had allergies that were troubling him and
that he was going to a warm, dry climate. And it
seemed to me that that might help him in his
allergies and I hoped it would.
Q: So would it be accurate to say you have some
general recollection of discussing a warm, dry
climate with Paul Shanley with respect to his
allergies?
A: I have no question -- I have no reason to
question what he is saying here.
Q: You'll see also on that same page, it states:
"The media have found me and again pressure
me for a story. I'm uncomfortable with not
talking to them."
Do you see that?
A: Yes.
Q: Then it also says, if you turn to the next page,
it says:
"The only stress I have" -- this is towards
the middle -- "The only stress I have now, apart
from what I've mentioned, is not knowing what
will become of me. I would have to explain to
any parishioners what has happened and that would
precipitate the media whirlwind."
Do you see that?
A: Yes.
Q: And then he says, in the second to last
paragraph:
"John, I know how busy you are and I don't
expect you to resolve any of the problem I've
mentioned, but neither do I want it said later,
quote, why didn't he tell us?"
Do you see that?
A: Yes, yes.
Q: You see the media is mentioned on two occasions
by Paul Shanley?
A: Yes, and I'm very curious about why that is.
Q: Right. When you read this letter, do you read it
as making any implied threats that there might be
some media or publicity coverage if Mr. Shanley's
demands were not met?
A: An implied threat --
Q: Yeah.
A: -- like to the diocese?
Q: To the diocese?
A: If you don't give us money, we're going to --
Q: Exactly.
A: No.
Q: Okay.
A: I don't.
Q: All right. Is Paul --
A: Excuse me.
Q: Go ahead. Sure.
A: But I didn't deal with -- first of all, I didn't
receive this letter.
Q: Right.
A: And I didn't deal with this letter and I don't
know what intervening conversation may have
happened or what may have happened before then
that might have precipitated it. So your reading
of it might be correct, but I don't know that.
Q: Would you agree with me that it's a curious
letter when a priest is mentioning going to the
media about his, presumably about his assignment
or -- go ahead.
A: It is a curious letter, yes.
Q: Cardinal, does Paul Shanley still enjoy the
faculties of the Archdiocese as we sit here
today?
A: No.
Q: Have those been removed from him?
A: Well, I would have to -- I would have to -- yes,
yes, the faculties have been removed, yes, yes.
Q: In what way?
A: What do you mean "in what way"?
Q: When the faculties -- he received a
communication, a letter that he's no longer in
good standing, his faculties have been removed?
A: Well, he certainly has received a letter saying
that there is no way in which he can function
publicly as a priest, and that, in effect,
removes your faculties.
Q: He's still a priest, though; is that correct?
A: He is still a priest because I have no way of
removing somebody from being a priest, but I can
limit the ability to exercise his -- the
functions of a priest.
Q: Well, you can do an involuntarily laicization, I
think it's called, to remove someone as a priest;
is that correct?
A: There are a number of ways in which a priest may
be laicized, yes.
Q: Including involuntarily?
A: And I would prefer not to speak to what it is
that I have or may be doing in this instance.
Q: Fine. Fine. I have no problem with that.
A: But I can tell you that as far as functioning as
a priest is concerned, he may not function as a
priest, and that has been in place since, I
think, 1993.
Q: But he still is a priest of the Archdiocese?
A: He's still a priest, that's correct. He was
ordained -- by virtue of the fact that he was
ordained a priest.
Q: John Geoghan was ordained as a priest, correct?
A: He is ordained a priest.
Q: Then he was laicized?
A: He is laicized.
Q: Paul Mahan was ordained as a priest?
A: Yes.
Q: Then he was laicized too?
A: He's laicized. Now you understand that a
laicized priest is still a priest?
Q: Right.
A: But may not function as a priest.
Q: Paul Shanley is not a laicized priest as we sit
here today?
A: As we sit here today, he is a priest who may not
exercise publicly his ministry as a priest, may
not present himself as a priest, but he has not
been laicized.
Q: That was my question.
A: Yes.
Q: Father Paquin was ordained as a priest; is that
correct?
A: That's correct.
Q: And he's been laicized; is that correct?
A: I cannot -- I'm not certain of that.
MR. MacLEISH: Let's go to next
exhibit.
A: He is certainly unable to function as a priest.
Q: Sure.
(Law Exhibit No. 72, Memo, 12/11/90,
marked for identification.)
Q: Would you take a look at this exhibit, please,
Cardinal Law, which is 72.
A: 72?
Q: Yes, please. Including what I believe is a note
in the top right-hand corner.
(Pause.)
A: Yes.
Q: You've read the document?
A: No, not yet. No. I read the note.
(Pause.)
A: Yes.
Q: Have you read that, Cardinal?
A: Yes.
Q: This is a memorandum from Bishop Hughes to Father
McCarthy, December 11, 1990, concerning the
extension of Paul Shanley's sick leave.
Do you see that?
A: I do.
Q: And you'll see that Bishop McCormack states a
recommendation that Father Shanley be given an
extension of his sick leave for one year and he
lists various reasons.
Do you see that?
A: Yes.
Q: And the reasons are "He still appears not to be
well" -- and the Archdiocese has blanked out
something. "He is angry at the administration of
the Archdiocese. He is not ready to return to
the Archdiocese. If he came back, I do not know
what we would do with him."
Do you see that?
A: I do.
Q: Then it also says, following that:
"Secondly, I recommend that in January,
February or March, I arrange with Paul to make a
visit to him to see how he is doing. What would
you think if I coaxed him to seek a pastoral
assignment out there when he got better?"
Do you see that?
A: Yes.
Q: And then the upper right-hand corner, there's a
note which I think is from Bishop Hughes; is that
correct?
A: Yes.
Q: In which -- to Father McCormack, in which it
states:
"Jack: Cardinal supports your plan
completely," underlined.
A: That's correct.
Q: "He signed letter to Paul" --
A: Shanley.
Q: -- "to Paul Shanley, good work."
Do you see that?
A: I do.
Q: Is it fair to state that Exhibit No. 72 is the
type of document that you would have had occasion
to learn about through communication with Bishop
Hughes?
A: That's correct.
MR. CRAWFORD: Objection to form.
You can answer.
Q: And so would it be fair to state that you knew
the reasons in 1990 as to why Father McCormack
was recommending an extension of Paul Shanley's
sick leave?
A: As are stated forth here, yes.
Q: You would have understood those reasons?
A: Yes.
Q: Well, I would like to go to the fourth one. It
says:
"If he came back, I do not know what we
would do with him."
Do you see that?
A: Yes.
Q: Have you ever seen a statement like that, similar
to that in any other communication from any of
your bishops or individuals that you delegate
authority to like that concerning a priest who is
on sick leave?
A: As a matter of fact, I don't, and I've been a
bishop since 1973.
Q: Right.
A: And I find that each personnel case is unique.
Q: Absolutely.
A: So I wouldn't want to overstate the meaning of
this, but certainly Father Shanley was quite
unique. And your question is, have I ever seen
anything like this about anybody else?
Q: Any another priest on sick leave?
A: I don't know that I've ever seen a memo like
this, A, B, C, D or with No. D the way it is, but
have we had situations where one wondered exactly
how a person would fit in? Yes.
I mean, in dealing with personnel and as
many priests as we have, that sometimes occurs.
In this instance, as it's pointed out in B,
there was a great deal of anger at the
administration of the Archdiocese. There was a
great deal of -- well, I'm not a psychiatrist but
I would think the very issue that precipitated
Father Shanley's retirement in itself was a
manifestation of anger toward the Church, toward
the teaching of the Church. And it's, you
know -- if a priest is focusing that anger on the
Archdiocese, then I presume the anger at the
administration of the Archdiocese was the
difficulty in getting all of the pieces in place
with regard to his support and all of that, the
letter you just showed me, that with that kind of
anger, it's hard to know how is a person going to
be able to function if he comes home. Maybe it
would be better if he could function effectively
somewhere else and wouldn't have to carry the
onus of whatever the bad feeling was.
Q: All right. Well, this memo talks about sick
leave; is that correct? Extending his sick
leave?
A: That's correct.
Q: The Archdiocese runs facilities through Regina
Cleri for priests who are ill; is that correct?
A: No. Regina Cleri really --
Q: Retirement. Sorry.
A: -- is not a place for illness; it's for
retirement. And retirement is usually by age.
Q: Sure. But the Archdiocese in Massachusetts, as
of 1990, ran and had relationships with
facilities for priests who were ill; is that
correct?
A: That's correct.
Q: So physically, separating out what you said about
his anger towards the administration of the
Archdiocese, physically, there were places that
he could have gone in 1990, is that correct, if
he was sick?
MR. CRAWFORD: Object to the form.
You can answer.
A: I guess I'm not quite sure about the -- perhaps
I'm not supposed to be sure about the intent of
the question.
But in Father Shanley's case, as I
recollect, his -- it was, you know, his desire to
leave the Archdiocese, and he was free to ask to
leave the Archdiocese. There would be nothing
inhibiting him from requesting that.
Yes, it would be ordinarily the case that
people would not want to leave the Archdiocese;
that they would want to be here; that they would
want to be close to friends, close to their
doctors. And, so, yes.
Q: My question, I think, is really a more simple
one. Were there places where people who were
physically ill and were priests of the
Archdiocese could be treated in Massachusetts in
1990?
A: Well, of course, there were.
Q: Okay.
A: At the same time, illness comes in a lot of
different forms, you know. Sometimes you can
have somebody who has hypertension and it's not a
facility so much they need as simply getting away
from the pressure of what they're doing. And so
it would depend on the case.
But, yes, there obviously are many, many
places here where we can and we do provide help.
Q: And you see here in the next paragraph, it says:
"What would you think if I coaxed him to
seek a pastoral assignment out there when he got
better?"
Do you see that?
A: Yes, I do.
Q: Isn't it true that Father Shanley told you during
his meetings with you in 1989 that he had the
best parish in the Archdiocese? Did he not say
that to you in 1989?
A: I can't recall his having said that, but a lot of
priests feel that way about the parish where they
are.
Q: In any event, you would agree with me that as of
the date of December 1990, as of the date of this
communication to Bishop Hughes from Father
McCormack, the Archdiocese did not want Paul
Shanley to return; is that correct?
A: No. I would not say that it was a question of
the Archdiocese not wanting Father Shanley to
return. I would say that given where Father
Shanley was psychologically and emotionally with
regard to the Archdiocese, it was Father
McCormack's judgment, as he states it here, that
it would be questionable as to what he would do
if he were coming back, given his attitude of
mind.
Q: Well, you don't personally know what his attitude
was in December of 1990, do you, Cardinal Law,
about the Archdiocese? You don't have any
personal knowledge about that?
A: Well, no. I saw the letter -- I know that Father
Shanley -- I know that there was -- there were
problems, and I recall that in a general way.
And his letter, which I had not seen previously,
refreshes my mind on that, and this memo does as
well, that he was someone who was prickly.
Q: Okay. You see then, Father McCormack stating,
with respect to this prickly priest:
"What would you think if I coaxed him to
seek a pastoral assignment out there when he got
better?"
Do you see the word "coaxed" there,
Cardinal?
A: Yes.
Q: What is your understanding of that term?
A: My understanding there is the thought --
Q: No. The word "coaxed" that's used there. Go
ahead.
A: Coaxed is coaxed. I mean, you look in the
dictionary.
Q: Urging?
A: That's my understanding of coaxed.
Q: Okay.
A: And I would presume and would understand this
now, and I presume that's how I understood it
then, is that it's going to be better for him if
he's doing something rather than doing nothing.
Q: All right. So it was acceptable for him to be
performing priestly functions in California; is
that correct?
MR. CRAWFORD: Object to the form of
the question.
You can answer.
MR. MacLEISH: Go ahead.
A: Yes.
MR. MacLEISH: Now, let's go to the
next exhibit, please.
(Law Exhibit No. 73, Letter to Shanley
from Law, 12/11/90,
marked for identification.)
Q: Have you had the opportunity to review Exhibit
73, Cardinal?
A: I've read it, yes.
Q: You state -- it's a letter to Father Paul Shanley
from you; is that correct?
A: That's correct.
Q: Is that your signature on the letter?
A: That is my signature.
Q: And do you remember signing this letter?
A: I don't remember signing it, but I don't doubt
that I signed it.
Q: We obtained it from your files.
You state in the first paragraph to Father
Shanley:
"I learned from Father McCormack that you
continue not to feel well and that you have also
been experiencing a malaise."
Do you see that?
A: I do.
Q: So at least in the first sentence, it would
appear that there is -- he's not feeling well and
that he has been experiencing what you refer to
as a malaise.
Do you see that?
A: Yes.
Q: Have you used the term "malaise" before to
describe priests who have been involved in the
sexual molestation of children, as suffering from
a malaise?
A: You know, I have to say, Mr. MacLeish, that I
really resent that question in this context,
because what you're trying to establish, it seems
to me, is a relationship between that word and a
priest who has been abusive sexually of a child.
Q: Uh-huh.
A: And to imply that by code here I am acknowledging
knowledge of the fact that Father Shanley abused
children, I have told you under oath, that I did
not know that he had abused children.
Q: Uh-huh.
A: I did not know it on December 11, 1990. And the
word "malaise" is a word that can be used very
appropriately in this kind of a letter.
Q: Uh-huh.
A: And it has no implication whatsoever as it
appears here in terms of sexual abuse.
Q: Well, I'm sorry. I don't mean to have you resent
my questions, Cardinal, but I do want you to
answer them.
So my question again is whether or not you
have used the term "malaise" to describe other
priests who have had allegations made against
them of sexual abuse. That's my question.
MR. CRAWFORD: Object to the form.
You can answer if you can.
A: I have no idea whether I've used that term or
not. I presume that if it was an appropriate
term to use for the given individual, then I may
have used it.
Q: Did you understand --
A: But I do not understand that term as in any way
describing or suggesting sexual molestation of
children.
Q: When you were writing about individuals who had
sexually molested children, what types of words
would you use to describe their condition,
Cardinal, in 1990?
A: I don't know that -- I don't know.
Q: Well, you, in fact, never used, from the
correspondence we've received so far, described
individuals who had molested children as
suffering from pedophilia or ephebophilia.
Isn't it a fair statement that you would use
words like "illness" and "sickness" and "malaise"
in describing the conditions of those
individuals?
A: I don't know that I used the term "malaise."
Q: You used the term "sick," though, didn't you?
A: I believe it is a pathology, yes. I believe it
is a sickness. Don't you agree with that?
Q: Well, we could have a long discussion about that.
A: You don't think it is?
Q: We're really here to get your answers to the
questions, and I'd be happy to discuss that with
you at an appropriate time if your counsel allows
me to. I would like to talk about that with you,
as a matter of fact. But we're here really to
get --
A: When we get through with the depositions.
Q: Okay. Fair enough. Fair enough.
What malaise did you think that Paul Shanley
was suffering from in December of 1990?
A: You know, I really don't see this as introducing
anything else but reinforcing not feeling well
and to have been experiencing a malaise, a period
of depression, concern.
Q: Okay. So now in December of 1990, would it be
fair to state that you knew that there was some
emotional component to Father Shanley's illness?
A: No. You know, I'm basing myself upon this memo.
Q: Right.
A: And I'm trying to reconstruct what may be behind
that.
Q: Okay.
A: And I really can't go beyond what I've said.
Q: All right.
A: I've said here that, "You continue not to feel
well," and malaise is a synonym for not feeling
well. I could have said full stop. You continue
not to feel well, period.
Q: But you put in "and" --
A: Or I could have said, or you're experiencing a
malaise, which is not feeling well.
Q: But you said that "you have also been
experiencing a malaise."
A: I understand what I said. I read it.
Q: You used the term, you thought you might have
been referring to a depression?
A: It could be that,
MR. MacLEISH: Let's do the next
exhibit, please.
(Law Exhibit No. 74, Letter to
McCormack from Shanley,
marked for identification.)
Q: Cardinal Law, I'm showing you Exhibit No. 74,
which is a letter from Paul Shanley to John
McCormack. You'll see it's stamped "Received at
the Office of Ministerial Personnel."
Do you see that?
A: Excuse me?
Q: Yes. You see there's a letter from Paul Shanley
to John McCormack, Exhibit 74, which is stamped
"Received at the Office of Ministerial
Personnel"?
A: Yes.
Q: Okay?
A: Yes.
Q: And you'll see it states in the letter, in the
first paragraph:
"Dear John: Thank you for your kindness
during your brief visit to the wild west. I
wrestled with your proposal that we diminish the
amount of unpredictability in my life by agreeing
to have me remain several years out here, but as
a part-time diocesan curate rather than an
Archdiocese sick leave weekend supply priest. I
told you that as it is, I do all the baptisms,
youth retreats, penance services and many weekend
masses at St. Ann's."
Do you see that?
A: I do.
Q: Did you ever receive a copy of this letter,
Cardinal Law?
A: No, I don't recall seeing it.
Q: But you do see the reference to youth retreats in
the letter, do you not?
A: I do.
Q: And it is sent to Father McCormack, is it not?
A: It is.
Q: Cardinal Law, do you know a doctor by the name of
Edward Cassem? Ned Cassem?
A: I do.
Q: He's a psychiatrist, is that not the case, at
Mass General Hospital?
A: He is.
Q: And he has been utilized by the Archdiocese, has
he not, to evaluate priests who have been accused
of sexual molestation? Is that not correct?
A: He has.
Q: In fact, it's fair to state that he has been used
exclusively for that purpose; is that correct?
A: I'm not sure that that would be the case, but he
certainly has been used for that, yes.
Q: Are you aware of any other purposes that
Dr. Cassem, who is a psychiatrist, has been used,
as you sit here today, apart from evaluating
priests who have been accused of sexual
misconduct?
A: Well, you know, just in my apperceptive mass,
Dr. Cassem -- who also is a Jesuit priest --
Q: Right.
A: -- is someone to whom we have turned for to help,
and it's very likely that somebody who had a
problem not at all related to sexual abuse could
have been referred to Dr. Ned Cassem.
I think it would be wrong to infer that any
priest who went to him or was referred to him was
referred to him because of this problem.
Q: I'm not -- I'm not making that statement,
Cardinal.
A: Fine.
Q: I'm simply asking you, you know that Dr. Cassem
would get involved in evaluating priests who'd
been accused of sexual misconduct?
A: Yes. I answered yes.
Q: I'm just asking of your own personal knowledge,
or has anyone ever told you that Dr. Cassem was
used for any other purposes apart from evaluating
priests for sexual misconduct?
A: That's precisely what I thought I had just
attempted to answer, and I think the answer to
that is yes, there have been but --
Q: For what purposes?
A: Well, he's a psychiatrist. And if there are
people with -- you know, there are other
psychiatric problems, Mr. MacLeish.
Q: I'm well aware of that.
A: There can be interpersonal problems. Some people
don't know how to get along with other people.
Q: I know about that too.
A: And sometimes I can be a real problem and you
really need to get some help and guidance on
that.
So there can be a host of problems that
someone might be referred to a psychiatrist for.
So I'm simply saying that it would be wrong
to infer, and I don't know that it's ad rem.
It's certainly true that Dr. Cassem is someone to
whom we turned in this area, yes.
Q: When you say "this area," what do you mean?
A: Sexual abuse of children.
But we've also turned to him for other cases
of psychological problems.
Q: Cardinal Law, I'm not trying to create
inferences. I'm simply asking questions. So my
question to you is:
Can you, as you sit here today, identify any
other time that Dr. Cassem has been utilized for
evaluation in circumstances where the priest was
not accused of sexual misconduct?
A: I want to say yes to that.
Q: Okay. What types of situations?
A: Well, again, you know, I can't be pressed out
of -- without records available to me, but I can
just tell you that Dr. Cassem has been utilized
generally by us and not simply for this problem.
Q: Okay. Can you identify --
A: You can either accept that or not as you will. I
cannot identify time --
Q: Okay.
A: -- date, case, name at this point, no.
But I can tell you that my general
understanding and impression of the way in which
we have employed the services of Father Cassem
is, Dr. Cassem, is that they are not limited to
the issue of sexual abuse of children. Certainly
inclusive of that, but not limited to that.
Q: All right. But you can't identify any of the
other purposes apart from evaluation for
individuals who have been accused of sexual abuse
of children as you sit here today?
A: I don't know how much clearer I can be.
Q: If you could answer the question.
MR. CRAWFORD: I believe the Cardinal
has already answered the question. You've asked
it three different times.
A: You know what. I'd like to let the answer to
that question stand as it is, and I would like to
have a judge decide whether it's right or wrong.
Q: What I'm really asking you is that you agree with
me that psychiatrists have certain specialties;
is that correct?
A: I didn't know that was the question. That's a
new question now.
Q: If you could answer it, respectfully.
Psychiatrists have specialties?
A: Yes.
Q: You met, for example, Dr. Newberger in 1993,
Drs. Newberger and Drs. Nadelson?
A: That's right. They were guests at my house for
lunch.
Q: That's right. And they discussed with you their
area of expertise, which had to do with trauma,
sexual abuse of children; is that correct?
A: That's correct.
Q: They were invited to your house; is that correct?
A: That's correct.
Q: And Dr. Carol Newberger is a psychologist; is
that correct?
A: I don't recall that.
Q: But Dr. Nadelson and -- Drs. Nadelson are
psychiatrists; is that correct?
A: I don't remember who was what, but they certainly
came with that expertise. That's why they were
invited.
Q: They were medical professionals that had a
particular specialty in treating individuals who
are victims of trauma; is that correct?
A: That's correct.
Q: They had some suggestions for you about what the
Archdiocese should do; is that correct?
A: They were invited to discuss the issue at my
invitation, yes.
Q: They made recommendations; is that correct?
A: I don't recall specific recommendations. We had
a general discussion.
Q: Dr. Eli Newberger offered to be of help to the
Archdiocese in developing protocols for
addressing situations where priests had molested
children. Did he offer to do that generally?
A: You know, I really can't recall the conversation.
Q: Did you ever engage Drs. Newberger or
Drs. Nadelson with respect to assisting you in
developing any policies concerning sexual abuse
of children?
A: I don't know whether they were asked to comment
on our policies or not.
Q: So with respect to Dr. Cassem, you would agree
with me that one of his specialties was
evaluating individuals who had allegations
against them of sexual misconduct. Would you
agree with me about that?
A: No. I cannot pass on his credentials. I can
tell you that he was acting chief of psychiatry
at Mass General Hospital --
Q: Right.
A: -- professor at Harvard Medical School and
someone whom we utilized in assisting us in
assessing this problem.
Q: Right. But you don't know whether he had a
particular specialty in that particular area. Is
that your testimony?
A: I cannot speak to his specific --
Q: Okay.
A: -- specialty.
Q: All right. Fair enough.
Let's go to the next exhibit then. I would
like you to keep Exhibit 73 in front of you,
Cardinal, if you could, please.
A: All right.
(Law Exhibit No. 75, Letter to Shanley
from McCormack, 5/10/91,
marked for identification.)
A: Do you want me to read 74 before 75?
Q: No, I think you read 74.
A: No, I really didn't.
Q: All right. Well, take your time and read 74.
A: Oh, yeah. I guess I did, didn't I.
Q: Read 75.
A: I didn't read all of 74 though. I just read the
beginning of it.
Q: Read the whole document.
(Pause.)
A: Okay.
Q: Do you recall in or about May of 1991 --
A: Excuse me.
Q: I'm sorry. Go ahead.
A: You know, if -- no. Never mind. Go ahead.
No. Let me go back to this.
Q: Go back to what?
A: You know, you asked me about the malaise, all
right.
Q: Sure.
A: You can see the malaise and the consternation
with regard to this oath. Do you understand the
issue here that is a problem to him? At this
point, he was retired as a -- he resigned as
pastor. All right? And if he were to assume the
role of pastor again, he would need to take the
oath. And it was that that was the problem to
him.
Q: Not the sick leave? Not the illnesses?
A: Well, the sick leave is a part. He had -- this
is the -- you know, I'm saying, "continue not to
feel well and that you have also been
experiencing a malaise."
It could be in reference to this problem
with regard to the oath.
"I cannot be a pastor says Rome." Rome is
not saying that he cannot be a pastor, Paul
Shanley, but the point is to be a pastor, you
have to take the oath. And he finds that an
abomination.
Q: And you'll see also that he is performing
priestly duties out at St. Ann's in San
Bernadino, including leading youth retreats or
being involved in youth retreats?
A: That's correct.
Q: So he was able to be functioning in a priestly
capacity out in California; is that correct?
A: And the only thing inhibiting him from being a
pastor was his unwillingness, in this
Archdiocese, was his, at that point, was his
unwillingness to take the oath.
Q: Okay. You'll see also in Exhibit 74, you'll see
Paul Shanley states to Father McCormack:
"I have wrestled with your proposal that we
diminish the amount of unpredictability in my
life by agreeing to have me remain several years
out here," and then he goes on.
So you would agree with me there was a
proposal made by Bishop McCormack that Paul
Shanley remain in California, as is reflected in
Exhibit No. 72, where it states a proposal that
Father McCormack go out to California and then
posits "What would you think if I coaxed him to
seek a pastoral assignment out there when he got
better?"
A: Yes.
Q: You would agree with me that was followed up on?
A: Yes. Because, as Shanley says, he is an
Archdiocesan sick leave weekend supply priest.
Q: Right.
A: What Father McCormack is suggesting is that it
would be better for him to have something in a
more settled way. It would be difficult for him
to come back. He doesn't want to be -- he won't
be a pastor and that was the way to do it.
Q: But he could be a priest. He was performing
priestly functions in California.
A: That's right. He could be a priest.
Q: Certainly there's people like him -- excuse me.
Not everybody that works in a parish is a pastor
within the Archdiocese of Boston, correct?
They're curates, administrators?
A: That's correct.
Q: So all the things that he's talking about that
he's doing out in California, such as baptisms,
youth retreats, penance services and weekend
masses, are things that could have been done by
Paul Shanley in Massachusetts in 1991; is that
correct, Cardinal Law?
MR. CRAWFORD: Object to the form of
the question.
You can answer.
A: It's correct, but, again, on the memo which is
Document 72, if you look at B again --
Q: Right. Yeah.
A: -- he is angry at the administration of the
Archdiocese.
Q: Right.
A: It's rather difficult, really, if somebody is
full of anger and resentment and all of that, to
function effectively. And if, in fact, in
another environment he is able to function
without that anger interfering, it's going to be
better for him and for the Church.
Q: Turning to Exhibit 75, Cardinal Law, you'll
see -- by the way, you'll also note in Exhibit
74, just in the second to last paragraph:
"The internist and the psychologist concede
my unpredictably precarious health is a function
of my unpredictable ecclesiastical future."
Do you see that?
A: I do.
Q: You then discussed Paul Shanley's letter with
Bishop McCormack as is reflected in Exhibit 75;
is that correct?
A: Let me read 75.
Q: Sure.
(Pause.)
A: Yes, I've seen 75.
Q: Would it be fair to state you discussed Paul
Shanley's letter with Bishop McCormack or then
Father McCormack in or about May of 1991?
A: Well, I think what Father McCormack says to
Shanley is:
"After receiving your letter, I discussed
your situation with the Cardinal."
Q: Right.
A: So whether or not the letter was something that I
saw, I'm not certain. But the situation, I think
that would reflect what happened.
Q: All right. Okay. You'll see in the third
paragraph, well, actually in the second
paragraph, it is stated, attributing to you:
"He suggested that I check with the clergy
fund bylaws about your being assigned to
permanent disability."
Do you see that?
A: Yes. Now, yes, I have no doubt that I did that,
but I probably would not have initiated the
suggestion, because if you were to press me with
the details about what happens in those various
categories in terms of remuneration, I wouldn't
be able to give it to you now. I rely on others
for that. But I'm sure that I said: Well, what
do you think we might do? And the thought was:
Well, why don't we think about this as a
possibility.
Q: All right. Well, would you -- do you know,
Cardinal, whether Bishop McCormack informed you
that Paul Shanley was involved in youth retreats
in 1991 out in California?
A: I do not know that.
Again, I want to keep repeating that from
the knowledge that I had, even if I had been
informed of that, that would not have been a red
flag for me because I was not aware of his having
been responsible for the sexual abuse of minors.
Q: Well, I don't want to belabor the point, but
we've been over the Higgs letter before and the
changes in your admissions.
Paul Shanley was someone who was known to
you in 1991; is that correct? You knew who he
was. You'd had meetings with him.
A: I knew who he was, yes.
Q: You'd had a complaint about him. You had bishops
that you were relying upon to investigate any
claims that came in against him. You're aware of
all that.
MR. ROGERS: I object.
MR. CRAWFORD: Is that a question?
MR. MacLEISH: Let me withdraw it. I'm
going to withdraw the question. Bad question.
Let my try again.
MR. ROGERS: It's also time for lunch.
MR. MacLEISH: That's fine. Let's
break for lunch.
THE WITNESS: I'd rather finish.
MR. MacLEISH: I'm perfectly willing to
keep going.
MR. CRAWFORD: We're off the record.
THE VIDEOGRAPHER: It's 12:58 and we're
off the record.
(Whereupon, the luncheon recess was taken.)
AFTERNOON SESSION
THE VIDEOGRAPHER: We're back on the
record. The time is two o'clock.
Q: Cardinal Law, you recall our discussion this
morning when we covered the letter from the
individual from the Department of Social Services
that had reported sexual misuse of him by
diocesan priests. You recall that communication;
is that correct?
A: I do.
Q: And that was a communication that was sent to you
in 1986 and was responded to by Father Helmick.
Do you recall your testimony on that
subject?
A: I believe I do, yes.
Q: And you asked, fairly, during that time period,
with respect to -- I asked you what action you
were referring to you would have taken in Exhibit
No. 12, which is your statement in May of 2002,
with respect to Father Shanley, and you asked me
for records. And so now we're going to go
through some of those records of what was taking
place between 1984 and 1989 for other priests at
the time that Mr. Gregory Ford, Mr. Doe,
Mr. Doe-1, Mr. Busa, Mr. Driscoll were being
sexually abused.
So that's the period that we're going to be
covering, 1984 to 1989.
MR. MacLEISH: First exhibit, please.
(Law Exhibit No. 76, Letter to Law,
12/12/87, marked for identification.)
Q: Cardinal, if you could take a look at Exhibit 76.
This is a letter that was sent to you on December
12, 1987, concerning Father Rosenkranz that we
obtained from your files.
(Pause.)
A: Yes.
Q: Have you had the opportunity to read Exhibit
No. 76?
A: Yes, I have.
Q: So we have Exhibit 76, which is a letter from an
individual reporting sexual misconduct by Father
Rosenkranz, who was then a sitting priest of the
Archdiocese; is that correct?
A: Yes.
Q: This victim reports that Father Rosenkranz on one
occasion, for example, he kissed -- he was kissed
by Father Rosenkranz; Father Rosenkranz laid on
top of him and kissed him; Father Rosenkranz,
quote, had me expose myself and discuss sex with
him; and on at least one occasion while on an
overnight trip, tried to coerce me into sleeping
in his bed in a hotel where we stayed in Conway,
New Hampshire.
Is that correct?
A: That's correct.
Q: And this allegation was received at the
Archdiocese. The date of the letter is December
12, 1987. Do you see that at the top?
A: I see the date, yes.
Q: And it was addressed to you.
Do you see that?
A: Yes, I do.
Q: Do you have any recollection of receiving this
letter?
A: I do not have a recollection of receiving the
letter.
Q: Do you have any recollection of being involved in
this allegation against Father Rosenkranz?
A: I know that there were allegations against Father
Rosenkranz. I know that he is not actively
involved as a priest, but I can't put a time on
that.
Q: Right. Well, you know that there were
allegations that were made in 1987, do you not,
involving Father Rosenkranz; that there was a
decision to keep Father Rosenkranz in active
ministry; and that you allowed him to stay in
active ministry and then there were other
complaints made against him later on and then he
was removed. Is that correct?
A: Yes. What I said, Mr. MacLeish, is that I was
aware of the fact that there were allegations
made against him. I was aware of the fact that
he is not now in active ministry because of
allegations and -- but I cannot give a time
sequence.
Q: Well, what we're focusing on, Cardinal,
respectfully, is the time between 1984 and 1989,
which is the time when the individuals, one of
whom is in the room today, alleged they were
molested. If we could focus on that time period.
You had asked me earlier to provide you with
records of what was happening during that time
and that's really what I'm trying to do now.
So we have a record in 1987 of a complaint
being made against Father Rosenkranz; is that
correct?
A: Focusing on that time, if I may, for just a
minute, given the allegations which I now know of
with regard to Father Shanley and the abuse that
has been suffered at his hands, I can only say
about that time that it is with profound regret
and with deep pain, and deep sorrow that I know
of that.
Q: I understand that. This came up earlier, as you
say, when we talked about your statement of May
when you said you wish you had known about the
1966 allegation.
A: Yes.
Q: And you refer in that paragraph that I showed
you, Exhibit 12, which you have in front of you,
that you would have taken action.
Now what we're doing is going through those
situations where there was information presented
to the Archdiocese and perhaps even to you about
other priests who had engaged in these acts.
That's what we're focusing on right now.
A: That's correct.
Q: We're not focusing on Father Shanley.
MR. CRAWFORD: These are not questions.
He's making statements to which I object.
Ask your questions.
MR. MacLEISH: The Cardinal talked
about Father Shanley. We're not focusing on
Father Shanley now. We're talking about Father
Rosenkranz.
THE WITNESS: Excuse me. But I thought
you did reference me to the presence of people
who had suffered because of Father Shanley
present in the room.
MR. MacLEISH: Yes.
THE WITNESS: And I thought it was
appropriate --
MR. MacLEISH: Fine.
THE WITNESS: -- in some way to
acknowledge that.
MR. MacLEISH: Okay. That's fine. I
understand.
MR. ROGERS: I'd also note for the
record that the Exhibit 76 we just went through
is already Exhibit 45.
MR. MacLEISH: Right. I know that now.
MR. ROGERS: Are we going to go through
and --
MR. MacLEISH: No. New exhibit.
(Law Exhibit No. 77, Memo to Law from
McCormack, marked for identification.)
Q: Would you take a look at Exhibit 77 for me,
Cardinal Law.
(Pause.)
A: Yes.
Q: You've had the opportunity to review Exhibit 77?
A: I have.
Q: Exhibit 77 is a memorandum to you, Cardinal Law,
from Father McCormack regarding George Rosenkranz
that is in reference to the allegations made in
Exhibit 76.
Do you see that?
A: I do.
Q: And you'll see Father McCormack reporting to you
personally in this memorandum about the
allegations and also about his conversation with
Father Rosenkranz.
Do you see that? Second paragraph and third
paragraph, first page.
A: On page 1?
Q: Yes.
A: Yes.
Q: Father Rosenkranz indicated he was upset by the
charges and feared he would be publicly exposed
or have to undergo a civil or criminal trial, and
then it says:
"In 1981 he was arrested for alleged sexual
act in the men's room of a department store.
This case was dismissed by the Peabody police due
to insufficient evidence."
Do you see that?
A: I do.
Q: Do you know why that case was dismissed,
Cardinal?
A: Other than insufficient evidence, as it states
here, I don't.
Q: Did you know there was another man that was
involved in that sexual act who was convicted?
A: I did not know that.
Q: Did Father McCormack ever tell you that?
A: I can't say that he did or didn't. I don't
recollect that.
Q: Then in the next paragraph, Cardinal, it states,
again, referring to Bishop McCormack's
conversation with Father Rosenkranz:
"In our conversation, he said other people
have accused him of being sexually interested in
them. A woman in Canton whose husband accused
him of being responsible for his wife's pregnancy
and another woman who chased him around a dining
room stripping herself of clothing."
Do you see that?
A: I do.
Q: And that was reported to you by Bishop McCormack
in this memorandum; is that correct?
A: It is contained in the memorandum, yes.
Q: Is that unusual type of information to be
receiving about a priest?
A: It certainly is.
Q: It is it disturbing to you --
A: Absolutely.
Q: -- that Father Rosenkranz was discussing this
with Bishop McCormack, these types of
allegations? Was that of concern to you in 1987
when you read this?
A: Obviously the whole thing is of concern.
Q: And then he goes on in his memorandum on page 2
to report his meeting with the victim and his
lawyer friend.
Do you see that on page 2?
A: I do.
Q: And you'll see in the bottom paragraph, it states
as follows:
"Blank feels that a trusting" -- that's the
victim -- "feels that a trusting and important
relationship was misused by Father Rosenkranz's
sexual desires. He said he began to deal with
the trauma caused by this only recently. He is
in counseling. He wants to make sure Father
Rosenkranz is in no position to do this again.
He would like to make sure that efforts are made
by the Church to surface other victims of Father
Rosenkranz's alleged abuse and let them know that
they can be helped."
Do you see that?
A: I do.
Q: Do you recall earlier testimony in your
deposition about your reasons for keeping matters
concerning allegations of sexual abuse
confidential --
A: Yes.
Q: -- that you were concerned that victims would not
come forward if the Archdiocese went back? And
Sister Mulkerrin, we saw her exhibits, her
memorandum, she argued if you went back to the
parishes and informed people of abuse, that there
would be disincentive for -- sorry. Let me
withdraw that whole question.
You recall your testimony on why it was that
you did not go back to the parishes?
A: Yes.
Q: You recall that?
A: It's not a question -- as I recall the question,
Mr. MacLeish, it wasn't a matter of explaining
why we didn't go back to the parishes. The
question was why we did not have mandated
reporting in '93. And the reason for that was
that -- the fear that by putting that mandated
reporting in on our part, we might inhibit
victims from coming forward who would not have
wanted to get into that forum.
And as I indicated, I believe at the time,
and as I still believe, there was some substance
to that reason, but I think that the benefit
which would have accrued had we had mandated
reporting would have been greater than the
benefit -- than the risk of missing some people.
I don't think, though, that that question
was put to me in relationship to going back to
the churches.
Q: Well, you might recall an exhibit I put in front
of you -- we can get it -- from Sister Catherine
Mulkerrin, urging at one point, with respect to a
particular priest, to put notices in parish
bulletins that there had been an allegation of
abuse against a priest who had formerly served
there.
Do you remember that exhibit?
A: I really don't. Had a lot of things put before
me.
Q: We'll try to locate that. At least with respect
to Father Rosenkranz, you see the victim here is
urging that the Archdiocese go back and make his
allegations known so that other people can be
helped.
Do you see that?
A: I do. And I also see Father McCormack's response
to him which reflected what the policy of the
diocese was at that point, that his name, the
diocese would not publicize his name.
Q: Right. They would not publish Father
Rosenkranz's name?
A: Right.
Q: There's nothing in here, though, about the
reasons for the policy, though, is there,
Cardinal Law?
A: No, no.
Q: It just says Bishop McCormack states:
"I said the diocese would not publicize
Father Rosenkranz's name in order to surface the
victims as they requested."
A: Yes.
Q: Now, you'll then see that there is further
communication to you about Father Rosenkranz and
potentially him going to the Institute for
Living.
Do you see that?
A: I do.
Q: Third page.
(Law Exhibit No. 79, Letter to
Rosenkranz from Banks, 5/6/88,
marked for identification.)
Q: Have you had the opportunity to look at Exhibit
78?
A: I have.
Q: This is a letter to Father Rosenkranz from Bishop
Banks, dated May 6, 1988, in which it is stated:
"I'm writing in regard to the allegation
made against you this past winter. After a
thorough investigation of the charge, I have come
to the conclusion that there is no reason to
pursue the matter any further. The person making
the charge was unable to provide any
corroborating evidence and your denial was
supported by the favorable results of your
evaluation."
Do you see that?
A: I do.
Q: Was there some sort of a requirement during the
1984 to '89 period that victims be required to or
asked to provide corroborating evidence of sexual
assaults?
A: You know, again, I cannot answer what the -- how
it is that the office -- Father McCormack carried
out his investigative procedure.
Obviously, if you -- if you have one person
making a charge, someone else denying it, and if
you go to a place like the Institute of Living,
which has some credibility as an institution, and
you receive word, you receive a substantiation of
the credibility of the person, the priest, you
deal with that as best you can. It's not easy.
Investigations are not easy. I think we probably
do -- I hope we do a much better job today but --
Q: Cardinal Law, the Institute for Living on no
occasion gave a finding or recommendation as to
the credibility of particular priests that were
sent there for evaluation, did they? They didn't
do that? They made an assessment of the alleged
perpetrator's psychological condition and whether
he was a threat to children?
MR. CRAWFORD: Objection to the form of
the question.
You can answer.
A: I'm reading here in No. 78 --
Q: Right.
A: -- from Bishop Banks --
Q: Right.
A: -- that "the person making the charges was unable
to provide any corroborating evidence and your
denial was supported by the favorable results of
your evaluation."
Perhaps I'm reading too much into that.
Q: Right.
A: But what I'm saying is that where you have two
people who are giving conflicting evidence about
what took place, then the results of an
evaluation of this kind would carry some weight
in making a determination.
Q: To your knowledge, did the Institute for Living
ever recommend that a priest be removed from
active ministry in the period from 1984 to 1989?
A: I can't answer that one way or the other. I'd
have to go back and look to see, first of all,
how many priests we had that went there during
that time and see what those recommendations
were. If they were for that, it would have
happened.
Q: But is it your belief that the Institute for
Living at some point made credibility
determinations concerning Father Rosenkranz? Is
that your belief?
A: I really have -- the only belief I have about
that is based upon this document which you've
just put before me, No. 78, and I would have no
reason to deny or to disbelieve what is said
here, that "your denial was supported by the
favorable results of your evaluation."
Q: It does not say -- I don't mean to belabor this,
Cardinal, but it doesn't say in this letter from
Bishop Banks that the Institute made a
credibility determination. It just says that the
evaluation of Father Rosenkranz was favorable.
You don't really know what was said in the
evaluation, do you?
A: No.
Q: Okay.
A: I didn't claim I did know.
Q: In any event, whatever was said about it being
favorable turned out not, unfortunately, to be
correct because there were further allegations
about Father Rosenkranz?
A: That's correct.
Q: And eventually, Father Rosenkranz was removed
from ministry; is that correct?
A: That's correct.
MR. CRAWFORD: Object to the form of
the question.
You can answer.
Q: That's because other people came forward apart
from this one victim who sets forth his story in
Exhibit No. 76 in the letter that was sent to
you, correct?
A: That's correct.
Q: And you made the determination to send Father
Rosenkranz back into ministry; is that not
correct?
A: In '88, yes.
Q: Okay. And then the other allegations surfaced,
correct?
A: That's correct.
Q: Now, so when you state in Exhibit No. 12 that if
you had known of the 1966 allegation, action
would have been taken, you're not suggesting that
you would have removed Paul Shanley from St.
Jean's, are you?
A: Mr. MacLeish, what I am suggesting by that
"action would have been taken" is that the matter
would have been examined; that there would have
been appropriate action taken as a result of that
examination.
If the allegation was a credible allegation,
and if there were treatment for the priest, then
a determination would have been made what was or
was not appropriate at that point.
When I say that -- it's the second -- where
is that?
Well, it doesn't say -- I can't think of --
I can't find that reference to the wording that
you're using. But -- oh, here it is. Yes.
Q: Yes. "Action."
A: I would -- "most closely with me can attest that
such a report would have been acted upon."
Q: Then the last sentence too.
A: The last sentence:
"It is only possible to act based on what is
known."
Acted upon in terms of that earlier time
frame would have been acted upon in the light of
the policy at that time.
I think, again, if I may reference this
Document 77, at the top of the page, he, the
alleged victim, asked what does the diocese do
with priests in this matter?
And I think this is an important document
because it does state what it was that was the
policy understood by the person responsible to
carrying it out in 1987. This is your document
77, page 3.
Q: Right.
A: He asked: "What does the diocese do with priests
in this matter? I related the procedure we
follow when such a complaint is made is to see
the person, then see the priest. Once the
determination is made that intervention is
required, I told him how the priest's activity is
restricted and how he's assisted along with any
victims whom we learn have been affected by him."
That was in general our policy. And as you
know from this case, Father Geoghan's case and
other cases, we did put people back in ministry
in those days. But it wasn't -- it wasn't
putting people back in ministry with the thought
that, well, we're just going to move this person
from A to B or this person is a risk but we're
going to take the chance by putting him in a
different environment. It was under -- it was
because we felt that we had reason to believe
that this person, having had this brought to
their attention, having gone through some
treatment, was not a risk.
As I said before, and I think in my first
deposition before you -- and I'm happy to repeat
it every time -- I wish to God that that had not
been our policy then. I wish to God that at that
point, we had had the policy that we now have in
place; that where there has been acting out in
terms of sexual abuse of a minor, the person may
not serve in any position no matter what.
Q: I understand --
A: That was not our policy then.
Q: I understand that. And we're really focusing,
Cardinal, if we could direct you back to the '84,
'89 time period. I understand what your policy
is now.
But at least in 1984, you have a matter
involving Father Rosenkranz that is brought to
your attention that contains some very explicit
and detailed allegations; is that correct?
A: Yes.
Q: These are charges brought against a man who
reports to Bishop McCormack that women are making
allegations about him chasing him around a dining
room table while the woman is stripping herself
of clothing and another allegation made by Father
Rosenkranz that there's a woman in Canton whose
husband accused him of being responsible for his
wife's pregnancy.
We also see from Bishop McCormack's report
that Father Rosenkranz was arrested in 1981,
although the charge was dismissed, for an alleged
sexual act in the men's room of a department
store.
So that information was before you, Cardinal
Law; is that correct?
A: That's correct.
Q: And you had -- did you ask to interview the
victim, by the way? Did you ask to do that?
A: I did not do that. That was the responsibility
of Father McCormack.
Q: And then you made the decision to reinstate
Father McCormack to ministry, finding --
A: Father Rosenkranz.
Q: Sorry.
-- Father Rosenkranz -- I apologize -- to
ministry, correct?
A: That's correct.
Q: And one of the reasons that you made that
determination was because the person making the
charge was unable to provide any corroborating
evidence.
Do you see that in Bishop Banks' letter?
A: First of all, Bishop Banks is writing this letter
as Vicar General in his own -- in his own name.
You see that?
Q: Yes. With your approval?
A: Well, no, not necessarily with my approval.
Certainly my implicit approval, but I wouldn't
assume that I saw this letter. My presumption is
that I knew of the substance of this letter, but,
as a Vicar for Administration, as a Vicar
General, it would have been appropriate for him
to write this letter.
Q: When he says the person making the charge was
unable to provide any corroborating evidence, in
the case of sexual assaults, Cardinal, you would
agree with me that there generally is not a
third-party witness to such assaults, correct?
MR. CRAWFORD: Objection to the form of
the question.
You can answer if you can.
Q: Do you understand the question?
A: Yes.
Q: Do you agree with me?
A: Well, you know, I agree with the narrowness of
your question, but I think that corroborating
evidence can be other kind of evidence besides
that, in terms of time, in terms of place, and I
don't -- I don't think that you -- but you would
need to ask Bishop Banks that.
I'm sure that Bishop Banks wasn't expecting
that the kind of evidence that needs to be given
is the kind of evidence that is evidentiary
evidence to the act itself.
But if you have two people giving
conflicting account as to what occurred, then it
does seem to me that you've got to look at some
kind of evidence to resolve this.
Q: But in this particular case, there was a detailed
charge and there was a vehement denial and the
decision was made to put him back into ministry,
correct?
A: The decision was, first of all, to send him to
the Institute of the Living, which, from our
perspective, is a rather significant thing to do.
And it would have been quite another matter if
you would have had someone coming forward with
this allegation, someone denying the allegation,
and then a decision being made on that basis
alone that, well, there's -- they're conflicting
so we'll just go ahead and put him back in. That
was not done.
(Law Exhibit No. 79, Handwritten Letter
to Law, marked for identification.)
MR. CRAWFORD: Do you want to take a
break?
THE WITNESS: No, not yet.
MR. CRAWFORD: He's read it.
MR. MacLEISH: You're ready? I'm
sorry.
MR. CRAWFORD: That's why I was asking
you, Mr. MacLeish, if you wanted to take a break.
MR. MacLEISH: No, no. Sometimes I
have -- I'm sorry. The witness is finished.
Q: You have Exhibit 78. Do you see that, Cardinal
Law?
A: I do.
Q: This is a letter, again, sent to you during the
same time period that we're talking about, 1984
to 1989, from the mother of an alleged victim of
Father O'Sullivan.
Do you see that?
A: I do.
MR. CRAWFORD: Eric, it's 79.
MR. ROGERS: 79.
MR. MacLEISH: 79. Sorry.
THE WITNESS: Excuse me? Oh, yeah.
Q: Do you see that, Cardinal?
A: I do, I do.
Q: You'll see that this woman reports that Father
O'Sullivan's actions toward her son were
insurmountable.
Do you see it on the first page?
A: Yes.
Q: You see on Exhibit 15, originally -- if you want
to take a look at that and just refresh your
recollection. These were your notes on July 16,
1993, just prior to an article in the Boston
Globe concerning Father Eugene O'Sullivan.
Do you see that? The article in the Globe
is Exhibit No. 16 if you want to see that.
A: Where should I look?
Q: Let's start with Exhibit No. 16. Okay? Just the
Globe article.
A: 16. All right.
Q: Which is, you'll see that's dated July 17, 1993.
A: Yes.
Q: And you'll see that there's an entry in the fifth
paragraph of the article:
"O'Sullivan pleaded guilty in 1984 to a
charge of having unlawful sexual intercourse or
unnatural sexual intercourse with a boy younger
than 16 in Arlington, Massachusetts. The
offenses allegedly began when the boy was 13 and
continued for two years."
Do you see that?
A: Yes.
Q: Exhibit 15 are your notes, and I think there are
some notations from Bishop Hughes on the day
prior to the publication of the Globe article,
July 16, 1993.
Do you see that?
A: Yes.
Q: In fact, this is -- it starts off:
"Al: Some thoughts on the O'Sullivan case."
Do you see that?
A: Yes.
Q: And it states in a third of the way down in
numbered paragraph 1 -- again, I apologize for
the copy. This was the best copy that we could
get from your files.
"In 1985" --
Do you see where it says --
A: It's the only copy, so --.
Q: Well, we're going to try to get a better copy.
"1. In 1985, Father O'Sullivan came to
respond" -- I believe that is -- "came to me to
respond to allegations and to acknowledge
substance of" -- I believe that's a "them" after,
although I'm not sure.
A: May I say a word about this document here?
Q: Yeah. If you could just respond to my question
first. I just want to make sure I got the
reading right. Then I'm going to give you that
opportunity.
A: All right.
Q: Father O'Sullivan -- you note Father O'Sullivan
came to you in 1985 where he acknowledged the
substance of the allegations of sexual
molestation against him.
Is that a fair statement?
A: Well, you know, I don't recall the details of the
meeting, but this is my memo, and this is a memo
that there refers to that taking place, so I
presume in '85 that did in fact happen, yes.
Q: And then in No. 2, you state:
"This is my first knowledge of this" -- I
can't read -- maybe you can help me with your
writing here -- "of this. No." -- "of this.
No previous reports have been received."
Do you see that? Did I read that correctly?
A: I see that.
Q: Then you see Bishop Hughes' handwriting on the
left saying:
"Certain? There were previous reports."
Do you see that?
A: Yes. And that's what I would like to have
reference to.
This was my effort to think through this
issue and to give this memorandum to Bishop
Hughes and to get his reaction to that, and,
frankly, to check my memory to ascertain whether
I was right or wrong. And that's -- that
indicates the -- that indicates the reason why
the notations are there and that really is the
intent of this kind of a -- when I say "some
thoughts," that's what it is. It's some
thoughts. I'm trying to think through the thing.
I'm trying to see how we can respond. I'm trying
to recall what the facts of the case are.
Q: Sure. But in any event, we agree that there was
an admission in this case -- again, we're talking
about the time period that Father Shanley was in
Newton allegedly molesting my clients.
This is yet another -- well, this is an
example of an allegation of sexual molestation
that was admitted to by Father O'Sullivan; is
that correct?
A: That's correct.
Q: And was Father O'Sullivan removed from active
ministry?
A: He was removed from active ministry.
Q: Well, he was ultimately removed from active
ministry, correct?
A: That's correct.
Q: Wasn't removed in 1985, though, was he?
A: He have not removed in 1985.
Q: He was sent down to the Diocesan of Matuchen, New
Jersey; is that correct?
A: He served in the Diocese of Matuchen.
Q: Where he worked with children?
A: And where he worked evidently well.
Q: Well, whether he worked well or not, he worked
with children after pleading guilty, as the Globe
reports, to some act of sexual intercourse with a
minor?
A: That's correct.
Q: And you made the decision after that to send him
down or to allow him to go down to the Diocese of
Matuchen, New Jersey, to work with children?
A: We did, and I believe we did -- I stand to be
corrected on this -- with the knowledge of -- I
think he had a probation officer, did he not? I
believe he did.
Q: I could respond to that if you want me to and I
will if you want me to.
A: No.
Q: I don't think you want to hear the answer.
MR. CRAWFORD: Why don't you ask
questions.
MR. MacLEISH: Well, I did. He asked
me a question. I'm happy to respond if you --
A: The answer is yes.
Q: The answer is yes?
A: Yes.
Q: So, again, if you had -- here is a case of a plea
of guilty to sexual intercourse with a minor and
this man was not removed from active ministry,
correct?
A: That's correct.
Q: And you made that decision, Cardinal Law,
correct?
A: I did.
Q: Let's take a look at -- by the way, did you -- do
you ever remember receiving Exhibit 79 and
meeting with the mother of this woman?
A: I do not remember that.
Q: Do you remember receiving -- again, I'm going to
ask you these questions, having seen now a number
of letters that have been directed to your
attention, again, during the time period '84 to
'88, do you ever remember receiving any letter
concerning sexual molestation by a priest from a
parent or a victim during that period?
A: I would have to have you show me the letter and
ask me.
Q: But as of right now, you don't remember the
letter that was sent, that we went over earlier
from the Department of Social Services? You
don't remember receiving that, right?
A: I do not.
Q: You don't remember receiving the Higgs letter
involving Paul Shanley?
A: That's correct.
Q: You don't remember receiving the letter that was
sent to you by the man, Exhibit 76, complaining
about Father Rosenkranz, right?
A: That's correct. I remember dealing with the
cases.
Q: I'm just talking about receiving the letters.
You don't remember receiving Exhibit 79,
which is a letter sent to you about Father Eugene
O'Sullivan? You don't remember receiving that?
A: That's correct.
MR. MacLEISH: Let's go to another
letter.
(Law Exhibit No. 80, Letter to Graham,
marked for identification.)
Q: Okay. We see in Exhibit 80, which is a document
that we've received, I believe, since the last
day of your deposition, we see a complaint about
Father Graham in which the person indicates that:
"Twenty years ago you sexually assaulted me
over a course of a couple of years on numerous
occasions. As you are fully aware, this abuse
took place when I was under the age of 18 and
attending high school."
Do you see that?
A: I do.
Q: And do you see that he reports in the second
paragraph that he was sexually assaulted in
Father Graham's car, his parents' home, your
vacation home in Hull, our Lady of Lords Rectory
in Stoughton, Massachusetts, St. Patrick's
Rectory in Stoneham and others?
Do you see that?
A: I do.
Q: Do you see the date up at the top, May 1988?
A: I see the date May '88, yes.
Q: We'll have some other documents that will show
that this is all in 1988, which, again, is during
that same time period, 1984 to 1989, when Paul
Shanley was at St. Jean's.
And you'll see in the third to last
paragraph, fourth to last paragraph, it reports,
the writer states:
"I have recently learned that you continue
to befriend young boys, taking them away on
overnights and no doubt abusing them as well,
getting upset when they grow older and terminate
their relationship with you."
Do you see that?
A: I do.
Q: Then it states:
"I can only imagine how many victims you
have" over -- "have had over the years. I
cannot allow this to continue on while I keep
quiet." Okay?
Then it says:
"I can, however, give you the opportunity to
make things right. I request that you do the
following: Inform your pastor of what has been
taking place, remove yourself from all
child-related activities."
Do you see that? There's a number of other
requests.
A: I do.
Q: Turn over to the second page, you'll see that
you're cc'd on this letter, Cardinal. It says:
"Cc Cardinal Bernard Law, Archdiocese of
Boston."
Do you see that?
A: I do.
Q: Do you remember receiving a copy of this letter?
A: I don't remember seeing a copy of this letter.
Q: Well, this makes very serious and specific
charges against Father Graham; is that correct?
A: It does.
Q: You would agree that an individual who would
engage in the sexual assault of a minor, even in
1988, should not be involved with any type of
parish ministry? Is that your view in 1988,
Cardinal Law?
A: My view is that in 1988, my view would have been
that charges like this being lodged against a
priest for activity having occurred 20 years
before would need to be reviewed and looked at by
extensive evaluation and treatment of the priest
themselves, and then I'd need to receive some
sort of an indication as to what would be
appropriate for that priest. That would have
been the case in '88.
Q: So just so I'm clear, in 1988, even if it could
have been firmly established that a priest had
engaged in sexual assaults over the course of a
couple of years on a young man, that priest would
not automatically be disqualified from being
allowed to engage in parish ministry.
Is that your testimony?
MR. CRAWFORD: Object to the form of
the question.
You can answer.
A: My testimony, Mr. MacLeish, relates to the policy
of this Archdiocese as it has evolved.
Q: I'm talking about 1984 to 1989, Cardinal.
A: I understand that. As you know, in that period
of time, it would be possible for a priest who
had engaged in this kind of activity,
theoretically possible for that kind of a priest
to be reassigned if there were indication from
treatment and -- that this would be safe.
That is not our policy now, as you know.
You don't like me to keep reminding you of that,
but I have to tell you that our policy did
evolve.
Q: I don't mind you stating that, Cardinal, but
we're here to talk about the people in this room
right now, what happened --
A: I understand that.
Q: -- in 1984 to 1989. So if we could try to stay
focused on that, that would be helpful.
A: And I have attempted earlier, and I do it again,
to say that I wish to God that our policy had
been different then, but I cannot say what it
wasn't when you're asking me what it was.
Q: Just so we're clear, that this man is reporting
sexual assaults over a period of years in a
number of different locations, correct?
A: Against one individual, that's correct.
Q: Against Father Daniel Graham. You're copied on
the letter. Okay?
A: Yes.
Q: You have no recollection --
A: Allegations are being made that this individual
sending the letter was abused by Father Graham
over a period of time, 20 years previously.
That's correct.
MR. MacLEISH: Let's mark the exhibit.
(Law Exhibit No. 81, Memo, 5/9/88,
marked for identification.)
A: Yes.
Q: This is Exhibit No. 81, which is a memorandum of
Bishop Banks, dated May 9, '88; is that correct?
A: Yes, it is.
Q: And on Exhibit 80, if you could just look back at
that, Cardinal Law,
A: 80?
Q: Yeah. See up in the upper right-hand corner the
date is May '88, handwritten.
Do you see that?
A: I do.
Q: Does that look like Bishop Banks' handwriting?
MR. CRAWFORD: Don't speculate if you
don't know.
MR. MacLEISH: I'm just asking him.
A: I have to say that on that specimen, I can't say.
Q: Okay. Fine.
In any event, Bishop Banks investigates the
allegations that are made in Exhibit No. 80, and
it's stated in Exhibit No. 81, in this
memorandum, it states:
"I met with Father Graham and he confessed
that as a seminarian and a young priest, he had
been involved with a young man and that this
involvement involved sexual activity."
Do you see that?
A: Yes.
Q: So this took place when Father Graham was both a
seminarian and a young priest.
Do you see that?
MR. CRAWFORD: Object to the form of
the question.
You can answer.
Q: That's what this document reports, Father
Graham's admission?
A: The document says that he confessed as a
seminarian and a young priest, yes.
Q: That would have involved presumably more than a
year; is that correct?
A: That's -- well, perhaps. The whole period would
have perhaps -- would imply more than a year,
yes.
Q: And it also states that:
"A short time after his ordination, Father
Graham realized that the activity was
incompatible with his priesthood and cut off the
relationship. He also took other steps to
address the problem, such as entering into better
friendships with priests."
Do you see that?
A: I do.
Q: It goes on to state, in the -- you'll see in, I
think it's the fifth paragraph:
"After meeting with Father Graham, I said he
should do something about the young man. Father
Graham reports that he tried to meet the young
man but the young man refused. Father then asked
Father Paul Shanley" -- I think that's Shanley.
There's no Father Shaley?
A: Not that I know of.
Q: -- "Father Paul Shanley to meet with the young
man and to explain that Father Graham was in good
condition now. The concern of the young man was
not for himself but for other young people whom
Father Graham might be abusing."
Do you see that?
A: I do.
Q: What role did Father Shanley have in the
Archdiocese of Boston in 1988 with respect to
providing assistance to priests who were accused
of sexual misconduct, if you know?
A: He had no position. I think, however, the very
fact that Bishop Banks would have asked him to do
this would point to the lack of suspicion on the
part of either Bishop Banks or myself with regard
to Father Shanley.
Q: Well, I don't want to go over the records that
we've had before, but you know that later in 1988
there was a report from a patient at the Maclean
Hospital that Father Shanley had engaged in
inappropriate behavior with him and that was
investigated by Bishop Banks.
Do you recall that, Cardinal Law?
A: What year was that?
Q: 1988.
A: Yeah.
Q: And we also know that Bishop Banks responded to
Mrs. Higgs in 1985; is that correct?
A: I can't recall the date when that letter was
responded to, but if you say that, that's when it
was, yeah.
Q: Well, we can go over your prior testimony, but in
your prior testimony -- Well, I'm going to let
your prior testimony on Bishop Banks speak for
itself.
A: Surely.
Q: In any event, Bishop Banks somehow -- well, it
doesn't say that Bishop Banks asked Paul Shanley
to be involved, does it?
It says:
"Father then asked Father Paul Shanley to
meet with the young man."
A: Okay. Yeah.
Q: Doesn't say anything about Bishop Banks?
A: That's right, that's right, that's right, that's
right.
Q: Then it says, in the second to the last
paragraph:
"I also asked Father Graham to meet with
Father O'Hanley and I have received from Father
O'Hanley" --
A: Excuse me. That's Dr. O'Hanley.
MR. ROGERS: Dr. O'Hanley.
MR. MacLEISH: Dr. O'Hanley, right.
Q: "And I've received from Dr. O'Hanley a report
which allows us to continue to assign Father
Graham to priestly ministry."
Do you see that?
A: I do.
Q: You were the person who ultimately made the
decision that this man, who had admitted in
engaging in sexual activity with a minor, could
be returned -- remain in active ministry; is that
correct?
A: I did, dependent upon those who were charged with
investigating, and in this case would have been
Bishop Banks.
Q: And he was returned to active ministry, is that
correct, in Quincy?
A: That's correct.
Q: And his parishioners were not informed, Cardinal,
about the fact that he had admitted engaging in
sexual activity with a minor 20 years earlier; is
that correct?
A: That's correct, that's correct.
Q: And, in fact, then more people came forward,
including this year, against Father Graham and
made new allegations; is that correct?
A: Father Graham was removed this year --
Q: Right.
A: -- from active ministry. I'm not -- as I'm
sitting here now, I don't know whether that was a
matter of new allegations or whether that was
going back and looking at everybody who --
against whom allegations had been made, which had
been substantial, as this was, who were allowed
to go back into ministry.
But then we made the determination that they
could not remain in ministry and they were
removed. So I'm not sure whether in this case
it's a matter of the old allegation alone or the
old plus new.
Q: Do you know of any steps that were taken in the
case of Father O'Sullivan that you directed so
that the parishioners in New Jersey, in Matuchen,
New Jersey, where Father O'Sullivan was sent
after pleading guilty to unnatural sexual
intercourse, that they would be informed that the
person who was now working in their parish had
been convicted of a sex crime?
Did you do anything like that or direct
anyone to do anything like that?
A: No.
MR. MacLEISH: Okay. Do you want to
take a break?
MR. ROGERS: Please.
MR. MacLEISH: Sure.
THE VIDEOGRAPHER: Time is 2:58. This
is the end of Video Cassette No. 2. We're off
the record.
(Recess.)
THE VIDEOGRAPHER: We're back on the
record. The time is 3:09. This is the beginning
of Video Cassette No. 3 in the deposition of
Cardinal Bernard Law.
Q: Okay. Cardinal Law, if you could refer to
Exhibit No. 81, please.
A: In the book?
Q: No, no.. 81, which is before you, the last one
we looked at.
This makes reference to Father Graham
meeting with Dr. O'Hanley. I think we've covered
that before.
Did you make any inquiry whether
Dr. O'Hanley had any expertise in the area of
treatment of individuals who were accused of
sexual molestation?
A: No. Mr. MacLeish, I relied on my colleagues who
were directly involved in carrying out
investigations to refer to both institutes or --
for in-patient treatment or to individuals for
out-patient treatment.
Q: This was a man who had admitted engaging in the
behavior -- we've been through other situations
such as Father Rosenkranz, Father Geoghan, who
were sent to the Institute for Living.
Was there any protocol in existence in the
period from '84 to '89 on when someone would be
sent to a specialized facility like the Institute
for Living or simply be sent to a local doctor?
MR. ROGERS: Objection.
MR. CRAWFORD: Object to the form of
the question.
You may answer.
A: The closest you're going to come to, I think, to
an expression of what the policy was at that time
and the operating principles of the policy at
that time, are in your Document No. 77. And it's
that third page, that first paragraph, where
Father McCormack is responding --
Q: Right.
A: -- to the alleged victim of Father Rosenkranz.
There were no specific protocols that I am
aware of that would have made the distinction
when you -- that would have established the
criteria for electing in-patient treatment rather
than out-patient treatment.
I would say that, I would say that --
Q: Excuse me. Go ahead.
A: May I finish?
Q: Yes. Absolutely.
A: As time went on, I think that we came to realize,
those working with me came to realize that
in-patient was not only desirable but was really
needed; that the -- that you couldn't deal with
this in, effectively, in other ways.
Q: Well, all I'm asking -- let me just try to
clarify one thing. When people were sent to the
Institute for Living, they were not sent for
treatment; they were sent for assessment. Is
that not the case, Cardinal Law?
A: It could be either.
Q: Okay.
A: You could have a situation -- certainly, the
first thing that came would be an evaluation, but
you might have an evaluation which would indicate
a necessity for in-patient treatment, and that
was possible at Institute of Living, and I
believe that we did have people who were
in-patient.
Southdown in Canada would be the place where
I would imagine -- I would imagine Southdown and
St. Luke's at the end were the places that we
would have utilized most frequently but -- and
even those places, someone may go for evaluation
for a shorter period of time and then find -- we
would find that treatment would have been needed.
And this would be cases even of people who were
removed from active ministry but who would need
the treatment anyway to move on with some greater
awareness in their life.
Q: All right. So in the case of Father Graham, I
would like to focus on specifically, you
certainly wanted competent professionals, even
back in 1988, to examine individuals who had
credible allegations or even admitted allegations
of child molestations against them; is that
correct?
A: That's correct.
Q: Did you do anything, Cardinal Law, in any way, to
verify the credentials of Dr. O'Hanley with
respect to his analysis of Father Graham?
A: I did not do that personally, no.
Q: And the memorandum, No. 81, states:
"I also asked Father Graham to meet with
Father" -- "with Dr. O'Hanley."
Do you see that?
A: I do.
Q: It doesn't indicate how many times he met with
Dr. O'Hanley?
A: It does not.
Q: It doesn't indicate that there's any ongoing
treatment with Dr. O'Hanley; is that correct?
A: It doesn't indicate that that was indicated by
Dr. O'Hanley or that it had occurred, that's
correct.
Q: It doesn't indicate whether Father Graham might
have had a long-standing relationship with
Dr. O'Hanley because he was a general
practitioner, for example, as was the case with
John Geoghan and Dr. Brennan?
MR. CRAWFORD: Objection to the form.
Answer if you can.
MR. MacLEISH: I withdraw the question.
Q: You don't know whether Dr. O'Hanley could have
been a personal acquaintance of Father Graham's
or his long-standing general practitioner, do
you?
MR. CRAWFORD: Objection to the form.
You can answer.
MR. MacLEISH: Go ahead.
A: No, I do not. I would presume from the sentence,
"I also asked Father Graham to meet with
Dr. O'Hanley," that since Dr. O'Hanley was
involved, I think, in some other cases as well,
that the choice of Dr. O'Hanley would have been
the choice of Bishop Banks. But I can't prove
that. That's an inference from what I'm reading
here.
Q: Okay. Is Father Graham still a priest in good
standing with the Archdiocese of Boston?
A: Father Graham is off of active ministry, has been
removed from active ministry.
Q: Is he receiving any financial benefits from the
Archdiocese?
A: I cannot answer that. I would presume he may be
but --
Q: Okay. What about Father Shanley. Is he
receiving any forms of financial assistance from
the Archdiocese?
A: I'm not aware of -- I can't answer that question.
I don't know.
Q: Okay. All right.
(Law Exhibit No. 82, Handwritten
Document, marked for identification.)
(Law Exhibit No. 83, Memo, 5/18/94,
marked for identification.)
Q: Okay. You've looked at Exhibit 82, Cardinal Law.
These, again, are documents that we've obtained
from your files. These were documents obtained,
Exhibit 82, in the case of Father John Hanlon.
Do you recall John Hanlon was convicted --
A: Yes. He's in prison.
Q: He's in prison. And you've gone down to visit
him in prison on a number of occasions?
A: I have.
Q: These are notes of Sister Catherine Mulkerrin.
Do you see the initials CEM?
A: I do.
Q: It says:
"CEM. Some suggestions shared for reaching
out -- bulletin -- orally through other
families."
Do you see that?
A: I do.
Q: Could you please look at Exhibit 83. You can
feel free to read the whole thing I'm going to be
asking you specifically about the last paragraph
in Exhibit 83.
A: Okay.
(Pause.)
A: Yes.
Q: You'll see the last paragraph on Exhibit 83, it
says -- this is, by the way, a memorandum from
Sister Catherine to Father McCormack in 1994, May
18, 1994, regarding allegations against Father
Richard Matte.
You know Father Matte; is that correct?
A: I do.
Q: And --
A: He is no longer in active ministry.
Q: Right. He's still receiving financial assistance
from the Archdiocese, though?
A: He may be. I don't know that.
Q: Well, there are a number of allegations against
Father Matte; is that correct?
A: There are.
Q: Yes. And the last paragraph, Cardinal:
"CEM. This may be, 'by the books,' but it
feels like a second victimization. The burden is
put on a minor all over again and now on his
family. 'Broken record,' by CEM: It has come to
our attention that a priest stationed here
between 19 blank and 19 blank may have molested
children. Please contact, period, period, period
(parish bulletin)."
Do you see that?
A: Yes.
Q: What do you interpret CEM as stating in that
paragraph? That's Sister Catherine?
A: Well, I presume it refers to what's above in May
13 where it says:
"The DSS, DA need permission from the family
to come out. However, blank wants no part of
reporting or of counseling."
And the victimization, the second
victimization would be, the consequence of that
taking place, would -- is inhibiting the person
from getting the help that is needed and it's a
second victimization.
Q: Right. But Sister Catherine is also talking
about what she spoke about in Exhibit No. 82,
some suggestions shared for reaching out,
bulletin, orally through other families.
Do you see that?
A: It may be in reference to that.
Q: She states the last part:
"Broken record by CEM. It has come to our
attention that a priest stationed here between 19
blank and 19 blank" --
A: Yes, yes.
Q: -- "may have molested children."
A: Yes.
Q: "Please contact (parish bulletin)."
She's advocating in this, is she not,
Cardinal Law, for outreach that would not in any
way expose the identity of the victim to the
parishes where people like Father Matte worked?
That's what she was advocating, wasn't it?
A: Yes. That's correct.
Q: Did she ever advocate that to you?
A: She didn't advocate that to me directly, but, as
you know, it is now part of our policy to do
that.
Q: I'm talking -- we're talking now about 1994 --
A: I'm well aware of --
Q: -- it was not your policy then?
A: I'm well aware of that, yes.
Q: Has anyone gone back to the former parishioners
of St. Jean's, as of right now, Cardinal Law, to
let them know that there are credible allegations
of sexual molestation against Father Shanley?
Has anyone done that?
A: First of all, St. Jean's as a parish doesn't
exist anymore.
Q: I know. But the parish records exist.
A: The parish records exist, yes, but the parish
doesn't exist.
But it is our policy to reach out to
parishes where allegations have come to light and
we are doing that. We have a number of
allegations that have been made with regard to
priests in the past. As you know, most of the
allegations which have come forward since 1993
are not allegations of activity that are
contemporary, but it's activity that has occurred
years before, with the exception of allegations
against two priests. And we are attempting to
respond to those.
Since January, we've had such a plethora of
names being brought forward that we have a lot of
catch-up to do.
Q: You'll see back in 1994, Sister Catherine was
advocating for doing then what you are attempting
to be doing now.
Do you see what?
A: I do.
Q: The last paragraph?
A: I do.
Q: Can you -- did you appreciate in 1994, Cardinal
Law, when there were allegations about priests of
the Archdiocese coming forward, as we've seen in
the exhibits today, that it might be helpful to
mitigate some of the damage if there could be
some outreach to the parishes where people like
Father Matte, Father O'Sullivan, Father
Rosenkranz, Father Graham served?
A: Yes. And there has been outreach to the parish
where Father Graham has served. There is -- as I
stand to be corrected -- but I believe there was
outreach also to the parish where Father Matte
served.
Q: I'm talking about 1994.
A: And we're attempting to do that.
I'm talking about now.
Q: My question was in 1994, did it occur to you that
it might be useful for people who had been
victimized at these parishes but didn't know
there were allegations against the same person
who had molested them, for a parish bulletin
notation like Sister Catherine was arguing,
something like that take place?
A: What occurred --
MR. CRAWFORD: Objection to the form.
You can answer.
A: What occurred --
Q: Do you understand the question?
A: I understand the question.
What occurred to me in 1994, I can't respond
to. What I can respond to is what our policy was
then and what it is now.
Q: All right. Could we please go, if you look at
your exhibit binder, Cardinal Law, to Exhibit 47,
please. It's a group of documents.
If you'll see that there is a notation in
that group of documents up at the top right-hand
corner -- it's in the bottom corner as well --
but if you could turn to JB No. 11. All these
documents concern Father Joseph Birmingham.
A: Yes. I have it.
Q: You have it?
This document is stamped "Not acknowledged
at Residence."
Do you see that?
A: Yes.
Q: I think that this is the first one that we've had
today of the letters that have been sent to you
involving Father Rosenkranz, Father Graham, the
complaint from the person working at DSS, this is
the first one, I believe, that has that
particular stamp on it, if I'm not mistaken.
Do you see that?
MR. CRAWFORD: Let me object to the
form of the question.
A: Excuse me?
MR. CRAWFORD: Are you asking him if he
sees this?
Q: That's okay. You see the stamp, right?
A: I do see the stamp, yes.
Q: We've been through a number of documents, such as
Exhibit No. 80 concerning Father Graham, that did
not have the stamp on it; Exhibit No. 79, which
did not have the not acknowledged stamp on it;
the exhibit that we spoke about previously from
DSS which did not have the not acknowledged stamp
on it.
A: I don't see that DSS thing, but that's all right.
Q: I think we went over it.
A: It's a matter of record. If it has it, it has
it. If it doesn't, it doesn't.
Q: Well, in any event, Cardinal Law, do you remember
receiving this letter concerning Father Joseph
Birmingham?
A: Let me finish reading it.
(Pause.)
A: I do not remember receiving this letter.
Q: All right.
A: And, again, the stamps would indicate that the
way in which this was handled, "Not acknowledged
at Residence," sent to the Office of Ministerial
Personnel, with the implicit understanding that
they would respond.
Q: So when that stamp doesn't appear, it's -- it
could have been the case that you saw the letter
directly?
A: Not necessarily but could have been. If the
stamp is there, that's a likely indication that I
did not see the letter.
Q: Well, again, Cardinal Law, this is yet another
letter in the 1984 to 1989 time period -- I think
it's the fifth letter that we've covered so far:
We've covered the DSS letter, we've covered the
Rosenkranz letter, we've covered the letter
concerning Father Graham and now we have the
letter concerning Father Birmingham. And did I
mention Rosenkranz? So four --
A: You did mention Rosenkranz. He might have been
in there. Was he the DSS?
Q: No, no. The DSS doesn't -- mentions diocesan --
A: That's right. It doesn't mention --
Q: Doesn't mention anybody.
Anyway, we've had, at this point, at least,
four or five of these letters that have been sent
to you, none of which you remember receiving.
A: '84 to '89.
Q: '84 to '89 time period.
A: A letter a year.
Q: Well --
A: About. Average. Right?
Q: Cardinal, we've only gotten the records of 15
priests and we're not quite through, so we have
some more records we're going to show you today.
A: Fine.
Q: But I would ask you, in light of your testimony
this morning that the issue of childhood sexual abuse by clergy was not
something that you considered to be pervasive in the time period [page
201 begins] from '84 to '89, there certainly were complaints that
were made; is that correct?
A: That's correct.
Q: There were certainly priests who -- one priest
who had admitted engaging in it.
A: That's correct.
Q: Actually, two priests because Father O'Sullivan
pled guilty, correct?
A: Correct.
Q: So now we have a letter concerning Father
Birmingham. And isn't it the case -- and I don't
want to go over this again -- but you assigned
Father Birmingham to St. Brigid's in Lexington
after there had been allegations that he had been
involved in sexual misconduct with minors at St.
Ann's in Gloucester; is that correct?
A: That's correct.
Q: And you, in fact, made Father Birmingham or
assigned Father Birmingham the pastorship of St.
Ann's in Gloucester; is that correct?
A: I believe I -- I believe I did, depending on what
year that --
Q: That was 1985.
A: -- that he was made -- yes, I would have then. I
would have been here --
Q: And you now know --
A: -- a year.
Q: I'm sorry.
A: Yes.
Q: You now know -- and it's actually in Exhibit
47 -- that dating back to the -- to 1964, there
were allegations of sexual misconduct against
Father Birmingham?
A: I see that in terms of this document, yes.
Q: And then you'll turn to the next page and you'll
see more allegations in 1970 against Father
Birmingham.
Do you see that?
A: I do.
Q: So when someone came forward with respect to
Father Birmingham, he was not removed from
ministry; he was transferred over from St. Ann's
as pastor to St. Brigid's in Lexington. True?
A: You read even what this letter says in the second
paragraph --
Q: Right.
A: -- "Resigned for reasons of health."
I don't recall the year that Father
Birmingham died but I do recall --
Q: '89.
A: I do recall that he had cancer.
Q: Right.
A: And I do recall that he was in residence at St.
Brigid's, died at St. Brigid's.
Q: Right.
A: And as I recall, but the record should show
that -- and I haven't checked those records -- is
I recall he had a very restricted assignment at
St. Brigid's in view of his health. He was, in
effect, dying.
Q: Well, he died in 1989, Cardinal Law.
A: That's correct.
Q: He was transferred in 1987. So my question to
you is:
After the allegations surfaced at St. Ann's,
you transferred him to St. Brigid's in Lexington,
and you did not place any restrictions on him in
terms of his access to minors while he was at St.
Brigid's, correct?
A: I'm not sure that's true. I'd want to check that
out. I would want to check that out.
Q: Could you? Okay. All right. That's fine. If
you have any documents that show that --
A: I would want to check that out. Yes, I'd want to
check that out and I'd want to check that out in
terms of a discussion that I recently had with a
victim of Father Birmingham.
Q: In any event, Father Birmingham was at a parish
after the allegations --
A: He was. He was.
Q: -- were made involving his misconduct at St.
Ann's?
A: He was.
Q: And what was the purpose in transferring him to a
parish as opposed to some sort of facility such
as Our Lady's in Milton or another facility where
he could have a close eye kept on him?
A: Yeah. My sense is that, that his health
situation was precarious and the idea was to put
him in a place where there would be -- there
could be limitation upon him but he would be with
someone who knew him and --.
Q: Someone who knew him?
A: Yes. A priest.
Q: Okay. All right. Let's now refer to the case of
Father John Geoghan, if we could, please.
(Law Exhibit No. 84, Handwritten
Document, 9/6/84, marked for
identification.)
(Pause.)
(Law Exhibit No. 85, Letter, 9/18/84,
marked for identification.)
Q: You've read Exhibit No. 84?
A: I have.
Q: This is a letter that you've seen before; is that
correct?
A: Yes.
Q: It's a letter sent to you on September 6, 1984,
by a Margaret Gallant concerning Father John
Geoghan; is that correct?
A: It is.
Q: And she reports in the letter that she has three
nephews and four grandnephews who have had
dealings with Father Geoghan.
A: Yes.
Q: "I'm quite certain of these facts" and she
reports to you in this letter that Father Geoghan
lately has been seen in the company of many boys.
Do you see that?
A: Yes.
Q: And did you meet with Mrs. Gallant back in 1984?
A: I don't know. I don't know whether I did or not.
Q: Did you receive a copy of this letter, remember
seeing this letter back in 1984?
A: You know, I've seen this letter. I don't know
whether I've seen this letter in that earlier
time frame or not. I would imagine, given what
is written on the side, that I would have, if
this letter was addressed to me, which I presume
it was.
Q: I'm sorry. There was some notation --
A: Well, it says on my copy "Personal letter of
conscious." It says "Letter of conscious."
Q: "Personal letter of conscious"? Okay.
A: Yes. And if that had been on the envelope, then
I would have seen that.
Q: Okay. Cardinal Law, did you keep an appointments
book when you were back in the period from '84 to
'89, appointments calendar?
A: I don't think I did. I kept my own appointment
book before I got here, and when I got here, my
appointments were kept by my administrative
assistant.
Q: Is that Mrs. Woodward?
A: Mrs. Woodward, yes.
Q: Does she have an appointment book for you right
now?
A: Not a book.
Q: How would you describe it?
A: Now we do it on computer. I forget how it was
kept in '84. I get a calendar. I get a -- every
day I get a folder, and the folder has an
hour-by-hour breakdown on the front and that's --
those are my appointments.
Q: And that was your practice in '84 up until '89,
to get pieces of paper, documents that indicated
what your calendar would be?
A: That's right. Every day I would get a printout.
Well, I get a printout now and I've had a
printout for a long time. I, frankly, don't
remember -- this was months after I got here as
Archbishop. I can't remember exactly what the
system was at that point, but it evolved at some
point to a computerized recordkeeping.
Q: Do you know whether your old appointment
materials have been kept at the Archdiocese?
A: I would not know. They certainly wouldn't have
to be kept, but whether they have been kept, I
don't know.
Q: So if, for example, you had met with Paul Shanley
in 1985, there might have been a written record
kept of that in your appointment documents?
MR. CRAWFORD: Object to the form.
You can answer.
A: Yes. If I -- I mean, is it possible that I met
with people that somehow, you know, walked in and
got me in a free moment? That's conceivable.
But for the most part, if I met with somebody, it
would have been a scheduled meeting.
Q: Well, do you know whether there's been any search
of your records to determine whether there are
documents concerning Paul Shanley that are
responsive to our records request in this case
and two court orders?
A: I am certain that all of the requests that have
come from you and others for records are
attempted to being responded to as expeditiously
as possible, and I'm sure you can appreciate how
much time all of that takes.
Q: Well. I'm focusing specifically on the
appointment records.
Do you know whether there's been any search
of your old appointment records to see if there
are any meetings that you either had with Father
Paul Shanley or which were about Father Paul
Shanley?
A: No, no, I do not know the answer to that question
because I am not directly involved in that
request.
I -- requests I know have come from a number
of sources, including yourself, but not
exclusively from you, for a variety of documents.
And those requests are attempted to be met as
efficiently and quickly as possible.
So to answer your specific question, I don't
know that. I'd have to direct that to others.
Q: When you had meetings in your office, would
Mrs. Woodward ever be invited in to take notes?
A: No.
Q: Was there any tape recorder, tape recording ever
made of any of your meetings with --
A: Not that I know of.
Q: Let me finish the question.
-- with the consent of the other party?
A: No.
Q: What about your cabinet meetings. Would anyone
take, like Mrs. Woodward or any other person,
take notes of your cabinet meetings?
A: No.
Q: No one? There was no note keeper?
A: No. We had -- no. The cabinet has a -- the
extent that minutes would be taken, they would be
taken by the Moderator of the Curia, but the
minutes were -- are really a record of documents
that are circulated at the beginning of the
meeting.
Q: Okay. Do you know whether there's been any
search of those records to see whether there were
minutes that reflected discussions about Paul
Shanley?
A: First of all, there would not have been
discussions about Paul Shanley or about any
personnel matter at a cabinet meeting. That
simply would not be the substance of those
meetings.
Secondly, we would not keep those recorded
cabinet meeting records because the nature of
those meetings is to expedite communication
between the various offices to be sure that we're
not duplicating things of that kind. It's not
the time to get -- to deal with specific issues
such as personnel matters.
Q: What about agendas, Cardinal Law. Do you use
agendas for meetings?
A: Which meetings?
Q: Meetings in your offices. Let's start with
meetings in your office. Are there sometimes
agendas that you have, written agendas?
A: It depends on what you're talking about. If I
have a meeting with my Moderator of the Curia,
for example, and I meet with him several times a
week, I have developed the policy over time --
and I can't tell you when that began -- to ask
him to come with a written agenda. I get a copy.
He gets a copy. And if I have other things to
add to it, I add to it. And then we're sure that
we cover the matter that we need to cover in the
course of the time allotted.
The same with the Personnel Office. I would
ask the Personnel Office, with whom I meet
regularly now -- that's a matter of making
appointments to vacant parishes and things of
that kind -- I would -- the personnel director
brings the agenda. I do not keep those agendas.
I give them back at the end.
Q: To whom?
A: To the personnel director. We go through the
matter that he has at hand. I doubt very
seriously that those are kept.
Q: Well, do you know whether they are or not?
A: No, I don't know. But there would be -- there
would have been no reason for them to be kept
because the substance under discussion would have
been in file in other ways. This would be a
matter of dealing with the issue at hand.
Q: Personnel -- I'm sorry.
A: On other matters, for example, if Father
McCormack were to come in to see me about a case
of Father X, that would be the subject so we
wouldn't need an agenda. The meeting would have
been to talk about that.
Q: Would you take notes of any of these meetings,
Cardinal Law?
A: I might scribble a few notes as people are
talking so that I would be able to respond to the
issues or be -- remind myself of questions that I
wanted to ask.
Q: Where would the notes go after you made them?
A: Ordinarily in to the waste paper basket.
Q: Always?
A: I would say yes.
Q: Always in the waste basket.
Let's go back to this letter from
Mrs. Gallant and let's mark this as an exhibit.
Sorry. We already have it as an exhibit.
MR. CRAWFORD: I haven't shown it to
him yet.
MR. MacLEISH: Go ahead. It's Exhibit
85.
Q: You've seen Exhibit 85, Cardinal Law?
A: I have.
Q: Is this a true and accurate copy of the letter
that you sent to Father Geoghan in which you
ended Father Geoghan's assignment as associate
pastor at St. Brendan's Parish in Dorchester and
placed him in the category of in-between
assignments?
A: Yes. I would presume it is.
MR. MacLEISH: Let's mark 86 and 87,
please.
(Law Exhibit No. 86, Letter, 10/31/84,
marked for identification.)
(Law Exhibit No. 87, Letter, 12/7/84,
marked for identification.)
A: I may be -- I may be wrong, but it seems to me
that I've seen all of these and we've gone over
this material before; is that correct?
Q: No.
A: All right.
Q: Maybe in another deposition but not in one with
me.
A: All right. Oh, yeah. That's probably true.
Q: Right. For that I apologize.
A: That's all right.
Q: We try to consolidate this stuff.
Exhibit 86, Cardinal Law, is a letter sent
to Father Geoghan a month and two weeks after
your letter putting Father Geoghan on in-between
assignment status. It's a letter appointing him
parochial vicar at St. Julia's Parish in Weston.
Do you see that? No. 86?
A: Yes, yes.
Q: On September 18, '84, he was in-between
assignments, and then in 1986, he was appointed
by you as parochial vicar at St. Julia's; is that
correct?
A: That's correct.
Q: And Mrs. Gallant had written to you, just so we
have the dates correctly, in September 6, 1984,
about her concerns regarding Father Geoghan.
A: That's correct.
Q: Correct?
Now, if you would, Cardinal Law -- have you
had the opportunity to read Exhibit No. 87,
letter to you from Bishop D'Arcy?
A: No, I haven't.
Q: Why don't you take a moment and read that.
A: I've seen it before but I haven't, at another
deposition, but I haven't seen it for a while.
Q: Why don't you take a moment and look at it.
A: I remember the substance of it.
(Pause.)
A: Yes.
Q: You've seen Exhibit 87 before, and at the time
that you received this letter, Bishop D'Arcy was
the auxiliary bishop for the region that was
covered -- that covered St. Julia's Parish in
Weston, Massachusetts; is that correct?
A: That's correct.
Q: I think you testified earlier that you would rely
upon the opinions from time to time of your
auxiliary bishops that were from the particular
regions; is that correct?
A: That's correct.
Q: Here is Bishop D'Arcy writing to you about John
Geoghan, and he states, in the second paragraph
of Exhibit 87:
"Father Geoghan has a history of homosexual
involvement with young boys. I understand his
recent abrupt departure from St. Brendan's,
Dorchester, may be related to this problem."
Do you see that?
A: Yes.
Q: Then he reports that:
"For a variety of reasons, St. Julia's has
been a divided and troubled parish."
And on the second page, he reports, after
some redactions by the Archdiocese on the
document, he states:
"I'm afraid that this assignment has
complicated a difficult situation. If something
happens, the parishioners, already angry and
divided, will be convinced that the Archdiocese
has no concern for their welfare and simply sends
them priests with problems."
Do you see that?
A: I do.
Q: And then you'll see in the concluding second to
last paragraph, it states:
"While no parish can handle these shocking
situations that we have witnessed recently, this
parish is most vulnerable. I wonder if Father
Geoghan should not be reduced to just weekend
work while receiving some kind of therapy."
Do you see that?
A: I do.
Q: And you did not accept the recommendation of
Bishop D'Arcy, correct?
A: I did not accept the recommendation of Bishop
D'Arcy because in the intervening time, Bishop
Daily, who was the Vicar and Chancellor, yes,
Vicar and Chancellor, I believe, before Bishop
Banks came in -- Father Banks came in as Vicar
General -- investigated this question of the
allegation of Mrs. Gallant from St. Brendan's and
it was his recommendation that it was appropriate
to, and safe to appoint Father Geoghan to St.
Julia's.
Again, I have stated earlier, and I have to
keep stating again, I wish to God that the policy
had been then that once there has been this kind
of a proven allegation, that the man cannot serve
anywhere, but that was not the case.
And it's important really to state for the
record -- because the record can be very cold and
bald and not reflect the reality of the time --
there was a desire, there was a desire, there was
an intent to be sure before someone were put into
an assignment after this kind of an allegation,
that this could be done with some sort of
assurance that it was a safe and wise course of
action.
I know now that that kind of assurance
simply cannot be given. But that was not the
case then. And as you can see from Bishop
D'Arcy's own letter, the possibility of moving
Father Geoghan at that point, he also perceived
to be a problem because he says part of the
difficulty was that the pastor, who was a
wonderful priest but an older person, an older
style, could be viewed as being overbearing.
On the other hand, if Father Geoghan is now
removed, parishioners will quickly claim that
once again Monsignor Rossiter cannot live with
other priests.
And while it may be very difficult for
people now to understand and believe, when
finally and definitively Father Geoghan was
removed from that parish, there was a great deal
of criticism directed against me for the fact
that I removed him.
Q: People didn't know, Cardinal Law, about Father
Geoghan's extensive involvement that you knew
about --
A: I understand.
Q: -- of his molestation with young children. Those
people who were protesting about Father Geoghan
didn't know what you knew, correct?
MR. CRAWFORD: Objection to the form.
You can answer.
A: Yes, I presume that's correct, yes.
Q: So the question is, Cardinal, these were
decisions -- you talk about a policy, but these
were decisions that were made in individual cases
that were made by you when there were allegations
of sexual misconduct, what to do with a priest in
the '84 to 83 time period. You made the
decision?
A: In the '84 to '89 time frame, Mr. MacLeish, and
in the '94 -- the '89 to '93 time frame, and the
'93 to the 2002 time frame, it was possible that
a priest who had been guilty of an act of sexual
abuse of a minor could be placed back on an
assignment. And from '93 forward, as you know,
that was done only after the recommendation and
concurrence as well of a review board.
So the answer to your question, for the time
frame '84 to '89, as well as '89 to '93, as well
as '93 to 2002 -- and I'll have to give that
answer to every document you wish to put before
me within that time frame -- is that, yes, it was
possible, given the policy of the Archdiocese at
that time, that someone who had been guilty of an
act of sexual abuse of a minor could be put back
in to active ministry.
Q: Cardinal, it was more than possible because in
each and every situation that we've discussed
today, the person was put back into active
ministry. Everyone that we've discussed today
was put back into active ministry. Father
Rosenkranz, Father Graham, Father Geoghan, Father
O'Sullivan. They were all put back into active
ministry, correct?
MR. CRAWFORD: That's not a question;
that's a statement.
MR. ROGERS: It's a statement.
MR. MacLEISH: No.
MR. CRAWFORD: Is it a question?
MR. MacLEISH: It's a question.
Correct? Correct?
Q: You said it was a possibility. It was more than
a possibility. It happened in every single
situation that we've talked about so far this
afternoon --
A: I guess I wasn't clear.
MR. ROGERS: Wait a minute. That
wasn't a question.
Q: -- correct?
MR. MacLEISH: No.
MR. CRAWFORD: Until you said correct,
it wasn't a question.
MR. MacLEISH: Because you objected.
MR. ROGERS: No, I didn't.
MR. MacLEISH: Let me try again.
Q: It's not only possible, in every situation that
we've discussed this afternoon, with Father
Rosenkranz, Father Graham, Father Geoghan, Father
O'Sullivan, all of those situations, after there
was an allegation of abuse, the priest was put
back in to ministry. It's not just a
possibility.
MR. ROGERS: Well, that's a statement.
That was not a question.
Q: I'm trying to make sure that we get your
testimony -- we get the facts accurately,
Cardinal Law.
MR. ROGERS: Then why don't you ask a
question.
MR. MacLEISH: I've asked a question.
You keep interrupting, Counsel.
Q: You said it was possible for the priest to go
back in. In the '84 to '89 time period, we've
covered a number of situations where the priest
did go back.
Can you identify any time in the '84 to '89
time period where there was an admitted, alleged,
even a situation where there was an indictment or
a conviction over issues relating to child
molestation and the priest did not return to
ministry?
MR. ROGERS: I object to the form of
the question, but you can answer the question.
MR. MacLEISH: Go ahead. You can
answer the question.
A: Mr. MacLeish, I was attempting to address what
the policy of the Archdiocese was at that time.
I was not attempting to imply that the people
that you had mentioned earlier were not
reassigned. Of course they were reassigned. I
didn't deny that. I didn't question that. I was
simply trying to put in context, given the tenor
of your questioning, that, yes, the policy of
this Archdiocese for the period '84 to '89, as
'89 to '93, as '93 to 2002, was that a priest who
was guilty of sexual molestation of a child
could, under circumstances, be put back in to
active ministry.
Now, that policy has changed and you know
that's changed and you've applauded it and I
appreciate that.
I wish that the policy had been different
earlier. But I can't make it different by
sitting here and wishing it were so. It wasn't.
Q: I'm trying to just understand what it was,
Cardinal.
MR. ROGERS: It's now after four
o'clock.
Q: It was not just possible. In the '84 to '89 time
period, it always happened. The priests were
always put back into active ministry after there
was an allegation of abuse, correct?
MR. CRAWFORD: Object to the form of
the question.
MR. ROGERS: Object to the form of the
question.
A: You may be right. There are priests who were not
put back, but I'm not certain exactly whether any
of them -- I'm not certain whether any of them
would fall within the time frame that you're
suggesting.
Q: You understand the people in this room are all in
that time period, '84 to '89?
A: I understand that and -- yes, I understand that.
Q: Thank you.
A: And I regret as deeply as I possibly can what
they have suffered and what they're suffering
now. And I can only imagine that having to sit
here now makes their suffering even more keen and
brings to greater vividness the terrible
suffering that they have undergone. And I hope
and I pray that somehow this process, painful as
it is for them, might somehow help bring some
measure of closure and some measure of peace. I
hope and pray that's so.
MR. MacLEISH: Thank you, Cardinal.
I'll see you on Wednesday.
THE VIDEOGRAPHER: The time is 4:01.
This is the end of the Videotape No. 3. We're
off the record.
(Whereupon, the deposition suspended at 4:01 at p.m.)
Excerpt from Rule 30(e):
Submission to Witness; Changes; Signing.
When the testimony is fully transcribed, the
deposition shall be submitted to the witness for
examination and shall be read to or by him,
unless such examination and reading are waived by
the witness and by the parties. Any changes in
form or entered upon the deposition by the
officer with a statement of the reasons given by
the witness for making them.
* * * * * * * * * * *
I, CARDINAL BERNARD F. LAW, have examined
the above transcript of my testimony and it is
true and correct to the best of my knowledge,
information and belief.
Signed under the pains and penalties of
perjury this _____ day of __________________,
2002.
_________________________________
Sworn and subscribed to before me this ____
day of ________________________, 2002.
_________________________________
Notary Public
My Commission Expires:
_____________________
COMMONWEALTH OF MASSACHUSETTS
COUNTY OF ESSEX
I, Kathleen L. Good, Registered Professional
Reporter and Notary Public in and for the
Commonwealth of Massachusetts, do hereby certify
that there came before me on the 11th day of
October, 2002, the person hereinbefore named, who
was by me duly sworn to testify to the truth and
nothing but the truth of his knowledge touching
and concerning the matters in controversy in this
cause; that he was thereupon examined upon his
oath, and his examination reduced to typewriting
under my direction; and that the deposition is a
true record of the testimony given by the
witness.
I further certify that I am neither attorney
or counsel for, nor related to or employed by any
of the parties to the action in which this
deposition is taken; and further that I am not a
relative or employee of any attorney or counsel
employed by the parties hereto or financially
interested in the action.
In Witness Whereof, I have hereunto set my
hand and affixed my notarial seal this 16th day
of October, 2002.
___________________________
Notary Public
My Commission Expires:
April 17, 2003
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