THIS STORY HAS BEEN FORMATTED FOR EASY PRINTING
Deposition of Cardinal Bernard Law
October 16, 2002, Offices of Greenberg Traurig, Boston
On October 16, 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. 11, 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 SIXTH 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 02110, on
Wednesday, October 16, 2002, commencing at 10:04
a.m.
K. L. GOOD & ASSOCIATES
P. O. BOX 6094
BOSTON, MASSACHUSETTS 02209
TEL. (781) 598-6405 - FAX (781) 598-0815
APPEARANCES:
Greenberg Traurig
(by Roderick MacLeish, Jr., Attorney)
One International Place
Boston, Massachusetts 02110
The Rogers Law Firm, PC
(by Wilson D. Rogers, Jr., Attorney)
One Union Street
Boston, Massachusetts 02108
Attorneys for the Defendants
Todd & Weld
(by J. Owen Todd, Attorney)
28 State Street
Boston, Massachusetts 02109
Attorneys for Cardinal Law personally
ALSO PRESENT: George Libbares, Videographer
Rodney Ford
Father John Connolly
Mona Patel, Attorney
Wendy Champagne
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 George Libbares. I'm a certified
legal video specialist for National Video
Reporters, Incorporated. Our business address is
58 Batterymarch Street, Suite 243, Boston,
Massachusetts 0. Today is October 16, 2002,
and the time is 10:04 a.m. This is the continued
deposition of Cardinal Bernard Law, Volume 6, in
the following matter being heard in Suffolk
Superior Court: Gregory Ford, et. al.,
Plaintiffs, versus Bernard Cardinal Law, a/k/a,
Cardinal Bernard F. Law, Defendant, Civil Action
02- and related actions.
This deposition is being taken at One
International Place, Boston, Massachusetts, on
behalf of the plaintiffs. The court reporter is
Kathy Good of K. L. Good & Associates. Counsel
will now state their appearances and the
examination will continue.
MR. MacLEISH: Good morning, Cardinal,
Eric MacLeish for the plaintiffs.
MR. ROGERS: Wilson D. Rogers, Jr., for
His Eminence Cardinal Law.
MR. TODD: J. Owen Todd, personal
counsel for Cardinal Law.
MR. MacLEISH: Good morning, Cardinal.
THE WITNESS: Good morning.
MR. ROGERS: Can I just interpose.
Maybe I missed it, but when the introduction was
being given, we do have an understanding and an
agreement that this deposition is not just in the
Ford case, but in all of the pending Shanley
cases, do we not?
MR. MacLEISH: It is in all -- we had
an agreement on Magni and the three consolidated
cases. I don't think we have an agreement yet on
the W case or the R case, but I'm perfectly
willing to talk to you about that. I don't see
the need, absent some extraordinary
circumstances, to bring the Cardinal back for
depositions in those depositions. We have not
yet reached agreement on that. We did reach it
on four cases.
CARDINAL BERNARD F. LAW, Resumed
DIRECT EXAMINATION BY MR. MacLEISH, cont.
Q: Good morning, Cardinal.
A: Good morning.
Q: Again, thank you for coming in today. I'd like
to return to Exhibit 87, which is before you now,
which is the letter from Bishop D'Arcy to you
concerning John Geoghan, dated December 7, 1984.
Would you like a moment to review that
letter?
A: I would, thank you.
(Pause.)
Q: Have you had the opportunity to review the
letter, Cardinal?
A: I have.
Q: And do you remember meeting with Bishop D'Arcy in
response to this letter?
A: I don't recall meeting with Bishop D'Arcy in
response to this letter.
Q: As I understand it, it was your earlier testimony
that in the matters relating to assignments of
priests, you would typically rely upon your
regional bishops; is that not correct?
A: You know, I'd want to see if I could see that --
Q: Okay.
A: -- testimony as to what I said. But we're
talking here at a relatively early time in my
ministry.
Q: That's correct.
A: And one of the issues that I see out of this
letter is precisely to the point that you raise,
and that is, what should be the involvement of
regional bishops in assignments? And I believe
that that's -- I believe that when Bishop D'Arcy
speaks of helpful and constructive conversations
on this with both Father Banks and Father Oates,
it is with -- it is relative to what that
participation should be.
It was, in part, as a consequence of this,
I'm sure, that it became routine. It certainly
is routine now. And I can't say exactly when it
became routine, but it was influenced by this,
that before an assignment would be made, there
would be -- the Personnel Office would be in
touch with the regional bishop to determine what
the regional bishop thought about that
assignment.
Q: Do you, as you sit here today, have a memory of
receiving this letter of December 7, 1984, from
Bishop D'Arcy?
A: I cannot recollect receiving the letter. I can
recollect the issue raised by the letter having
been a matter to be discussed, yes.
Q: All right. And just so we're clear, in Paragraph
No. 1, what Bishop D'Arcy numbers as No. 1, he
states:
"Father Geoghan has a history of homosexual
involvement with young boys. I understand his
abrupt departure from St. Brendan's, Dorchester,
may be related to this problem."
Do you see that?
A: I do.
Q: And this was right at the time when -- look in
the first paragraph of the letter -- when John
Geoghan had been assigned to St. Julia's in
Weston.
Do you see that?
A: I do, yes.
Q: And that was an assignment that was made by you;
is that correct?
A: It was.
Q: Okay. And when you made that assignment,
Cardinal Law, did you know that Father Geoghan
had, in the words of Bishop D'Arcy, a history of
homosexual involvement with young boys?
A: I knew that there had been a problem at St.
Brendan's. I did not know, and do not recollect
knowing at that point, of an earlier history
beyond that. But it was sufficient to have known
of St. Brendan's, and he, as you know -- and I
think we went over it last time -- was removed
from St. Brendan's -- well, the letter says this
here.
Q: Yes.
A: And it was -- he was not simply reassigned to
St. Julia's, but there was assurance given,
reliance upon medical review that this could be
done safely.
Q: All right. Do you recall that was done by
Dr. Mullins and a Dr. Brennan?
A: I don't recall -- I couldn't recall the names,
but I'm sure that it's there in the records.
Q: So your testimony, Cardinal, is that you were
relying on medical advice, of course, but the
final decision on the assignment was yours. Is
that a fair characterization?
A: Any assignment of a priest in this diocese has to
have my signature.
Q: Right. Including your assignment of John Geoghan
to St. Julia's?
A: Any assignment of a priest in this Archdiocese
has to have my signature.
Q: Okay. Now, do you remember in 1984, if we could
focus on, again, on that period, Cardinal,
whether you had in place any system that ensured
you that the medical professionals that were
providing you with advice were qualified in this
particular area?
When I say "this particular area," I mean
assessment of individuals who had a history of
sexual misconduct with minors?
A: In 1984, and subsequently, I relied on those
assisting me in administration of the Archdiocese
in the areas of the kind of an issue that we're
discussing now. That would have been originally
the Moderator of the Curia, Vicar General. Later
that responsibility would have devolved upon the
Secretary for Clergy Personnel. Subsequently
would have been the Delegate.
But whoever the person was that was handling
those cases, I relied on those persons to consult
with, to refer to either physicians,
psychiatrists or medical institutions that
seemed -- that seemed worthy.
I didn't enter into the decision as to this
physician, that center. I really relied on those
persons who would be more knowledgeable because
they would be following up. They would have some
reason to know these individuals.
Q: So that would include, at the beginning, it would
include Bishop Daily; is that correct? And then
Bishop Banks, then Father McCormack; is that
correct?
A: In the very beginning, it would have included
Bishop Daily for the length of time that he was
here. And subsequently, it would have included
Bishop Banks and Father McCormack.
Q: Well, what did you do, Cardinal, to satisfy
yourself that those three individuals had the
qualifications to make recommendations to you
concerning priests who had been the subject of
allegations of sexual misconduct?
MR. TODD: I object to the form.
Q: Do you understand the question, Cardinal?
A: Not exactly. Would you repeat it.
Q: Let me try again. You testified that you relied
upon certain individuals in ensuring that the
professionals that were relied upon were
qualified.
Do you remember that testimony?
A: Yes.
Q: Okay. What did you do yourself to ensure that
those individuals, Bishop Banks, Bishop Daily,
Father McCormack, possessed qualifications to
make recommendations to you on medical
professionals that would evaluate priests accused
of sexual misconduct?
A: I simply relied on their general intelligence,
their general knowledge, their recognition along
with me of the importance of this issue, the
importance of being able to get responsible
assistance in reaching judgments, and trusted
their judgment.
Q: So you're not aware of any specialized training
or expertise that Father Daily, I mean, Bishop
Daily, Bishop Banks or Bishop McCormack, I'm
sorry, Father McCormack, had in relationship to
the assessment of individuals who had been
accused of sexual misconduct with minors?
MR. TODD: Object to form.
A: I was relying on their general intelligence,
their sense of responsibility, the fact that they
would not simply open up a book and go to the
Yellow Pages, but that they would use sound
judgment in reaching these kinds of decisions. I
didn't second guess them.
Q: I understand. My question is: Were you aware of
any specialized knowledge that they possessed in
this area concerning individuals who'd been
accused of sexual misconduct? I understand your
acknowledgement of their general intelligence.
I'm asking if you knew of any specialized
knowledge they had.
A: The reason why, Mr. MacLeish, these individuals
were relying on those who would be qualified to
render some judgments about this pathology, is
that they themselves lacked it. Priests
generally would not have this kind of expertise.
As a matter of fact, I think I said in some
earlier moment sitting here that one of the
things that is very important is for priests
themselves and for others to realize that priests
generally do not have -- generally, do not have
expertise as psychologists. They may, but that's
incidental to their training as a priest.
They -- one of the things that a priest
should know is the need to rely upon others and
that's what is in play here.
Q: But, Cardinal, do you ever recall stating to
either Bishop Banks, Bishop Daily or Father
McCormack or anyone else in the Archdiocese that
we need to get professionals in this field who
have had experience in assessing individuals who
have been accused of sex crimes?
Do you ever recall that?
A: I cannot, sitting here and going back 19 years --
which is part of what you're doing -- recall the
specifics of a conversation in the detail or in
the specificity that you're suggesting.
On the other hand, I certainly do recall
that in the general handling of this situation,
it was clear from the perspective of my desire,
but also clear from the desire of those working
with me, that the assessments that we would
receive would be the kind of assessments that
could be relied upon with confidence because of
the competence of the medical staff or of the
centers.
Q: All right. Cardinal Law, you always understood
during this entire period from 1984 to 1989, that
the sexual molestation of young children was
something that was morally reprehensible? You
always understood that?
A: Morally reprehensible, certainly.
THE VIDEOGRAPHER: The time is 10:20.
We're off the record
(Discussion off the record.)
THE VIDEOGRAPHER: The time is 10:24.
We're on the record.
Q: Cardinal Law, just so that we're clear, you have
testified that sexual molestation of children is
morally wrong, reprehensible; is that correct?
MR. TODD: Objection. Asked and
answered.
A: I think, yes, that what you're stating is true.
That it -- this is a morally reprehensible act.
Q: Okay. And certainly, you knew in 1984 that if it
happened once with a child, there was the
possibility that it could happen again; is that
correct?
MR. ROGERS: Objection to the form.
A: In 1984, I did not have the knowledge that I have
in 2002. And I cannot sit here with certainty
and say that in 1984, I knew that this could
happen again.
You know, was it possible that a person who
had been guilty of an act of sexual abuse of a
child, was it possible that with treatment and
with reinforcement of spiritual motivation, that
that person would be able to function safely? My
presumption was that that was possible in 1984
and subsequently was.
Q: And it was also possible that even with treatment
and spiritual reinforcement, that person would
re-offend again, correct?
A: I would imagine that in terms of human behavior,
it would be almost impossible to predict
absolutely what the future is going to be in any
kind of human behavior.
Q: Right. So when you would receive these medical
assessments -- and let's take the one with John
Geoghan -- it was impossible for you to predict
whether or not John Geoghan would re-offend
again?
MR. TODD: Objection. Argumentative
and asked and answered.
MR. MacLEISH: Go ahead.
A: It seems to me that what you're asking me is
something that I have attempted to answer before.
My memory may not serve me well. It may not have
been in this deposition, this series of
depositions with you. It may have been somewhere
else. But the possibility -- but what happens,
is the more the question is asked, the more I'm
able to think about it.
Q: That's fine. I don't think we've asked it with
relation to John Geoghan, but if you could try to
answer it.
A: All right. The question, again, is whether or
not --
Q: Let me start again.
A: All right.
Q: You indicated that it was possible for -- you
understood in 1984, that it was possible that
with treatment and spiritual reinforcement, the
priest would not re-offend again.
Is that the substance of your testimony
several minutes ago?
A: That it would -- but I also said that it is
impossible to predict --
Q: Right.
A: -- with a hundred percent assurance what a human
being will do in any way in his life. Because
first of all, we do have free will.
Secondly, we are impacted by psychological
and emotional conditions which sometimes go
beyond free will.
And so the best you can do in predicting
human behavior, it seems to me, is amass as much
evidence as you can from sources that you believe
to be reliable, to indicate whether or not a
decision that you must make is a reasonable
decision or not. That's the most you can do.
Q: Right. And with respect to the role of these
medical assessments, after the medical assessment
was received in the case of John Geoghan, you
would have to balance the priest's interest in
serving again as opposed to the risk that he
would re-offend again. Is that not correct?
A: Would you state the first part of that again.
Q: Sure. Let's back up Cardinal.
You've got a letter, December 7, 1984, from
Bishop D'Arcy, expressing concern, as it says in
the first paragraph, about John Geoghan's
assignment as an associate at St. Julia's in
Weston.
Do you see that?
A: I do.
Q: This was a fairly unusual letter for you to
receive from an auxiliary bishop; is that
correct?
A: It was, right.
Q: And it recounts what Bishop D'Arcy describes as a
history of homosexual involvement of Father
Geoghan with young boys.
Do you see that?
MR. TODD: Objection.
A: That's correct, yes.
Q: And then it goes on, in the second paragraph, to
state as follows. This is the third sentence,
Cardinal.
"It is difficult to deal with the situation
because Monsignor" -- I believe that is Monsignor
Rossiter -- "is a good priest. He is always
there. He is concerned. He does the traditional
things very well, but there are many complaints
from good people and there have been since I have
come to this region, and, indeed, long before
that." That's referring to Monsignor Rossiter, I
believe.
Is that how you understood it at the time?
A: That's correct. And it would be the way I
understand it now. That there was -- yes.
Q: Okay. And then you'll see on the second page,
there's a portion that was blanked out by the
Archdiocese, but it states, in the first full
paragraph, it states:
"I'm afraid that this assignment has
complicated a difficult situation."
Did you understand that to mean to be the
assignment of John Geoghan, Cardinal?
A: I understood that, yes.
Q: It says:
"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 at the time, Cardinal, is it fair to state
that when Bishop D'Arcy was saying "if something
happens," he was referring to John Geoghan
re-offending? Is that the way you understood
that?
MR. TODD: Objection.
MR. ROGERS: Objection.
A: I cannot answer what he had in mind there.
Q: As you read it now, how do you understand it?
A: Well, as I read it now, given the context of this
deposition, obviously, I would be -- I would read
it in the context of the deposition.
But I think also it's important to point out
that the problem -- I hesitate to say this
because of the positive things that Bishop D'Arcy
says about Monsignor Rossiter, in which I would
concur -- but I think that he's talking about
Monsignor Rossiter as possibly a problem in terms
of the relationship with the people.
Q: Well, if something happens, he's referring --
this is what he says:
"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."
Then he goes on to say:
"On the other hand, if Father Geoghan is now
removed, parishioners will quickly claim once
that again Monsignor Rossiter cannot live with
other priests."
Do you see that?
A: Yes.
Q: So looking at that paragraph, Cardinal, is it
fair to state that your understanding is that
when Bishop D'Arcy said "if something happens,"
he's referring about John Geoghan re-offending?
MR. TODD: His present understanding?
MR. MacLEISH: Present understanding.
A: Yes. I would read it that way.
Q: Did you ever call up Bishop D'Arcy and ask for a
clarification of any portion of this letter, that
you can recall, back in '84 or early '85?
A: I do not recall calling Father D'Arcy, Bishop
D'Arcy for a clarification because, as he has
indicated already in the letter, "I have had
helpful and constructive conversations on this
with both Father Banks and Father Oates."
Q: Right.
A: There had been an intervention about which Bishop
D'Arcy may not have been aware. I presume that
he became aware in the course of discussions.
Q: All right. But he wrote to you, Cardinal Law --
this is a letter that was sent to you, not Bishop
Banks or Father Oates, correct?
A: That's correct.
Q: Okay.
A: But it was appropriate to involve both Father
Banks and --
Q: Of course.
A: -- Father Oates.
Q: Of course.
And then in the second to last paragraph
after the paragraph I just read, it states, from
Bishop D'Arcy:
"I am concerned about further scandal in
this parish and further division and more
misunderstanding by this assignment."
Do you see that?
A: I do.
Q: And you were -- did you share that concern about
scandal, Cardinal Law, at this parish?
MR. TODD: In 1984?
MR. MacLEISH: Yes.
A: In 1984, I -- in 1984, in handling this case, I
handled this case as -- in a way that I felt was
responsible, relying upon those in whom I had
reason and have reason to have confidence.
If I had been fearful that there was likely
to be scandal resulting from the acting out, the
sexual abuse of minors, the appointment would not
have been made.
Q: Right. I understand that.
But was the subject of scandal at this
parish something that you can recall being
concerned about in 1984?
A: May I ask -- I understand the word "scandal" is
used --
Q: Right.
A: -- in this letter.
Q: That's by Bishop D'Arcy.
A: And I can't tell you in what way he is using the
word "scandal."
Q: Okay.
A: Given the context of the letter, it could -- it
could refer to a scandal in the fact that there
is a pastor that is not generally appreciated or
at least not appreciated by a number of people
because of his style. That creates a certain
scandal.
Q: It does?
A: I don't see the word "scandal" here in this
letter as being specifically related to the issue
of sexual abuse of minors.
You're not implying that, are you?
Q: No. I think you would also concur with me if in
fact John Geoghan re-offended and people learned
about it at St. Julia, that that had the
potential to create a scandal; is that correct?
A: Certainly.
Q: And you were concerned about preventing scandals,
is that not correct, in 1984?
A: I was concerned that nothing -- I'm concerned in
2002 as well.
Q: Let's talk about '84.
A: Fine. But you know, it isn't a time-conditioned
concern. It's a continuing concern that priests
function responsibly and well. And when they
don't, when they don't, there is scandal in the
classical sense of people having their faith and
confidence in what the Church is about shaken
because of the action of others.
Q: Well, scandal suggests, by its very meaning, does
it not, Cardinal Law, that the matter becomes, at
least to some, whether it's the congregation --
let me withdraw that question.
The word "scandal" by its very terms
suggests the information that is the subject of
the scandal becomes public in some way, correct?
A: Well, people can take scandal -- you know,
individuals can take scandal -- if one person
takes scandal, it's a bad thing.
Q: All right. Let's go on because I think we might
get clarification later on in the letter from
Bishop D'Arcy.
A: Fine.
Q: The second to last paragraph, three quarters of
the way down, if you could follow with me.
"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: Now, that suggestion of Bishop D'Arcy's made in
December of 1984, was that a suggestion that you
in any way followed up on or implemented?
A: As you will see from Father -- Bishop D'Arcy's
own action, this letter was copied to both Father
Banks and to Father Oates.
Q: Right.
A: And both Father Banks and Father Oates
appropriately followed this up with discussion
with Bishop D'Arcy. And so I'm certain that in
those -- I'm certain, I'm morally certain, given
what he says in that same paragraph that you've
just referred to several times here again, and
that first sentence, that that discussion was --
that that point would have been raised in those
discussions.
Q: Do you have any personal knowledge of that,
Cardinal Law, that there was a discussion between
Bishop D'Arcy, Father Oates and Bishop Banks on
the subject of whether John Geoghan should be
reduced to weekend work at St. Julia's while
receiving some kind of therapy?
Do you know that?
A: I do not know the specifics of the discussion,
but that there was a such a discussion, the
letter itself attests. And they would have
received copies of this letter. So I'm certain
that that would have been weighed.
Q: I'm asking, do you know, Cardinal Law, from your
own knowledge -- which would include what you
were told -- whether or not there was a follow-up
meeting involving Bishop Banks, Father Oates and
Bishop D'Arcy concerning the suggestion made in
this letter that Father Geoghan be reduced to
just weekend work at St. Julia's while receiving
some kind of therapy?
Do you know that?
A: I do not know the content in that kind of
specificity of the discussions that went on
between Bishop D'Arcy, Father Banks and Father
Oates, no.
Q: Do you know whether there, for certainty,
Cardinal Law, whether there even was such a
discussion between Bishop D'Arcy, Father Oates
and Bishop Banks?
A: I cannot say that for certainty.
Q: The question is, Cardinal Law, what -- since this
letter was sent to you, and at the end, for the
reasons that are recounted in the letter, there's
a suggestion that's made by Bishop D'Arcy, he
states:
"I wonder if Father Geoghan should not be
reduced to just weekend work while receiving some
kind of therapy."
I take it your testimony is that you don't
recall at the present time whether you did
anything specific to follow-up on that
recommendation?
A: I've tried to state many, many times here that in
these matters, I relied upon my Moderator for the
Curia, subsequently my Secretary for Clergy
Personnel, and subsequently my Delegate to handle
these cases, to follow these cases up by very
specific intent.
And I cannot, sitting here, tell you what
discussions went on in what time frame between
Father Banks and Father Oates and Bishop D'Arcy.
But I feel quite certain that Father Banks and
Bishop D'Arcy would have had a conversation
concerning this matter.
Q: But that's speculation, Cardinal? That's not --
A: That's --
Q: Excuse me.
MR. TODD: Objection.
Q: That's speculation. That's not based on your
personal knowledge; is that correct?
MR. TODD: Objection.
MR. ROGERS: Objection to the form of
the question.
MR. MacLEISH: Go ahead.
A: It's speculation based upon the modus operandi
that had developed between these individuals and
myself in pursuing this type of matter, yes.
Q: Cardinal, when you made the assignment of John
Geoghan to St. Julia's, I think you testified
that you were aware of one situation at St.
Brendan's in Dorchester when you made the
assignment where Father Geoghan was accused of
sexual misconduct.
Do you see that? Was that your testimony
this morning?
A: I certainly was aware that there was a problem at
St. Brendan's, yes.
Q: You'll see here that Bishop D'Arcy recounts that,
on the first page, that "Father Geoghan has a
history of homosexual involvement with young
boys."
Do you see that?
A: I do see that.
Q: And that would have been new information to you?
A: I cannot recollect what my knowledge was at that
time as distinct from what my knowledge is at
this time. But my very vague recollection is
that I would have been under the -- I would have
been operating under the knowledge of the St.
Brendan's situation at that time.
Q: All right. And certainly, you had the power,
after receiving this letter from Bishop D'Arcy,
to remove the assignment of John Geoghan to St.
Julia's. You did have that power; is that
correct?
A: I had that power, yes.
Q: You also had the power, did you not, to inform
the parishioners at St. Julia's that there had
been, in the words of Bishop D'Arcy, a history of
homosexual involvement of John Geoghan with young
boys. You had the power to do that; is that
correct?
A: I would have had the power to do that.
Q: But consistent with your unwritten policy, you
did not instruct anyone to do that; is that
correct?
A: I did not.
Q: Okay. Are you aware, Cardinal Law, of action
taken by other dioceses, such as the Diocese of
St. Paul, to inform parishioners about past
abuses committed by their parish priests during
the 1980s?
A: I am not.
Q: You attended, I think we established, all of the
NCCB and U. S. Conference of Catholic Bishops
conferences; is that correct?
A: I'm not -- you know, if I said that, I would need
to -- someone would need to check the minutes. I
attended all that I was able to attend.
Q: Right.
A: There may have been some occasion when there
would have been a conflict with a responsibility
for something -- for example, if you're serving
on a congregation in Rome and the congregation
happens to meet at the same time, that may
necessitate -- there are a few times when I've
missed the general meetings, but I think I have a
pretty good record.
Q: Okay. And the meeting in 1985 at Collegeville,
Minnesota?
A: I was at Collegeville in 1985.
Q: All right. Now, Cardinal Law, you'll see on the
second page of Exhibit 87, the statement I just
read just a portion of -- I'm going to read
again -- "While no parish can handle these
shocking situations that we have witnessed
recently."
Do you see that?
A: I do.
Q: Now, you'll see that the word "situations" is in
the plural; is that correct?
A: I do.
Q: And you had started in Boston in about April,
March or April of 1984; is that correct?
A: That's correct.
Q: And I think we've already been through the
O'Sullivan case, which occurred shortly after you
arrived in Boston; is that correct?
A: I believe so, yes.
Q: And that was a case involving a priest who was
accused of sexual misconduct with a minor; is
that correct?
A: That's correct.
Q: Do you recall in 1984, as of December of 1984,
whether there were also in front of you other
situations apart from the O'Sullivan case and the
Geoghan case involving priests accused of sexual
misconduct?
A: I must say that, again, as I sit here and try to
put myself back in December 7, 1984 --
Q: Right.
A: -- I don't remember. I don't remember the
specifics of other cases or I don't remember
other cases.
Q: Okay. You do know, however, that after Bishop
D'Arcy's letter was received, there was no change
that was implemented with respect to Father
Geoghan's work at St. Julia's. He continued as a
full-time parish priest. You're aware of that,
are you not?
A: I'm aware of the fact that Father Geoghan was
removed from St. Brendan's; that we received a
medical report on him; that on the basis of that
medical report, it was recommended that an
assignment would be appropriate; and it was on
that basis that that assignment was made.
Q: My question was different, Cardinal Law. I'm
asking you whether on the basis of Bishop
D'Arcy's recommendations contained in Exhibit 87,
the suggestion is "wondering if Father Geoghan
should not be reduced to just weekend work while
receiving some kind of therapy," you know now
that that specific proposal, wondering,
suggestion of Bishop D'Arcy was not in fact
implemented for John Geoghan following December
of 1984. Is that correct?
A: I do not believe that that suggestion was
implemented. As I indicated to you earlier, to
an earlier question, I would feel confident that
that suggestion would have been discussed with
the person, with certainly Bishop Banks, Father
Banks then, and Bishop D'Arcy.
Q: But, again, you do not know whether any such
discussion took place, but you do know that there
was no change in the assignment of John Geoghan
to St. Julia's?
A: That's correct.
Q: All right. Now, you again stated that, in
response to a question I just asked, that
decisions were made about the assignment of John
Geoghan to St. Julia's on the basis, I think was
your exact words, of medical recommendations.
Do you recall that?
A: Yes, I recall that.
Q: Just to be clear, Cardinal Law, no medical
recommendation that you ever received gave an
unqualified bill of health to any parish priest
who had been accused of sexual misconduct?
MR. ROGERS: Objection.
MR. TODD: Objection. Asked and
answered.
Q: Do you understand the question?
A: I understand the question, but in order to answer
that question, I would have to have before me
every single recommendation that I've received
medically, the diocese has received.
Q: Well, I'm not going to bring them all up now. We
don't have all of them yet. But perhaps we will
at some future time. I want to just be clear on
the protocol.
The medical report is received, but then
would you not agree with me that there is the
exercise of some judgment that is made, that was
made in 1984 following the receipt of the medical
report as to whether or not the priest was
appropriate for parish ministry?
MR. TODD: Objection. Asked and
answered many times prior to today.
MR. MacLEISH: Go ahead, Cardinal Law.
A: As you know, because we've gone over this a lot,
on many different occasions in these
depositions -- and my answer would not be
different now than it was the first time you
asked me this -- the policy under which we were
operating was that an accusation against a priest
would be made; that accusation would in some way
be assessed; and the priest would be evaluated
and in some instances receive treatment.
As time went on, the treatment would be --
would be very often in-patient treatment.
And on the basis of that, there would be an
evaluation and there would be some type of a
report, a final report. And it would be on the
basis of that that a -- that a judgment would be
made, a recommendation would be made by either --
depending on the point of time -- the Vicar
General or the Secretary for Personnel or the
Delegate as to whether or not an assignment would
be appropriate and what kind of a assignment, if
there would be a limitation.
After '93, that recommendation --
Q: Wait.
A: If you'd let me finish my answer.
Q: Sure, sure. Absolutely.
A: Because I think it is pertinent, Mr. MacLeish.
You may not think it pertinent but --
MR. TODD: Go ahead. Finish.
MR. MacLEISH: Go ahead. Finish your
answer.
A: After '93, that recommendation of the Delegate --
and it would have been the Delegate in '93 --
would go before a review board consisting mainly
of lay persons, including, among others, a
retired chief justice of the superior court, the
parent of a victim, psychiatrist, and then they
would render their judgment.
And it was after receiving that, that I
would make a determination as to whether or not
that recommendation would be followed.
And that's -- that is how the process
evolved.
At the point in time, it would have been --
it would have been medical recommendation upon --
it would have been on the basis of that, that an
informed judgment would be made by the
appropriate person recommending what should be
done.
Q: An informed judgment made within the Archdiocese?
A: Yes.
Q: Now, you just stated several minutes ago that,
you made the remark that it's impossible to
predict human behavior.
A: I did.
Q: And certainly, you would agree with me from your
knowledge of human behavior that one of the
things that you look for in terms of determining
the future of human behavior is what has happened
in the past.
Would you agree with that as a general
statement?
A: I would agree with that as a general statement
with the understanding that two things can impact
the future of our behavior.
Q: Right.
A: One is a medical intervention --
Q: Right.
A: -- in terms of both of therapy and in terms of
drugs, if it's a psychological problem.
And then another thing that can impact is,
while it's much, much -- it's impossible to
predict --
Q: Right.
A: -- but which does impact -- and I truly believe
does change human behavior, the pattern of human
behavior -- is the grace of God.
Q: Cardinal, at least with respect to John Geoghan
after 1984, neither treatment nor the grace of
God, you would agree with me, changed his
behavior?
MR. TODD: Objection.
MR. ROGERS: Objection to the form of
the question.
Q: Do you understand the question?
A: I understand that you're asking me about 1984.
But now you're moving forward --
Q: Right.
A: -- in the life of John Geoghan.
Q: Right, right.
A: So with your indulgence, I too would like to move
forward, and I'd like to move forward to the
decision that I made in 2002, January, and which
is the policy of this Archdiocese now. And that,
I think, implicitly answers your question as to
how I see that issue now. And that is that no
one who has -- no one who has sexually abused a
minor may have a position in the Church as a
clergy person under any circumstances and --
Q: Go ahead.
A: And I think that that would indicate to you that
however the grace of God may be working in a
person's soul -- and it is very difficult for us
to say that -- that the nature of this pathology
is such that one cannot take that risk.
Q: Cardinal, my question was at least with respect
to John Geoghan, you know, do you not, that there
were individuals at St. Julia's after 1984 that
have come forward to claim that they were
sexually abused by John Geoghan. Is that
correct?
A: I cannot --
MR. TODD: That wasn't your question.
MR. MacLEISH: No. I'm asking him a
different question.
You can answer the question.
MR. TODD: Yes, but you said your
question was.
MR. MacLEISH: Well, he didn't respond
to my earlier question so I'm trying another
question.
MR. TODD: I think he did. Okay. It's
another question.
MR. MacLEISH: It's another question.
MR. TODD: Different question.
MR. MacLEISH: Different question
because I didn't get a response on the first.
MR. ROGERS: Objection to your
comments. Move to strike.
THE WITNESS: Mr. MacLeish, I would
really like you to repeat that earlier question
because I'm trying to answer the questions as you
put to me and I wouldn't want the record to
suggest that I'm not trying to answer your
questions.
MR. MacLEISH: I'm going to withdraw
that earlier question and we can come back to it
on your cross-examination. But let's move
forward.
Q: You now are aware, regardless of what judgments
were made about John Geoghan in 1984, there was a
group of individuals that came forward to claim
after 1984 that they were sexually molested by
John Geoghan; is that correct?
A: I don't have a specific knowledge of who has come
forward and where those allegations were made.
But in a general way, my answer to your -- in a
general fashion -- my answer to your question is
yes, without knowing the specifics.
Q: Don't you know, Cardinal Law, from the case that
was just settled, that there was a group of
individuals included in that settlement of the
Archdiocese who claimed that they were molested
at St. Julia's in Weston after December of 1984?
A: I'm aware that there were a number of cases
settled, and I am really not able to apportion
out where the -- where the actions occurred.
Q: Do you believe --
A: I certainly -- no, I don't deny at all -- the
answer -- I think I answered your question yes in
a general way, I would have that knowledge, but I
wouldn't have it in specifics.
Q: Well, the Archdiocese itself in 1989, sent John
Geoghan back to the Institute for Living for
another assessment; is that correct?
A: I believe I responded to that earlier, yes.
Q: And that was in response to credible allegations
of sexual abuse at St. Julia's occurring between
1984 and 1989; is that not correct?
A: I'm not certain of that, as I sit here, as to
whether the allegation -- you know, they wouldn't
have needed to have been allegations for that, at
that place for him to have been sent back.
The important thing is that there were
allegations, and because of those allegations, we
removed him and we sent him to the Institute for
the Living.
Q: Cardinal Law, didn't you testify earlier in
response to one of my questions about reaching
out to parishes -- I think we went through Sister
Mulkerrin's note to Bishop McCormack on that --
did you not testify earlier that there had been
some outreach at St. Julia's, that that was one
of the parishes where there had been outreach?
MR. TODD: Objection. If you could
show him.
A: I'd want to see what I said with regard to that.
I'm not certain that -- I may not have been
referring to the outreach that we are now
trying -- that we have in place at the present
time.
Q: All right. So as you sit here today, you can't
state one way or another whether you know that
there were allegations of sexual misconduct
involving John Geoghan after 1984 when he was at
St. Julia's Parish?
MR. TODD: Objection. That was a
mischaracterization of his testimony.
MR. ROGERS: Objection. That's not a
correct statement.
MR. MacLEISH: Then the witness can
answer.
Go ahead, Cardinal.
A: I believe I answered that question. I said that
I cannot give you -- I don't have in my mind
specifics, but in a general way, my answer to
that question is yes.
Q: So you would agree with me that whatever
judgments were made back in 1984 about the future
of John Geoghan's behavior, turned out to be
incorrect?
MR. TODD: Objection. Argumentative.
Q: Is that correct?
A: Well, it depends on how you -- if you're telling
me that they turned out to be incorrect because
as a matter of fact he acted out later, that's
true.
If you mean that there was a fundamental
flaw in the decision at the way it was reached or
the intent, that's another matter.
Q: All right. When these decisions are made,
Cardinal, there is a balancing, as I think we've
covered before, concerning the potential for
re-offense versus the priest's desire to be
placed in an assignment.
Is that a fair statement?
MR. ROGERS: Object to the form.
MR. TODD: By "these decisions," you
mean with respect to placement?
MR. MacLEISH: Yes.
A: It's not the way I would frame the question --
Q: How would you frame it?
A: -- Mr. MacLeish, because it isn't a matter of
balancing the desire of the priest. A person can
have a desire and that can be absolutely
irrelevant in terms of the risk that might be
involved. It's a question of doing the best one
can in a given circumstance of deciding what is
appropriate given the history, given the -- given
the advice one receives medically and otherwise.
And where I am on that issue today is not where I
was on that issue in 2002 -- I mean in 1984.
Q: I understand.
A: And I wish, as I've said before, that I could go
back in time and revisit decisions and make them
in the light of what I am firmly convinced is the
appropriate way to deal with these issues as I
sit here today. Now that's not possible.
I can only tell you that at earlier points
in time, there was a desire, there was an effort,
there was an intent to act responsibly in a
manner that appeared at the time to be a
responsible approach to these issues.
Q: Okay.
MR. ROGERS: We're after eleven now. I
suggest a five-minute break.
MR. MacLEISH: Fine. If you could try
to keep it as short as possible.
THE VIDEOGRAPHER: The time is 11:02.
We're off the record.
(Recess.)
THE VIDEOGRAPHER: The time is 11:13.
We're on the record.
Q: Cardinal Law, would it be accurate, therefore, to
state, as I understand it, that you, throughout
the period from 1984 to 1989, would rely upon
others, specifically the three individuals I
mentioned, Bishop Daily, Bishop Banks and Father
McCormack, to bring to your attention any issues
involving priests who were concerned with sexual
misconduct?
MR. TODD: Objection. Asked and
answered.
A: Yes. The answer is still yes to that question.
Q: Good. And you would expect them to bring to your
attention matters that were relevant and
important with respect to those priests who had
been accused of sexual misconduct; is that
correct?
MR. TODD: Objection. Asked and
answered. Argumentative.
A: Yes. They handled those matters.
Q: Cardinal, I'm showing you Exhibit No. 88, which
is a group of documents concerning Father John
Geoghan.
MR. MacLEISH: We've given copies to
you, Owen and Will, earlier. You should have it
over there.
MR. TODD: It seems to end at 87.
MR. MacLEISH: We've got 88.
THE WITNESS: This is 88.
MR. TODD: Separate from --
MR. MacLEISH: Yes, yes. I gave you a
copy of it earlier. If you don't have it, we
have another one for you.
Q: Exhibit 88, Cardinal, which is a group of
documents concerning John Geoghan that was
obtained --
MR. ROGERS: Have you got one, Owen?
MR. TODD: No.
MR. MacLEISH: You don't have one?
MR. TODD: No.
MR. MacLEISH: Father Connolly is going
to give you his.
MR. TODD: The man has fibbed on the
record.
Q: If we could turn to the third page, please,
Cardinal Law. This is a letter from Dr. Brennan
which states -- this is December 14, 1984, it
states:
"Father Geoghan has been under my care for
the past seven years. His emotional condition is
stable and very satisfactory. There are no
psychiatric contraindications or restrictions to
his work as a parish priest."
Do you see that?
A: I do.
Q: Do you know Dr. Brennan?
A: I do not.
Q: Do you know whether he has any expertise in the
area of psychiatry?
A: I do not.
Q: Consistent with your policy, would you have
expected this opinion, in December of 1984,
concerning John Geoghan to come from someone who
had an expertise in psychiatry?
A: As I indicated earlier before the break, I relied
on those working with me -- in this instance,
Father Banks -- in making the determination that
the medical personnel contacted would be persons
upon whom we could have reasonable reliance.
Q: Right. And you understand that there are various
specialties within the medical profession; is
that correct?
A: I understand that, yes.
Q: And so you were assuming that the individuals who
were being consulted about a priest accused of
sexual misconduct had some relevant expertise in
the area; is that correct?
A: Yes.
Q: Okay. But you don't know whether Dr. Brennan had
any such expertise, of your own personal
knowledge; is that correct?
A: That's correct.
Q: Turn to the next page, please, Cardinal Law.
This is a memo from the desk of Bishop
Banks, dated April 28, 1989. Want to take a
moment and read that.
(Pause.)
A: Yes.
Q: Have you seen that note before?
A: No, I've never seen this note before.
Q: This is the handwriting of Bishop Banks, is it
not?
A: It appears to be, yes.
Q: And just, it states:
"Dr. Brennan," and it says, "Only problem I
knew about was ten years ago."
A: That's correct.
Q: "I advised him not to work with kids in his
parish work."
A: That's correct.
Q: "I know of no reoccurrence." "Recurrence"
Do you see that?
A: That's correct.
Q: "You better clip his wings before there is an
explosion."
Do you see that?
A: I do.
Q: "You can't afford to have him in a parish."
Do you see that?
A: I see that.
Q: "Since '84, my contacts have been scaled back. I
thought everything was under control."
Do you see that?
A: I do.
Q: And this was produced in the Geoghan case, this
particular document, Cardinal Law.
A: That's correct.
Q: And was this information, assuming that this is
what it purports to be, which is some notations
concerning a conversation Bishop Banks was having
with Dr. Brennan, was any of this information
brought to your attention in April of 1989?
A: I -- first of all, as I say, I've never seen --
Q: Right.
A: -- this memo. And I have no recollection of
hearing the specifics of this recommendation. I
do know that Father Geoghan was sent to -- was
removed at some point, and I don't know
exactly -- as I sit here, I can't reconstruct
exactly when that was, and sent to the Institute
for the Living.
Q: You are aware that doctors sometimes arrive at
different conclusions and different diagnoses; is
that correct?
A: Yes.
Q: And you'll see that in the previous page that we
just reviewed, in December of 1984, Dr. Brennan
expressed that Father Geoghan had been under his
care for the past seven years.
Do you see that?
A: That's correct.
Q: Right.
A: And --
Q: Go ahead.
A: And I also --
Q: Yes.
A: I think it's important to point out that final
sentence of his letter.
Q: Right.
A: "There are no psychiatric contraindications or
restrictions to his work as a parish priest."
Q: Right. But you have no knowledge of this man's
expertise, Dr. Brennan, do you?
MR. TODD: Objection. Asked and
answered.
A: My answer to that is the same as it was several
minutes ago. That's correct.
Q: Okay. And then you have Dr. Brennan, in what
appears to be a conversation with Bishop Banks in
April of 1989, stating something rather
different --
A: That's correct.
Q: -- about Father Geoghan.
Do you see that?
A: Yes, I do.
Q: And "You better clip his wings before there is an
explosion."
Do you see that?
A: I do.
Q: It also states that since '84, his contacts have
been scaled back.
Do you see that?
A: I do.
Q: And "You can't afford to have him in a parish."
Do you see that?
A: I do.
Q: Would you have expected, consistent with your
policy, that if there had been some change of
view of Dr. Brennan, who had given an opinion in
December of 1984, that that would have been
something that would have been brought to your
attention?
A: Yes.
Q: All right. Turn to the next page, please,
Cardinal Law. This is November 13, 1989, your
letter to Father Geoghan. And it states:
"I am writing to advise you that I'm
reassigning you as parochial vicar at St. Julia's
Parish in Weston. The effective date of this
course of action is November 17, 1989."
Do you see that?
A: Yes.
Q: And this was after Father Geoghan had, as you
said earlier, had gone to the Institute for
Living for an assessment.
Do you recall that?
A: I do.
Q: And you state in the second paragraph:
"It is most heartening to know that things
have gone well for you and that you are ready to
resume your efforts with a renewed zeal and
enthusiasm."
Those were your words in November of 1989?
A: That's what the letter states.
Q: And this is a true and accurate copy of your
letter to John Geoghan; is that correct?
A: That's correct.
Q: Okay. You don't make any reference in this
letter, Cardinal Law, as I understand it, to the
fact that John Geoghan had been sent to the
Institute for Living; is that correct?
A: There is no reference to that here, specific --
no there is none. There is no overt reference.
Q: Okay. All right.
And there's no --
A: If I may say --
Q: Go ahead. Sure.
A: If I may say, "It is most heartening to know that
things have gone well for you and that you are
ready to resume your efforts" would be an
implicit reference to the Institute of the
Living.
Q: There's no reference to the fact that John
Geoghan had been assessed at the Institute for
Living for his -- as a result of his sexual
misconduct. No reference to that in this letter.
A: There is no explicit reference to the Institute
of Living, no.
Q: There's no reference to the reasons why John
Geoghan was sent there; is that correct?
A: That's correct.
Q: Okay. All right. The next letter, November 30,
1989, has been marked in the previous case, from
Bishop Banks to Vincent Stephens, MD, at the
Institute for Living.
Do you want to take a moment and read that
letter, please.
A: Yes.
(Pause.)
Q: Have you seen that letter before today, Cardinal
Law?
A: I have not seen the letter, but I am aware of the
response from the Institute of the Living.
Q: Right. Now, in November of '89, 1989, was the
discharge summary from the Institute for Living
concerning Father John Geoghan brought to your
attention?
A: As a matter of fact, I was concerned by the fact
that we had not gotten a response from the
Institute of the Living in a timely fashion.
MR. TODD: That's --
THE WITNESS: Go ahead.
MR. TODD: I'm sorry. As soon as
you're finished, I want to make a statement.
A: And I called and inquired about this. As I
recall, I spoke with Father Gill, who was the
director of the institute, and, in effect,
received basically the understanding that Bishop
Banks is referencing in the November 30 letter;
namely, that it would be appropriate and safe for
this priest, Father Geoghan, to be reassigned to
parish ministry.
I immediately called Bishop Banks -- and I
said to the Institute of the Living personnel --
and I believe it was Father Gill -- that it
really is necessary for us to receive in a very
timely manner, a written, full, written report in
this instance, in this case, as it was in every
case.
And then I asked Bishop Banks to go to
the -- to himself go to the Institute of the
Living and to meet with them, to review this
case, because I wanted to be certain about it. I
was concerned about it.
MR. TODD: Hold it, hold it.
MR. MacLEISH: Go ahead.
MR. TODD: I would like to state for
the record that all of the matters, issues,
correspondence surrounding Father Geoghan was
gone into in depositions of Cardinal Law on
multiple days in the cases which Attorney
Garabedian brought, and going over them, the same
matters in this deposition, is the subject of my
objection.
MR. MacLEISH: All right. Okay. Well,
I'm not Attorney Garabedian, and I've read his
deposition and I'm trying to avoid questions that
he asked. But if you're offering that the
deposition in that case can be utilized in this
case, Owen, then I'm perfectly happy to discuss
that with you.
MR. TODD: To the extent that you're
conducting a discovery deposition, I submit that
you know all of the information and answers to
the questions you're asking, and if you don't
know it, it's all available; and to go over
examinations which have been conducted for many
days on occasions prior to this is wasteful --
MR. MacLEISH: Well, I appreciate
you --
MR. TODD: -- and harassing.
MR. MacLEISH: It's not wasteful and
I'm certainly not intending to harass the
Cardinal.
MR. TODD: I'm entitled to my opinion,
which I've expressed.
MR. MacLEISH: Your opinion has been
conveyed and it's noted.
We'll continue now.
Q: Cardinal Law, when you made that call to the head
of the Institute for Living, had a discharge
summary actually been received by the Archdiocese
of Boston?
A: No. I think I indicated that the reason why I
made the call is because it had not been --
Q: Right.
A: -- and I wanted to know when we were going to get
it.
Q: Sure. Okay.
And was that typical for you to be involved
in communications directly with the Institute for
Living?
A: It was absolutely atypical.
Q: Why did it happen in the case of Father Geoghan?
A: Well, it happened in the case of Father Geoghan
because Father Geoghan -- because of the history
that is before us.
Q: All right. Well, there were other priests that
were sent to the Institute for Living, St. Luke's
and Southdown -- I think we've been over some of
them -- during the period from 1984 to 1989.
Why was it that you were involved in this
particular situation?
A: My concern was that we had not received a report
and it was -- and I felt that it was past time
and we should have received a report, and,
therefore, I made the call.
Q: Well, my understanding is that you delegated most
of these responsibilities to the Moderator of the
Curia, Bishop Banks and Father McCormack during
this period of time.
Is there any --
A: That's right.
Q: -- particular reason why you would have made the
call?
A: Well, I had a personal relationship with Father
Gill. I knew Father Gill. And I just wanted to
push this along so that we could get to some
resolution here.
Q: And your testimony is that during this
conversation, you were told that it would be safe
to return John Geoghan to pastoral ministry,
parish ministry? I'm sorry.
A: I was.
Q: And that was an unqualified statement by the
doctor that you spoke with?
A: You know, I hesitate to try to reconstruct a
telephone conversation.
Q: Sure.
A: And I have no notes of that telephone
conversation. I discussed the telephone
conversation with Bishop Banks. He, perhaps,
would be able to corroborate what I say. And I
have not discussed this with him since.
But I received, as a layman here, but I
received the impression in this telephone
conversation that Father John Geoghan had
responded in a most positive way to treatment,
and that -- and that as a result of that, it was
a -- it was a -- I don't think they used the term
"classic case," perhaps even he used this term,
"atypical pedophilia in remission."
But the impression that I got is that Father
Geoghan presented himself in a way that persons
with this pathology would not ordinarily present
themselves at the end of treatment.
Q: Cardinal -- go ahead.
A: And I wanted -- that, to my mind, was very
significant in its ramifications in terms of
assignment and I wanted absolute assurance about
that before any action was taken. And for that
reason, I didn't want simply the written record,
but I wanted Bishop Banks to go down and have a
discussion with him as well.
Q: You said, "I wanted absolute assurances." Now,
did you want absolute assurances that Father
Geoghan would not re-offend? Is that what you're
referring to when you just said that?
A: Well, what I meant by that is that I had this
telephone conversation.
Q: Right.
A: I thought I heard something akin to atypical
remission of pedophilia, "atypical pedophilia in
remission," and I wanted Bishop Banks to go there
to discuss with them so that we could be certain
how we should respond to this case.
Q: But no doctor ever gave you, or, to your
knowledge, Bishop Banks, absolute assurances that
John Geoghan would not re-offend, correct?
A: That's correct.
Q: No doctor told you unequivocally that it would be
safe to have John Geoghan reassigned to a parish
ministry, correct?
A: In the terms that you state, no. However, the
understanding that I took from the term "atypical
pedophilia in remission," a classic, as I recall
the conversation, it was a classic case of
someone responding to treatment and moving beyond
the problem.
Q: All right. The reason I'm asking this, Cardinal,
is because you used in your earlier testimony
several minutes ago, you used the term "safe" to
describe what you were told by the doctors. That
it would be -- doctor -- that it would be safe to
reassign John Geoghan to a parish ministry.
I want to be clear that no doctor ever used
that word "safe" in an unequivocal fashion.
A: That's correct. But I believe what I was
attempting to say there, and I think I may have
said there, is that it was a question of coming
to some sort of moral certitude, reasonable
certitude based on the evidence that you have
before you.
Q: A reasonable moral certitude that would take into
account the progress that John Geoghan had made
and balance that against the history of John
Geoghan; is that correct?
A: That's correct.
Q: And the risk that he might re-offend again,
correct? That was also one of the criteria that
you looked at in making this reasonable moral
judgment?
A: The moral judgment was based on a diagnosis,
discharge diagnosis of atypical pedophilia in
remission.
Q: I understand that, Cardinal Law, but in looking
at the criteria that went into the judgment, one
of the judgments that you were making -- one of
the criteria you looked at was John Geoghan's
past behavior, correct?
A: Well, obviously the reason why the person is in
treatment is because of past behavior. That's
what you're checking out.
Q: Exactly. Right. And one of the criteria you
were looking at is whether the degree of
certitude with which you could state that John
Geoghan would not molest another child.
Was that one of the criteria that you looked
at?
A: That's correct.
Q: Another criteria that you looked at was the
interest in having John Geoghan continue with his
priestly work. Was that another criteria that
you looked at?
A: No.
Q: Okay. Well, John Geoghan did not have to be,
when he came back from the Institute for Living,
reassigned to St. Julia's. He could have been
assigned to a function job where he would not
regularly have contact with children; is that
correct?
A: That's correct.
Q: In fact, some priests were assigned, as I
remember during this period of time, to actually
working in the Chancery so that they would not
have contact with children.
A: That's correct.
Q: I think Father Bernard Lane was at one point
assigned to the Chancery, was he not?
A: He was.
Q: But the decision was made after the Institute for
Living report was received, that it would be
appropriate to assign John Geoghan to work in a
parish without any restrictions on his access to
children; is that not correct?
A: That's correct.
Q: And that decision was made by you?
A: That's correct.
Q: And one of the factors, one of the factors, but
not the only factor that you looked at was the
discharge summary from the Institute for Living;
is that correct?
A: That's correct.
Q: Can we turn to the next page, please, Cardinal
Law.
A: Which page is that?
Q: I'm sorry. Let me just go over -- the November
30, 1989, report, would that have reflected your
views on the inconsistency between the oral
report that you were given concerning the
prognosis for John Geoghan and the written
discharge summary?
A: That's correct.
Q: And it's accurate to state, as Bishop Banks
states in the second paragraph, that he was a bit
disappointed and disturbed by the report; is that
correct?
A: That's correct.
Q: Okay. He felt that the report was not consistent
with his oral conversation?
A: If I may say, I don't think -- well, I can't
speak for Bishop Banks. I can speak for myself.
Q: Right.
A: Disappointment would not be in terms of the
judgment rendered, but disappointment in terms of
the judgment rendered in writing was different
from the judgment rendered orally.
Q: Well, you can't speak for Bishop Banks?
A: No. But I can speak for myself. That would have
been my disappointment.
Q: But Cardinal Law, isn't it true that if there was
a favorable report, you personally wanted to have
John Geoghan back in ministry. Is that not
correct?
A: No, that is not correct. I wanted to do the
right thing.
Q: Okay.
A: And if -- and I didn't want a favorable report as
opposed to an unfavorable report. I wanted an
accurate report.
Q: All right. But, again, one of your options when
John Geoghan came back was to put him into a
place where he would not have contact with kids?
MR. TODD: Objection. Asked and
answered.
Q: Right?
A: The answer is the same now as it was a few
moments ago, yes.
Q: Good. Now, let's turn to the next page, which is
the Institute for Living, Dr. Swords' letter to
Bishop Banks of December 13, 1989, that followed
Bishop Banks' letter to Dr. Stephens of November
30, 1989.
Do you want to take a moment and look at
that?
A: Yes.
(Pause.)
A: Yes.
Q: Looking at this letter from Dr. Swords to Bishop
Banks of December 13, 1989, do you ever recall
seeing this letter prior to today?
A: I do not recall seeing the letter, no.
Q: It has not been brought up in previous
depositions that you can recall?
A: I don't recall it having been brought up.
Perhaps it was, but I don't recall it.
Q: And you'll see that Dr. Swords states, in the
first paragraph, that he's responding to Bishop
Banks' letter to Dr. Stephens of November 30,
1989.
Do you see that?
A: Yes.
Q: Okay. Then he says:
"Let me first say that we judge Father
Geoghan to be clinically quite safe to resume his
pastoral ministry after observation, evaluation
and treatment here for three months."
Do you see that?
A: I do.
Q: And is that statement consistent with the oral
representations, statements that were made to you
in the telephone conversation you described
earlier?
A: As I recollect them, yes.
Q: So it goes on, Cardinal Law, this letter from
Dr. Swords, to state:
"The probability that he would sexually act
out again is quite low. However, we cannot
guarantee that it could not reoccur."
Do you see that?
A: I do.
Q: And then it says:
"It is both reasonable and therapeutic for
him to be reassigned back to his parish."
Do you see that?
A: I do.
Q: So when you made the decision to reassign John
Geoghan back to St. Julia's, you understood, did
you not, that there could be no guarantees with
John Geoghan that his sexual molestation of
minors, his history of that would not reoccur,
correct?
A: As I indicated to you just a moment ago, I don't
recall seeing this letter at the time, but the
content of it would have been communicated to me.
And whether or not it was stated explicitly to me
by Bishop Banks that the Institute of the Living
cannot guarantee that it would not reoccur, I
don't know.
But as I said earlier in our conversation, I
know that no one can absolutely predict the
future of human behavior.
MR. TODD: Again, I want to state for
the record this subject matter and these were
gone into extensively in the Geoghan depositions.
MR. MacLEISH: Which I did not take;
which is another case.
MR. TODD: Doesn't matter. They're
available.
MR. MacLEISH: You know, we're happy to
talk about a stipulation that they can be used in
this case, but under the existing rules, they
could not be used in this case so --
MR. TODD: You know that statements of
parties can be used, prior statements of parties
can be used. You know that. But I won't --
MR. MacLEISH: We can discuss this all
day but I suggest we move on.
MR. TODD: Yeah.
Q: Cardinal Law, you'll see in the next paragraph,
it states:
"The clinical decision to have him resume
his pastoral ministry was ours, but the final
administrative decision had to be yours."
Is that correct?
A: I read -- that's what this letter says, yes.
Q: And how did you interpret -- I understand you
didn't see this letter, but the substance of it
would have been communicated to you.
Was that particular sentence communicated to
you?
A: I don't recall that. I would interpret it the
same way that the matter that we've gone over
earlier today, that I -- that it is my
responsibility to assign priests.
Q: Right.
A: I obviously do not give that to the Institute of
the Living or anyone else.
Q: And the Institute of Living, as far as you know,
did not have any explicit knowledge concerning
the number of children that John Geoghan might
have access to were he to return to St. Julia's?
MR. TODD: Objection to the form.
MR. MacLEISH: Go ahead.
A: My presumption is that they knew that as a
parochial vicar, he would be doing parish work,
which would put him in contact with everyone.
Q: When John Geoghan was reassigned after this
report from the Institute of Living where it is
stated that the Institute for Living could not
guarantee that his sexual misconduct would not
reoccur, were there any restrictions that were
placed on him by you or anybody else at the
Archdiocese in terms of having access to minors?
A: I think, Mr. Gar -- Mr. MacLeish --
Q: No, no. You almost said Mr. Garabedian there,
Cardinal Law.
A: Mr. MacLeish. I'm sorry,
MR. TODD: Understandable mistake.
MR. ROGERS: High praise.
A: But the critical sentence here in terms of the
decision that was made with regard to Father
Geoghan's reassignment is the final sentence in
the first paragraph where the Institute of the
Living states:
"It is both reasonable and therapeutic for
him to be reassigned back to his parish."
Q: All right. Go ahead.
When that statement was made, Cardinal Law,
you don't know when you read that, whether the
Institute for Living was talking about from the
perspective of John Geoghan or from the
perspective of the parishioners, including the
children of St. Julia's, do you?
MR. TODD: Objection. Argumentative.
A: I would read that sentence and the sense of that
to certainly include the well-being of the people
in the parish, because the whole point of this
exercise is concerned with that, the impact of a
priest on a parish, on people, the possibility of
very, very negative behavior and abusive
behavior. And so that's what's at issue here.
Q: Did you ever delegate to the medical
professionals you were relying upon, the decision
to make judgments about what was in the best
interest of particular parishes of the
Archdiocese?
MR. TODD: Objection. Asked and
answered.
A: You know, I don't know -- I really don't know
what you're asking there, but the answer to that
is obviously no.
Q: All right. So you're the one that -- let me just
be specific here, Cardinal Law.
Why was it then, since the Institute for
Living stated, "We cannot guarantee that John
Geoghan's sexual molestation, acting out with
children would not reoccur," why was it that he
was put back into St. Julia's by you without any
restrictions in terms of his access to children?
That's my question.
A: And my answer would be, again, putting myself in
the 1989 time frame, first paragraph of that
letter, last sentence, "It is both reasonable and
therapeutic for him to be reassigned back to his
parish."
Q: Well, Cardinal Law, again --
A: "The discharge diagnosis of atypical pedophilia
in remission refers to a condition in the past,
but the symptoms of which have been for sometime
no longer in evidence or under firm control."
Q: We can both read selective provisions, sentences
of this letter. My question is quite specific
though.
The Institute for Living states:
"We cannot guarantee that his problem of
sexual molestation will not reoccur."
We agreed that that's what it said in this
letter, correct?
A: That's correct.
Q: We agree that the substance of this letter was
communicated by you to Bishop Banks, correct?
A: Excuse me?
Q: We agreed that the substance of this letter was
communicated to you by Bishop Banks; is that
correct?
A: Yes. And that the substance of this letter was
essentially my oral conversation with someone
whom I believe to have been Father Gill at the
Institute of the Living, prior to the letters.
Q: We also agree that the Institute's letter
accurately reflects that the final administrative
decision on what to do with John Geoghan was
yours, correct?
A: Yes. I mean -- yes.
Q: We also -- you've also previously stated that the
protection of children in programs sponsored by
the Archdiocese of Boston was a top priority for
you from the time that you first arrived in
Boston, correct?
A: I don't know how many times I've answered these
questions --
Q: Right. I understand.
A: -- to you, and the answer is not any different
now than it was the very first, second, third,
fourth, fifth time you've asked that. Yes.
Q: Yes. Okay. So my question to you, Cardinal Law,
is that in light of all of those
considerations -- let's start specifically.
Why were there no restrictions placed on
John Geoghan in terms of his access to children
when he was reassigned to St. Julia's?
MR. TODD: Do you believe you have
answered that question?
THE WITNESS: I believe I've answered
it a hundred different ways.
MR. TODD: Then I'm going to instruct
him not to answer. This is becoming abusive.
MR. MacLEISH: It's not being abusive.
Q: My question is very specific, Cardinal. I'm
talking about now -- you have not answered the
question, with respect.
MR. TODD: I believe he has. He
believes he has.
MR. MacLEISH: Well, you don't even
know what the question is, Owen. Let me ask the
question again.
MR. TODD: When you start off saying I
believe you haven't answered the question --
MR. MacLEISH: You've not --
MR. TODD: The question being --
MR. MacLEISH: Please don't interrupt
me, okay.
Q: Cardinal Law, the question is very specific.
One of the options that you possessed,
understanding that there were no guarantees that
this behavior would not occur again, that you
possessed in 1989 with John Geoghan, was to send
him back to a parish ministry with some sort of
restrictions on him in terms of access to
children.
That was one of the options, was it not?
A: That was an option, right. There were other
options. There were options not to assign him
anywhere. There were options to assign him to
something that was -- that would not put him, in
the course of his work, in contact with children.
Q: Do you recall giving any consideration to putting
John Geoghan into a situation at St. Julia's or
elsewhere where he would not regularly have
contact with children?
A: I, in the course of his -- to the extent that I
reflected upon his future assignment in the
course of his going to the Institute of the
Living, I'm sure that I would have considered all
possibility of options.
Q: We're talking about now when he returns from the
Institute of Living.
A: That's right.
Q: Do you have a conscious recollection as you sit
here today of thinking about whether John Geoghan
should have some restrictions placed upon him in
terms of his access to children?
A: Mr. MacLeish, you may view this as selectively
reading from this letter, but all I can say to
you is that the operative word from the Institute
of the Living impacting the decision concerning
his assignment is, "It is both reasonable and
therapeutic for him to be reassigned back to his
parish."
Whether or not you think that was wise,
whether or not I think it is wise at this point
is irrelevant to trying to see what the situation
was at that point. It was on the basis of that
recommendation, that finding, if you will, of the
Institute of the Living, fully understanding that
I had to make the decision, but that finding of
the Institute of the Living carried a
considerable weight in the decision to reassign
him to St. Julia's.
They knew that he was in St. Julia's. They
knew that it was full pastoral ministry. And it
was on the basis of that finding of that
Institute, in which we had reason to have
confidence, that he was reassigned.
He would not be reassigned today. He was,
in fact, ultimately removed from that parish, as
you know.
Q: I know.
A: But it was at that time on the basis of that
finding that he was reassigned.
Q: Cardinal Law, did you place -- you placed
considerable weight, as you just described, on
that sentence in the first paragraph.
Did you also place considerable weight on
the previous sentence, which said, "However, we
cannot guarantee that it could not reoccur"? Did
you place any weight on that in making the
decision to reassign John Geoghan to St. Julia's?
A: First of all, as I think I told you previously, I
don't recall seeing this letter.
Q: So -- okay.
A: But -- and the possibility of giving absolute
assurance with regard to future human behavior is
something that very few persons are able to do,
and I don't know -- and so it would be -- you
know, this kind of a sentence would be read in
the context of that final sentence, which is the
judgment that you understand, of course, that we
can't be a hundred percent sure about what the
future will -- how the future will unfold.
However, "It is both reasonable and
therapeutic for him to be reassigned back to his
parish."
I think that that is their judgment --
Q: Okay.
A: -- in terms of assignment. And it was upon that
that we were relying.
Q: But they're not the Archdiocese of Boston,
correct?
A: Correct.
Q: When it says the words in that sentence that
you've spoken to a number of occasions,
"therapeutic for him to be" -- let's just focus
on "therapeutic," if we could, Cardinal.
The Institute is referring to therapeutic
for John Geoghan. It's not referring to
therapeutic for St. Julia's, correct? You'd
agree with me?
MR. ROGERS: Objection.
Q: Do you agree with that?
A: Yes, I agree with that.
Q: So when it is stated, "It is both reasonable and
therapeutic for him," do you read the first word
"reasonable," or the third word, "reasonable," as
being a reasonable decision for the parish or --
A: Absolutely.
Q: -- or do you view it as a reasonable decision for
Father Geoghan?
A: No, I read it -- I would have accepted it at the
time in terms of their discussion with me,
because the whole point of the exercise is what
is appropriate in terms of the risk here --
Q: Right.
A: -- to people. And so I would see -- I would
understand "reasonable" there as the parish.
Q: All right. Well, in making the decision of the
risk, as you put it, that's really your job,
isn't it, Cardinal Law, not the Institute for
Living's? It's your job to make a determination
of whether the risks of doing this are worth it.
That's your job, correct?
A: It is my job to make the assignment.
Q: Right.
A: I rely on others to assist me in doing that. In
cases of this kind, I relied specifically on
Bishop Banks.
He and I, through him, relied on the
Institute of the Living in terms of an
ascertation, given the pathological behavior, as
to whether or not it was appropriate, reasonable,
indicated that this person should be assigned or
could be assigned. And that was the basis on
which it was made.
Q: But you would agree with me that the Institute
for Living is not charged in any way with making
a determination of the reasonableness of priestly
assignments. That's your job?
MR. TODD: Objection. Asked and
answered repeatedly.
A: Mr. MacLeish, I don't want to appear exasperated
here but I am --
Q: No.
A: But I feel a little bit exasperated because, you
know, there's a reasonableness on my part, but
for me to make an assignment of this kind -- I am
not a psychiatrist, I am not a psychologist -- I
need -- the issue here for me at that point was
whether or not someone who had manifested this
kind of pathological behavior could reasonably be
reassigned or would it be an unreasonable thing
to do. Reasonable in terms of risk involved and
all like that.
And so you send somebody away to find that
out. I can't make that judgment.
Q: Right.
A: Now, as a matter of fact, I now have made that
judgment, and that judgment is as of January
2002, that one such acting out renders it
unreasonable. And I think that that's an
appropriate thing. I wish to God that that had
been our policy much earlier.
Q: Right.
A: But at this point in time, what I was doing was
relying upon, in this case, the Institute of the
Living and --
Q: Go ahead.
A: -- to indicate to me what is appropriate in the
assignment of this priest.
Q: So you were relying on the Institute for Living
to make the decision on what was appropriate?
A: No.
Q: No. To assist you in making the decision?
A: That's correct.
Q: The word "reasonable" is not a precise term, you
agree with me?
MR. TODD: Is not what? I'm sorry.
Not a what term?
Q: It's not a precise term; it's a subjective term.
Is that correct?
A: It's a judgment term.
Q: It's a term that implies that you have to look at
a number of different factors in making a
reasoned decision; is that correct?
A: That's correct.
Q: All right. You know now, do you not, Cardinal
Law, that after this reasoned decision that you
made to send John Geoghan back to St. Julia's,
that people have come forward that claim that
they were molested since November of 1989?
Do you know that, Cardinal Law?
MR. TODD: Objection. Asked and
answered.
A: Yes. I think I've indicated already that we
removed him subsequently when other allegations
came forward.
Q: Right. My question to you is: Are you not aware
that individuals did come forward following your
reasoned decision to put John Geoghan back into
ministry in December of 1989?
MR. TODD: Objection. Asked and
answered.
Q: That's my question.
MR. TODD: That's the question you just
asked and he just answered.
MR. MacLEISH: No, no.
A: Could you point out to me, Mr. MacLeish, in what
way my answer was not to your question.
Q: Yes. If you could just answer -- Cardinal Law,
you testified earlier about individuals who came
forward after 1984 who claimed to have been
molested at St. Julia's.
Do you recall your testimony on that
subject?
A: Yes.
Q: My question now is trying to narrow that a little
bit. You're aware, are you not, that in that
group of individuals who came forward to claim
that they were molested at St. Julia's after
1984, there's also a subset of that group who
claimed that they were molested after you made
the decision to return John Geoghan to St.
Julia's in 1989?
That's my question.
MR. TODD: Question has been asked and
answered.
A: My answer is, as I tried to say earlier, I am
aware of the fact that we received allegations
concerning Father Geoghan after '89.
Q: Okay.
A: I cannot say with certainty, as I sit here, in
what time frame those acts were alleged to have
been committed. But the allegation themselves
were sufficient to remove him.
Q: I'm sorry. I'm being a little imprecise here.
I'm referring to allegations that Father Geoghan
molested children at St. Julia's following
December of 1989, following your reinstatement.
A: Yes.
Q: Are you aware that there are such allegations of
molestation of children at St. Julia's after this
decision was made to put Father Geoghan back in
St. Julia's?
MR. TODD: Objection. Asked and
answered.
A: What I think I have answered already, but I will
try again to make it clearer in my answer, is
that I am aware that there were allegations which
came forward after '89. I cannot recollect what
time frame within which those acts are alleged to
have occurred. However, the bringing forward of
the allegations was sufficient to remove him,
regardless of the time frame.
Q: But you don't know whether those allegations, as
you sit here today, the ones that came forward
after '89, pertained to sexual misconduct by
Father Geoghan at St. Julia's following December
of 1989?
A: That's correct. I cannot -- I don't have that
specific knowledge in my mind.
Q: Could you please turn to the next page, Cardinal
Law.
(Pause.)
Q: This is a -- this is after Bishop Banks has left
to go to Green Bay, November 28, 1990.
Have you seen this document before?
A: I think I may have seen the document in the
course of these months, but I can't be specific
on that.
Q: Do you see the words -- it reflects a
conversation with John Geoghan.
Do you see that?
A: I do.
Q: And it says John Geoghan reports:
"He said he met with Dr. Swords and
Dr. Brennan and both cleared him."
Do you see that?
A: I see that.
Q: Yes. And then it says:
"John would like to be a pastor."
Do you see that?
A: Yes.
Q: It says:
"I told him to meet with Bishop Hughes to
review the situation. Also, he should meet with
the Cardinal for the same reason."
Do you see that?
A: Yes.
Q: Then it says:
"I said I would recommend him for pastorate,
but decision left up to ACH and BFL."
Do you see that?
A: I do.
Q: I take it that's referring to Bishop Hughes and
yourself; is that correct?
A: I think it would, yes.
Q: So, again, in this type of situation where there
had been an allegation of sexual misconduct and
the person required an assignment as pastor, that
decision would be left up to you; is that
correct?
A: I think we've already established, Mr. MacLeish,
that it is the responsibility of the Archbishop
to assign priests, period. You know, it's not a
specific group of priests, but it's any priest
assignment.
MR. ROGERS: All right. Now, it's now
12 o'clock. I suggest we take a five-minute
break.
MR. MacLEISH: Okay. Fine.
THE WITNESS: Is it already twelve?
MR. MacLEISH: Things go fast.
THE VIDEOGRAPHER: The time is 12:00
p.m. This is the end of Cassette No. 1 in the
deposition of Cardinal Law.
(Recess.)
THE VIDEOGRAPHER: The time is 12:09
p.m. This is Cassette No. 2 in today's volume in
the deposition of Cardinal Law. We're back on
the record.
Q: Cardinal Law, when you made the decision to
reassign John Geoghan to St. Julia's, do you know
how many individuals at that point had come
forward to make allegations that they were
sexually abused as minors by John Geoghan?
A: I do not.
Q: Do you know whether it was more than one?
MR. TODD: I'm sorry. Are you asking
did he know at that time in '89 it was more than
one?
MR. MacLEISH: Yes. In '89. Yes.
A: I believe I knew that it was more than one, yes.
Q: Did you know that it was more than five?
A: You know, I don't know that.
Q: Did you -- do you have a recollection of
instructing anyone to prepare a report for you
when you made the decision to reassign John
Geoghan to St. Julia's without restriction in
1989, did you instruct anyone to make a report
for you summarizing all of the allegations of
sexual abuse that had been made against John
Geoghan?
A: I made no such specific recommendation about that
case or any other case. I had confidence in the
persons that were assisting me in this matter for
that.
Q: Right. As you described in your testimony, those
individuals were charged with bringing to your
attention important information that might bear
on the assignment, correct?
A: They were to help me in making my decision, yes.
Q: And to provide you information that was relevant?
A: That's correct.
Q: And so my question is: Did you instruct any of
them to summarize for you in any way the number
of individuals as of December 1989, that were
making allegations that they had been sexually
molested by John Geoghan as minors?
A: I think the answer to that, implicitly anyway,
from my previous testimony to you about the
procedure followed, is no.
Q: So in looking at the various criteria that we've
discussed here today that go into making a
reassignment, you do not have a recollection that
one of those criteria was the number of
complaints that had been made against John
Geoghan; is that correct?
A: That's correct.
Q: Could you turn to the next page, please, Cardinal
Law, which is a letter from John Geoghan of June
29, 1990. If you could quickly take a look at
that and then the following page, which is your
letter acknowledging receipt.
(Pause.)
A: Yes.
Q: So John Geoghan wrote to you in June of 1990
urging that his name be submitted to the
Personnel Board for consideration as pastor; is
that correct?
A: That's correct.
Q: And you responded, did you not, on August 13,
1990, stating that you would communicate Father
Geoghan's interest in being named pastor at St.
Julia's to the Personnel Board; is that correct?
A: That's correct. That's a pro forma kind of a
letter when someone writes requesting a specific
parish, because the decision isn't going to be
made in that way. It goes through a process.
Q: Right. It goes to the Personnel Board; is that
correct?
A: That's correct.
Q: And that was the process in 1990; is that
correct?
A: Yes.
Q: And then there's also a review, was there not, in
1990, of the confidential file? Is that correct?
Did that happen?
A: A review of the confidential file? What are you
referring to?
Q: I'm referring to the confidential file that was
maintained at the Archdiocese that was kept
separately from the personnel file and contained
matters relating to scandal, including
allegations of sexual abuse.
A: And you're asking me in general terms if there
was a review of the confidential file?
Q: Yes. Before someone was appointed to pastor,
we've had testimony in other depositions that
Bishop Banks or those individuals who had access
to the confidential file, would make a review of
it to determine whether there was anything you
needed to know.
Was that your understanding of the process,
Cardinal Law, in 1990?
MR. ROGERS: I object as to the form of
the question. I don't think that's a fair
characterization of the prior testimony. I think
it's --
MR. MacLEISH: All right. Fine.
MR. ROGERS: Maybe you'd like to point
out what testimony you're talking about.
MR. MacLEISH: Yes. Bishop
McCormack's, Bishop Daily's --
A: Yes, I --
MR. MacLEISH: Let me answer your
question.
-- Father McCarthy and Father Helmick,
I believe. But go ahead.
MR. TODD: If you know.
Q: If that's not your understanding of the process,
then state that's not your understanding of the
process.
MR. ROGERS: Is that a different
question?
MR. MacLEISH: No. Answer the original
question.
MR. ROGERS: Which?
Q: Cardinal Law, do you recall what I asked you?
A: It would be helpful for me if you would rephrase
the question.
Q: Sure. Be happy to.
Was it your understanding that before
someone was actually appointed pastor, there
would be a review of what was known within the
Archdiocese as the confidential file?
A: My understanding was that there would be review
of all pertinent information concerning this
individual. It would also have been my
understanding that if there were pertinent
information in the confidential file which would
have inhibited an assignment from, as a pastor,
or as a parochial vicar, that that person
wouldn't be in place to begin with.
Q: Right.
A: So whether or not the confidential file was
referred to every time an assignment was made, I
can't answer that.
Q: Okay. Fine. But at least as of August of 1990,
you were prepared to consider John Geoghan, if it
had been so requested by the or so -- sorry.
Someone is walking by. Let me start again.
(Pause.)
Q: Cardinal, would it be fair to state that at least
as of August of 1990, you were not ruling out the
possibility that you might actually name John
Geoghan as pastor of St. Julia's?
A: I would rule out that possibility as of August
1990.
Q: Why?
A: Because of the -- by now, we have had the
situations that had come forward in '89 and there
was just -- you know, I would not have moved
forward on it.
Q: If John Geoghan was not fit to be pastor, why was
he fit to be parochial vicar?
A: Well, there are a lot of things that go into
consideration of a pastor in terms of
personality, in terms of leadership potential,
and I do not believe that I would have actively
considered appointing him as a pastor.
Q: But you just stated, I thought, that you would
not have considered appointing him as pastor
because of the Institute for Living report.
Did I misunderstand your testimony?
A: Yes.
Q: Okay. Turn to the next page, please, Cardinal.
MR. TODD: Yes, what? Yes, he
misunderstood your testimony?
THE WITNESS: Well --
MR. MacLEISH: Well, you have
cross-examination. The witness answered the
question.
MR. TODD: I'm just trying to clarify.
MR. MacLEISH: Well, but you have that
opportunity on cross-examination.
MR. TODD: Is that what your answer is?
MR. MacLEISH: Well, I object to that.
I object to that.
MR. TODD: Fine. We'll let it stand as
being ambiguous.
MR. MacLEISH: Fine. Well, that's your
characterization.
MR. TODD: It is.
Q: Next page, Cardinal Law.
A: December 30, '94?
Q: Yes. Take a moment and see if you remember
sending that letter to John Geoghan in December
30, 1994.
(Pause.)
A: I don't -- you know, again, I don't recall
sending this specific letter. I'm sure that I
did send it, but I am generally -- I generally
recollect the situation where this took place.
Q: All right. When you refer to "recent
allegations" in the first sentence, I take it
those are recent allegations concerning sexual
misconduct?
A: That's correct.
Q: You don't describe the nature of the allegations
in the letter, do you, Cardinal?
A: I do not.
Q: In fact, it was your practice not ever to
describe in these letters the nature of the
allegations when they pertained to sexual
misconduct.
MR. TODD: Objection.
Q: Is that a fair statement?
A: I think it would be fair to say that I would not
refer to the specifics of allegations of any
kind, but the person to whom I'm writing knows
what is being talked about.
Q: I'm not referring to specific allegations; I'm
referring to the subject of sexual misconduct.
It was not your --
A: I understand.
Q: Excuse me.
It was not your practice to, when you
informed -- when you wrote letters such as this
letter of December 30, 1994, to characterize the
nature of the allegations when it was sexual
misconduct; is that correct?
A: I understood the nature of your question the
first time, Mr. MacLeish, and I responded by
indicating that when I wrote this kind of a
letter, it wasn't simply sexual misconduct
allegations that were not specified, but I
wouldn't specify any kind of allegations because
the person to whom I was writing would know what
the reference was to.
Q: I see. Okay. You, in this letter, you state, do
you not:
"I realize this is a difficult time for you
and for those close to you."
Do you see that?
A: Yes.
Q: Did you also believe when you wrote this letter
that it was a difficult time for the victims of
Father John Geoghan who had come forward and made
these allegations?
MR. TODD: Objection. Argumentative
and obviously --
A: You know, Mr. MacLeish, I just wonder if you want
to rethink that question --
Q: No, I really don't, Cardinal.
A: -- because, obviously, I did. But I'm writing to
Father Geoghan.
Q: Right. I would like to press the question.
A: I'm not writing here to others.
Q: Could you answer the question, please?
A: The answer is of course.
Q: Did you write to those victims of sexual abuse
that had come forward to make allegations against
Father Geoghan at that time, Cardinal?
A: I did not.
Q: Did you personally ensure that was some sort of
support that was provided to those individuals
that had came forward claiming that they were
sexually abused by John Geoghan in 1994?
A: Here again, I relied on the Delegate for outreach
to victims, and it's an area where I think we do
a much better job today, and we did in '94, a
better job than we had done earlier. I cannot be
specific as to what actually occurred at that
point.
Q: Well, Cardinal, I'm not asking about today. I
understand what you do today. I'm asking about
1994. My question is very specific. My question
is:
What did you do, if anything, to ensure
yourself that victims of Father Geoghan, the ones
who had come forward, were getting the help that
they needed?
A: As I think I indicated, I relied on the Delegate
to be the point of contact for the diocese in
terms of the victims.
Q: Well, in your letter to Father Geoghan of
December 30, 1994, you also state:
"If I can be of help to you in some way,
please contact me."
Those were your words; is that correct?
A: That's correct.
Q: So you were offering to be of assistance to John
Geoghan; is that correct?
A: John Geoghan was a priest of this Archdiocese.
If you'll note from the address where he --
Q: Right.
A: He is not at St. Julia's at this point. He's
already been removed from St. Julia's. He's been
assigned to an office where he does not have
contact with children. And having received yet
further allegations, he was effectively retired
at that point.
And, yes, there is an offer to be of some
help to him in what had to be also a very
difficult moment for him.
Q: I understand that, Cardinal Law, and my question
is, you, personally, in this letter to him
offered to be of help to him and offered to have
John Geoghan contact you if he wanted to; is that
correct?
A: That's correct.
Q: Did you send out any letter offering to be of
help to any of the victims of Father John Geoghan
who had come forward, that you can recall?
MR. TODD: I object to that question as
being insulting. It's obviously grandstanding.
It can be serving no legitimate purposes of
deposition, and it's harassing, clearly
harassing. It has no legitimate purpose in this
deposition.
MR. MacLEISH: That's absolutely
incorrect, Mr. Todd.
MR. TODD: It's correct, Mr. MacLeish.
MR. MacLEISH: You're absolutely
incorrect.
Q: Can you answer the question, please, Cardinal?
A: Yes. And I would agree with my counsel that this
is a harassing question but I will answer your
question.
Q: I hope you don't think there's a harassing tone
to it. You may think it's not a question that
you wish to answer but --
A: No, no. I'm happy to --
Q: It's a very simple question.
MR. TODD: No. You just interrupted
his answer.
MR. MacLEISH: And you just interrupted
me, Mr. Todd.
Let me withdraw the question and start
again, Cardinal Law. We'll make it very easy.
MR. TODD: Why don't you withdraw it
and go on to something that's relevant.
MR. MacLEISH: No, no. I appreciate
that. This is very relevant to this case.
MR. TODD: No, it is not relevant to
this case.
MR. MacLEISH: Mr. Todd, what did you
just throw?
MR. TODD: Why don't we certify that
question and take it the judge.
MR. MacLEISH: Did you just throw
something across the room here?
MR. TODD: At the basket, and I made a
basket, and you ought to congratulate me for
that.
MS. PATEL: You missed.
MR. TODD: Oops. You put it in.
MR. MacLEISH: Whatever, it's
inappropriate.
You can certify any question that you want.
Q: My question is a simple question, though,
Cardinal, of whether or not you can recall
writing a letter to the victims that apparently
had recently come forward against John Geoghan.
That's my question.
MR. TODD: What's the relevance of that
question? How does it lead to --
MR. MacLEISH: Mr. Todd, AS you well
know, it is not related to a matter of privilege.
MR. TODD: Are you refusing to
answer --
MR. MacLEISH: No. I'm not required to
answer. Judge Sweeney has already ruled on these
issues. That's not the standard.
MR. TODD: That's not true.
MR. MacLEISH: If you're instructing
him not to answer the question, then so instruct
him and we will continue the deposition. That's
fine. I have no problem with that. But I'm
pressing the question. And what you're allowed
to say is "Objection." If it's an issue of
privilege, you can take the Cardinal outside.
But it's a simple question.
MR. TODD: No. That's a
misconstruction about the rules.
MR. MacLEISH: Fine. Then --
MR. TODD: Now you're interrupting,
Mr. MacLeish. Misconstruction of the rule.
The rule also talks about coming to the
assistance of a witness when the questions are
harassing and serve no -- insulting, scandalous
and serve no useful purpose.
MR. MacLEISH: So I understand your --
MR. TODD: But you may answer if you
wish.
MR. MacLEISH: No, no. I understand
your question that it's insulting for me to ask
Cardinal Law whether or not he wrote to any
victim of sexual abuse at this time in 1994. I
really don't see how that's an insulting
question.
MR. TODD: It's a grandstanding
question.
MR. MacLEISH: It's not.
MR. TODD: It's not for any legitimate
purpose involved in this case, but rather to
adulate your ego and to appeal to your clients
and the press and so forth. There's no
legitimate purpose.
MR. MacLEISH: Well, Mr. Todd --
MR. TODD: But answer, Cardinal, if you
like.
THE WITNESS: I would like to answer
it, if I may.
MR. MacLEISH: You'd like to answer the
question?
THE WITNESS: Yes.
Q: Would you answer the question, though, whether
you wrote the letter? That's really what my
question was.
MR. TODD: You answer the question as
you understand it, in any way you wish.
MR. MacLEISH: The question is very
specific.
MR. TODD: Answer it in any way you
wish.
MR. MacLEISH: No, no, that's not all
right.
Please answer the question that I posed.
You have an opportunity for cross-examination.
A: The answer to the question is that my interaction
with victims at this point was carried out
through the Office of the Delegate, who would
have been Father Brian Flatley. So no, I do not
recall any letters.
But you will also recall from the fact that
you have established in a number of different
ways, with a number of different questions that
it was my responsibility as the Archbishop to
assign priests. This letter, very appropriately,
to Father Geoghan, is a letter of assignment.
Q: Okay. My question was whether you recall writing
to any victims, and I take it the answer to that
is no?
A: The answer to that is no, but I would want the
record to show that there was a point of contact
established for me, a regular line of contact
through the Office of the Delegate.
Q: Do you know for a fact whether the victim that
came forward with respect to Father Geoghan was
contacted by the Office for Delegate, Office of
the Delegate and some support was offered?
A: I do not know that.
Q: Okay. Could you turn to the next page, please,
Cardinal Law.
(Pause.)
A: Yes.
Q: This is a letter of August 4, 1996, to John
Geoghan from you that was sent; is that not
correct?
A: That's correct.
Q: And you'll note that Father Geoghan was put on
sick leave status.
Do you see that?
A: That's correct.
Q: And was Father Geoghan put on sick leave status
because of the allegations of sexual misconduct
that had been made against him?
A: Well, first of all, Father Geoghan was
effectively removed from public ministry two
years prior to this.
Q: I understand that.
A: So he is not functioning as a priest publicly.
He's able to celebrate mass only privately. That
means by himself.
Q: Right.
A: And this is continued. Why this status is
changed to sick leave, I would think has less to
do with any allegations, new allegations that may
have occurred at that point, and more to do with
his support, but I'm not -- his remuneration --
but I'm not certain about that.
I'd have to rely -- I'd have to inquire as
to others as to the specifics of why his
designation was changed.
The effect in terms of his ability to
function remains the same. He was effectively
removed from active ministry two years prior to
that and that continued.
Q: I understand that, Cardinal. As we've gone
through in the Paul Shanley papers, there are
various categories that the Archdiocese uses with
respect to its personnel policies; is that right?
A: That's correct.
Q: One of them is sick leave; is that correct?
A: That's correct.
Q: And were you aware in August of 1996, whether
there were any physical ailments that prevented
John Geoghan from being a priest of the
Archdiocese?
A: Well, that wouldn't have been pertinent because
his inability to function as a priest at that
point had nothing to do with physical ailments.
Q: Right.
A: It had everything to do with the issue of sexual
abuse of minors.
Q: So would it be fair to state, as you sit here
today, your understanding is that he was on sick
leave status because of the prior allegations
that had been made against him for sexual
misconduct?
A: I really can't answer that.
Q: Okay. Fine.
A: I'd have to check the records.
Q: Fair enough.
Next document.
A: Is this the December 12 letter?
Q: Yes.
A: Yes.
(Pause.)
A: If I may --
Q: Did you review the letter?
A: I did.
MR. TODD: Why don't you wait for a
question.
Q: The document that is the last page of Exhibit 88,
is this a letter that you wrote to John Geoghan
while he was at Southdown in Canada on December
12, 1996?
A: It is.
Q: And you'll notice that in the third from the last
paragraph, you state:
"Yours has been an effective life of
ministry, sadly impaired by illness."
Is that correct?
A: That's correct.
Q: And then you go on to state:
"On behalf of those you have served well,
and in my own name, I would like to thank you."
Do you see that?
A: That's correct.
Q: When you wrote that statement, Cardinal Law, did
you know at that point that there had been
multiple allegations of sexual misconduct against
John Geoghan from different people spanning a
period of ten years or more?
A: I knew that there had been a number of
allegations, and that's why two years prior to
this, he was removed from active ministry.
Q: Right.
A: I did not know the extent of it until this year
when a great number of other allegations also
came forward.
Q: But you knew that -- you knew there was more than
one allegation of sexual misconduct --
A: I knew --
Q: Excuse me. Let me finish the question.
You knew there was more than one allegation
of sexual misconduct against John Geoghan when
you wrote this letter of December 12, 1996?
A: My answer to that is the same as it was a few
minutes ago to a similar question if I knew there
was more than one in 1989.
Q: Right.
A: Yes.
Q: Did you know that there were, in 1996, that more
people had come forward in 1993?
A: Did I know in '96 that more people -- yes.
Q: You indicated before that in 1989, as you
correctly noted in your answer, that there was
more than one allegation against John Geoghan.
A: Correct.
Q: Now we're jumping forward to 1996.
Between 1989 and 1996, had more individuals
come forward?
A: Yes.
Q: And do you know by 1996 whether there were more
than five allegations that you were aware of at
that time against John Geoghan?
A: In '96?
Q: Yes.
A: After he had been removed in '94?
Q: Yes.
A: I can't say how many I knew of, but I would
imagine it would have been more than five.
Q: Okay. But you considered his service to be an
effective life of ministry, sadly impaired by
illness; is that correct?
A: I'd like to say a word about that paragraph.
Q: Certainly. That's what you wrote, though? I
read it correctly?
A: I read "Yours has been an effective life of
ministry, sadly impaired by illness. On behalf
of those you have served well, and in my own
name, I would like to thank you. I understand
yours is a painful situation. The passion we
share can indeed seem unbearable and unrelenting.
We are our best selves when we respond in honesty
and trust."
This is an effort --
Q: Finish.
A: "God bless you, Jack."
Q: Right.
A: This is an effort to be pastorally present to a
priest who, in his life, did minister well to a
number of people, and at the same time, who
terribly abused children. It's a mixture of
light and of darkness. And when you respond to
an individual in the midst of that kind of a
situation, you, I think, appropriately, as a
bishop, try to remind that person that there has
been some -- there's been good here; that your
life is not defined simply by your evil deeds,
but your good deeds are also there.
And yet, it's a call for him to respond with
honesty to his situation and trust. He is in the
place, Southdown, where we hope -- we had hoped
that he would be helped. The decision, of
course, was that there was no possibility of his
returning to active ministry.
Q: Since you know that John Geoghan had committed
evil deeds, Cardinal, did you in any way, in
1996, up until December of 2001, undertake any
effort to locate other victims of Father John
Geoghan who might be in need of assistance but
who had not come forward to the Archdiocese?
A: Again, I relied on the Office of Delegate to
assist me in ministry to victims and to -- and to
the priest who was the perpetrator.
It was not our policy to -- I can't really
say for certain what our policy was in '96,
whether we went to parishes where this had
occurred or not. But I'd have to check that out.
Q: Isn't it true that that policy didn't commence or
even come under discussion until January of this
year when a series of articles were published in
the Boston Globe?
A: It is true, certainly, that in January of this
year, we radically reassessed how we were
handling this case and made significant changes,
as you know, and are continuing to learn by our
experience and I think are perfecting what we're
doing.
But I can't say with specificity what was or
was not done in '96.
Q: Cardinal Law, we've now concluded with the
questions about John Geoghan.
I just want to summarize where we are
because we are focusing, again, on the '84 -- at
least in part -- on the '84 to '89 time period
and the number of priests that you were dealing
with directly.
And we've already established, I think --
and you correct me if I'm wrong here -- that you
were personally aware of John Geoghan's situation
and made the decision to assign him back into
ministry. When I say the "situation," I mean the
allegations of sexual misconduct against him.
You were personally aware of the allegations
involving Father Rosenkranz. That's Exhibit
No. 77, if you'd like to look at it.
A: Yes.
Q: You were personally aware of the situation of
Father Birmingham when you assigned him to be --
reassigned him from St. Ann's to St. Brigid's; is
that correct?
A: Correct.
Q: You were personally aware during the same time
period, 1984 to 1989, that Father Graham had
admitted engaging in sexual misconduct with a
minor. That's Exhibit No. 81, Cardinal, if you'd
like to take a look at it.
A: I'd like to look at that one.
(Pause.)
A: Did I see the back-up letter on that?
Q: On Exhibit 81?
A: That was -- that was the copy.
Q: Right. Exhibit 80, Exhibit 80, if you want to
take a look at that, which was copied to you
on --
A: Yeah.
Q: -- was the letter of an individual.
A: And I believe my testimony, as you showed that to
me, was that I did not recall seeing that copy
letter --
Q: Right.
A: -- but that it would have gone -- it would have
appropriately gone to the person helping me with
these kinds of cases.
Q: You see Exhibit 81 is notations of Bishop Banks
concerning the allegations that Father Graham
admitted to.
Do you see that?
A: I see the memo of Bishop Banks, which was not a
memo to me.
Q: Right.
A: And I do not recall seeing this except in the
context of deposition.
Q: Right.
A: But, I see this.
Q: Would it have been consistent with the practice
at the time that when a priest admitted, in
Bishop Banks' word, confessing that as a
seminarian and young man he had been involved
with a young man, and that this involvement
involved sexual activity -- do you see those
words of Bishop Banks' in the second paragraph of
Exhibit 81?
A: Yes.
Q: Is that the type of matter consistent with what
you've testified about your practice that would
have been brought to your attention?
A: And I would imagine that the substance of this
would have been brought to my attention,
including the conclusion here.
Q: Sure.
A: "I have asked Father Graham to meet with
Dr. O'Hanley, and I have received from
Dr. O'Hanley a report which allows us to continue
to assign Father Graham to priestly ministry. I
myself have no doubt that Father Graham has been
honest in admitting his guilt and denying that
any improper activity has taken place in the past
20 years."
Q: Right. We went over that before and I understand
that's there. What I'm really focusing on now
are the priests we covered so far that you knew
about in the '84 to '89 time period that had
either admitted or had allegations, credible
allegations against them concerning sexual
misconduct, and were allowed to continue in
ministry.
A: And your question to me is what?
Q: My question is Daniel Graham was one of those?
A: That's correct.
Q: Okay. And Joseph Birmingham was one of those?
A: Yes.
Q: And we've already been over Father Rosenkranz.
A: Yes.
Q: That was one of those?
A: Are you giving me any new ones or --
Q: You know what. I'm going to give you a new one.
A: -- is this the same material that we did
yesterday?
Q: It was actually two days ago.
A: Whenever it was.
Q: We're going to go to the next one. I just want
to make sure we know where we are right now. So
if I could continue.
We also, during this same time period,
Cardinal Law, Exhibit 43, you had the allegation
of sexual assaults involving Father Rebeiro?
MR. TODD: That book up there.
Q: Yes, that book up there. We already covered
this.
A: Okay.
Q: You remember Father Rebeiro? That allegation was
sent to you --
A: The allegation recently came forward on him, yes.
Q: There was an allegation back in March of 1984.
Do you remember that? Your testimony on --
A: I remember this coming forward. What was my
testimony on that?
Q: I will tell you -- you're welcome to look at it.
It's Exhibit 43 and Exhibit 44 if you would like
to look at it.
A: Could you refresh me on my testimony --
Q: Sure.
A: -- I mean, if it's pertinent to the question
you're asking me.
Q: Sure. A letter was written to you, that's
Exhibit No. 43, and you responded in Exhibit
No. 44. You weren't sure, as I recall your
testimony, whether you had actually seen Exhibit
No. -- you had read it before you signed your
name to it but it comes from you.
A: That's right.
Q: Now, I would like to turn to Father Tourigney, if
I could, Cardinal. And we'll summarize all of
this at the end so that we'll be clear.
A: Okay.
Q: Father Tourigney, Ernest Tourigney, do you know
Ernest Tourigney?
A: Yes.
Q: Do you know him well?
A: No.
Q: Has he ever been down to Pocasset at the
residence down there?
A: To visit me?
Q: Yes.
A: No. Not -- no.
Q: And were you also aware -- we're going to get you
some documents here -- that during the period of
1988, allegations surfaced about Father
Tourigney?
A: I know allegations surfaced about Father
Tourigney. I cannot -- I cannot put a time frame
on that.
MR. MacLEISH: Why don't we mark this
next exhibit, which we've already marked Exhibit
89.
Q: We'll go through this one, Cardinal, if we can.
You'll see the first one is October 23,
1988.
(Pause.)
Q: Is this Bishop Hughes' handwriting on the first
page?
A: You know, I don't think so. It doesn't -- Bishop
Hughes is a little -- usually a little more
careful in his handwriting than that.
Q: You know, if --
A: I really don't -- I can't tell you whose it is.
I would almost say it's Bishop Banks.
Q: Right. All right. You'll see that the first
sentence underneath Ernest Tourigney, it says:
"When 14 (approached by Father T)."
Do you see that?
A: I do.
Q: And then you see:
"There were later genital touches."
That's several lines down.
A: Yes.
Q: Then it says:
"He wanted me to masturbate him."
A: Yes.
Q: And then about a third of the way down,
two-thirds of the way down, there's initials on
the left-hand side which I don't know whether
that refers to Bishop Daily. We haven't taken
Bishop Banks' deposition yet.
A: That --
MR. TODD: Wait a minute. Let's have a
question.
Q: Are those Bishop Daily's initials?
A: You know, his initials are TVD.
Q: Right.
A: But I have no idea whether that -- whether he
wrote that or someone else wrote that.
Q: All right. Turning over to the next page, and
you believe, again, that this looks to you like
Bishop Banks' handwriting?
A: Yeah. Let me say it does not look like Bishop
Hughes and it does look like it could be Bishop
Banks.
Q: All right. Turn to the next page, if you would,
please.
These are notes that were produced by the
Archdiocese, and you'll see a date October 24,
1988.
"Ernie Tourigney basically agrees about
relationship with blank."
A: Yes.
Q: And then it goes on, about quarter of the way
down the page, it says:
"Blank a friendship." This is the second
one. "He was in grammar school. He was around
all the time."
I can't read that next sentence but maybe
you can help me.
A: Where is this now?
Q: This is right here, about a third of the way
down.
A: "He is in Florida."
Q: No, no. Yeah. "He was in grammar school." No,
it's below that. The next one?
A: "He was in grammar school. He was around all the
time. Just" --
Q: Is that just "humps" or -- I can't read it.
A: I can't make that out.
Q: Okay. But you see in 1988, according to these
notes, that there -- the first line there was a
basic agreement, according to the writer of these
notes?
A: Excuse me? Excuse me?
Q: The second page, Cardinal Law.
A: Yes.
Q: There's a -- it's stated, according to these
notes -- and, again, we're going to depose Bishop
Banks -- that Ernest Tourigney basically agrees
about the relationship with blank.
Do you see that?
A: Yes.
Q: Does that help to refresh your recollection as to
whether or not there was some sort of allegations
concerning Ernest Tourigney that were brought to
the attention of the Archdiocese in October of
1988?
A: Well, first of all, I don't recall having seen
these at an earlier time frame. And I do recall
that there were allegations against Father
Tourigney. I do recall that he was removed from
active ministry. But I don't recall --
Q: Right.
A: -- the time frame so --
Q: Right. Do you know whether he was removed from
active ministry as a result of the allegations
that came forward in 1988?
A: I can't answer that. I really don't have a
recall on that.
Q: All right. But assuming that these are the notes
of Bishop Banks, and assuming that Ernest
Tourigney admitted that he had been involved
inappropriately with a minor, is that the type of
information, consistent with your practice in
1988, that would have been brought to your
attention?
MR. TODD: Objection.
MR. ROGERS: Objection.
MR. MacLEISH: You can answer the
question.
A: It's the type of information that would have been
acted upon consistent with the policy.
Q: Okay. Could you now turn, Cardinal Law, to what
is designated by Bates stamp at the bottom as
ET- .
A: Excuse me. ET- ?
Q: That's correct. This is a memo.
This is a memo dated March 29, 1993, from
Father McCormack to you, and the name of the
victim is blanked out, but it states:
"Your Eminence, Mr. Blank, who alleges he
was sexually assaulted by Father Tourigney over a
period of years, would like to meet with you
sometime to voice his concern about the handling
of priests who have admitted to sexual abuse."
Do you see that?
A: I see that.
Q: Go ahead. Then there's another paragraph that
you can read.
A: Yes.
Q: Do you remember receiving that memo from Father
McCormack?
A: I don't recall receiving it, but I don't -- but
that doesn't imply that I question that I
received it. I simply don't recall it.
Q: I understand that. Now, you'll see -- if you
could turn to ET- for me.
A: ET- ?
Q: Right.
You'll see that this is a letter addressed
to Bishop McCormack, , and you're copied on
it on the second page as cc saying "Bernard
Cardinal Law, certified return receipt."
We can go off the record and I can tell you
the name of this individual if it would be
helpful, but I'm going to be asking you about a
meeting that you had with this victim.
Why don't you take a moment and read the
letter to Father McCormack and see if that
refreshes your recollection.
A: Excuse me. It refreshes my recollection about
what?
Q: A meeting with the victim of Father Tourigney
that you had.
A: Whether I met with this person?
Q: Yes, yes.
A: Okay.
Q: Actually, two individuals.
(Pause.)
A: Yes.
Q: Having read that letter that was produced from
your files, does that -- does that refresh your
recollection about a meeting that you had in 1992
with two victims of Father Tourigney?
Do you see the last paragraph?
A: Yes. First of all, I would have to say that I do
not recall seeing this letter.
Q: Right.
A: And -- No. 1. No. 2, I do not recollect -- this
doesn't --
MR. TODD: Refresh your memory.
A: -- refresh my memory with regard to what may
have -- what the visit that's implied in this
letter. I am aware of the fact that I have met
with victims of Father Tourigney and --
Q: If I gave you a name, would that be helpful?
A: -- over a period of time.
It could be or it could not be. I just
don't know, you know.
Q: We're almost up. I'll tell you during the break.
But I do want to ask you a question,
understanding that you don't have a recollection
of receiving this letter.
It states on the bottom of the first page --
A: As you know, the letter is addressed to Father
McCormack --
Q: Yes, I know.
A: -- and I was copied.
Q: And it's copied to you, and it says "Certified,
return receipt mail."
It states at the bottom of the first
paragraph:
"The Archdiocese's refusal to formulate
investigative teams to surface victimized
children, in our minds, is a wanton neglect of
its moral obligation to its members and society
as a whole. We are mindful of the difficulties
in pursuing this action; however, we must frankly
state that the Archdiocese's reluctance to do so
appears to be based upon potential political
ramifications."
Do you see that?
A: I do.
Q: Do you remember any victims of sexual abuse that
you met with in the 1992, 1993 period, do you
remember any of them raising with you the issue
of whether the Archdiocese should go out to the
various parishes to try to surface the victimized
children who had not come forward?
A: I cannot put that kind of a recommendation or
suggestion in that kind of a specific time frame.
Q: Okay. You do remember -- you do remember in 1992
and 1993 that there was press coverage over the
Father Porter case? You do remember that?
A: Very much so.
Q: And you were at times very critical of that press
coverage; is that correct?
A: Certainly one time.
Q: Well, you felt as though it did a disservice to
priests and besmirched the names of all the good
priests; is that correct?
A: That's correct.
Q: At the time you were making those statements,
Cardinal Law, do you know how many priests within
the Archdiocese -- this would have been in
1992 -- in total, had been accused of sexual
misconduct?
A: You mean how many at this point --
Q: Yes.
A: -- had been accused in that time frame?
No, I obviously did not know.
Q: Was it fair to state there were more than ten
priests that had been accused of sexual
misconduct when you were criticizing the press
coverage in the Globe over the Porter case?
A: I cannot answer that with assurance.
Q: Did you ever make any public statements, Cardinal
Law, about the number of priests of the
Archdiocese of Boston -- and this would have been
in '92, '93 -- that had been accused the sexual
misconduct?
A: I don't believe I did.
MR. MacLEISH: Okay. Why don't we take
your lunch break now and I'll give you the name
of these people off the record if it would help
you and then we'll resume.
There is a chance -- not committing to it --
but there is a chance that we could conclude
today, so if you'd like to take a shorter lunch
break, that's fine with me. I think there's some
chance.
MR. TODD: Let's do that. Let's take a
shorter lunch.
MR. ROGERS: 55 minutes?
MR. MacLEISH: 30 minutes sounds fine
with me.
THE VIDEOGRAPHER: Time is 12:57.
We're off the record.
(Whereupon, the luncheon recess was taken.)
AFTERNOON SESSION
THE VIDEOGRAPHER: The time is 1:33.
We're on the record.
Q: We're going to now move to Bernard Lane, Cardinal
Law, and we have Exhibit 90, which is in front of
you.
If I could direct your attention to the
first page of that.
(Pause.)
A: Yes.
Q: You'll see this is a memo to Bishop Hughes. The
handwritten date is February of 1992.
Do you see that?
A: I do.
Q: And this is from TJD. This is not to be confused
with Bishop Daily, this is another Daily, Timothy
Daily; is that correct?
A: I think also Thomas.
Q: Also Thomas, but no relation to Bishop Daily?
A: No relation.
Q: Not a brother or anything. Okay.
What was Thomas Daily, not Bishop Daily,
what was his position with the Archdiocese of
Boston in or about 1992?
A: 1992? Given the nature of this memo, I would
want to say that he must have been working as an
assistant to the Moderator of the Curia.
Q: Okay.
A: If you had asked me to place that assignment, I
would not have been able to have said it was
1992, but I would presume that's what he was
doing.
Q: He was working at the Chancery?
A: That's correct.
Q: You'll see that this relates to Father Bernard
Lane, and it says:
"A study of his confidential file indicates
there was an incident of rather lewd conduct back
in 1978 when he was involved with Alpha Omega
House. It seems that he was involved with a
young resident whom he invited to his room and
who asked him to disrobe, which he did. BL
claims there was no homosexual activity, just
touching."
Do you see that?
A: I do.
Q: At the bottom paragraph, it indicates:
"Since that time, he has been in Waltham and
most recently pastor in Chelsea, Everett."
Do you see that?
A: I do.
Q: Could you turn to BL-008.
A: Yes.
Q: Do you remember meeting with Father Lane at some
point?
A: Well, I met with Father Lane on several
occasions, yes.
Q: In relationship to sexual misconduct?
A: I don't remember dealing -- certainly in terms of
an investigation, I would not have dealt with him
on that. That would have been Father McCormack
or Bishop Hughes.
Q: Let's turn to BL- , if we could Cardinal Law.
You recognize this is the handwriting of Bishop
McCormack, do you not?
A: Yes. I just wanted to look at this one, if I
could. 02 --
Q: 12, .
A: . This is it. The handwriting?
Q: Yes.
A: Yes.
Q: You'll see --
MR. TODD: The question is whose --
did you answer?
MR. MacLEISH: Whose handwriting?
Q: Bishop McCormack's?
A: I couldn't not say that.
Q: You couldn't not say that?
A: No. I don't know whose handwriting this is.
Q: Okay. I believe it's Bishop McCormack's but I
may well be wrong.
A: I'd have no reason to say it isn't but I don't
know.
Q: All right. Well, you'll see the date 7/30/93.
Do you see that?
A: Yes.
Q: And you'll see there's a No. 1, it says "Bernard
Lane."
Do you see that?
A: Yes.
Q: And then there's No. 2, down towards the bottom,
says, "Surette and Bernie"?
A: No. 2. Yes.
Q: Do you know a Father Melvin Surette?
A: I do.
Q: And was he, as you know, also working at the
Alpha Omega House in the late 1970s with Father
Lane?
A: I don't know that as a -- I could not verify that
as a fact, but I know that he was involved in
some kind of a social service outreach, yes.
Q: And he has had allegations of sexual misconduct
against him made; is that correct?
A: That's correct. He's not actively involved --
he's not on active duty at the moment.
Q: And he has not been since about 1993?
A: That may very well be the year, yes.
Q: You'll see again, Exhibit of Exhibit 90 is
records produced from the Archdiocese. You'll
see that underneath No. 1, Bernard Lane, you see
the word "credible" there?
A: I do.
Q: You'll see under sub number No. 1 under No. 1, it
says:
"Lie down floor of office, relax." I can't
read the rest of that up at the top there.
"Remove pieces of clothes, shirt, et cetera,"
something, "naked in bed."
Do you see that?
A: I think it's "lying."
Q: "Lying in bed."
A: "Lying in bed."
Q: Right. "At night."
Do you see that?
A: Yeah. Uh-huh.
Q: And then you'll see, it says:
"20 kids probably engaged in this." And
then it says, underneath that, "Ejaculated on
him."
Do you see that?
A: I do.
Q: Now, if we could --
MR. TODD: I'm going to object to just
reading something and asking him whether he sees
it and not asking any questions about it.
MR. MacLEISH: Okay. Your objection is
noted.
MR. TODD: Well, that was the point of
my making it, that it would be noted.
MR. MacLEISH: Your objection is noted.
Q: Cardinal Law --
MR. TODD: We're wasting time reading
documents and asking him whether he sees that.
MR. MacLEISH: Cardinal -- I mean, I'm
sorry. Let's just move on here.
Q: You'll see the review board, in the , you see
the review board on Father Lane?
A: Yes.
Q: June 6, 1994?
A: Well, I see it as Case No. 37.
Q: Yes. Case No. 37. And these were produced as
part of the production in the Bernard Lane case.
Were you aware in 1993 that there were
allegations that Bernard Lane had been involved
with activities with minors at Alpha Omega House
whereby Father Lane made the children lie naked
in bed and would have the children ejaculate on
him? Were you generally aware of that allegation
in 1992 or 1993, Cardinal Law?
A: I was not aware of the specifics of the
allegations, but I certainly was aware of the
fact that there were allegations of improper
conduct.
Q: Well, did you know anything whatsoever about
allegations that while at Alpha Omega House,
Father Lane would have children ejaculate on him?
Anything of that nature?
A: I did not have that specific knowledge
communicated to me, that I can recall.
Q: Okay. Well, you'll see in BL- , you'll see
this is a personal and confidential report of
your review board; is that correct? Goes on for
several pages?
A: That's correct.
Q: And this was the review board that you were
relying on to make -- assist you in making
decisions back in 1993; is that correct?
A: That's correct.
Q: If you'll look, Cardinal Law, at the last page,
do you remember receiving -- actually, this is, I
believe, the Delegate's recommendation, but do
you remember receiving a recommendation in June
of 1994 that Father Lane not be involved in
parish ministry?
A: I don't -- I don't receive -- I don't recall -- I
can't give you a time when I received this. I
see on -- perhaps I'm not supposed to be looking
at it -- but I see 109 --
Q: Yes, right.
A: -- BL-109, which would indicate to me that that
was the board's recommendation.
Q: Right. The board's -- and the board stated, did
it not, the board recommended that "There be no
parish ministry and that there should be no
public ministry in the near future. The priest
should live in a residence with priests, be in
regular contact with his monitor/advisor, and
continue in therapy and spiritual direction. The
case should be reviewed in two years."
Do you see that?
A: I do.
Q: And that, pursuant to your protocol, would have
been forwarded to you. And the next document,
which is , is your acceptance of the review
board's recommendation?
A: That's correct.
Q: Is that correct?
Okay. Then you'll see another -- 118 is a
later meeting of the review board, May 4, 1995,
where the board recommends that "the priest not
be assigned to parish ministry; that he continue
in spiritual direction; that he continue in
therapy as long as he and his therapist agree
this is indicated; that he be engaged with the
Office of the Delegate in searching for
opportunities for ministry which do not involve
young people."
Do you see that?
A: I see that.
Q: And, again, I don't have a copy of whether or not
this was forwarded to you, but in 1995, was it
the usual procedure for review board meetings and
recommendations to be forwarded to you for
approval?
A: Yes. That was the standard procedure. I mean,
the whole point was they were making a
recommendation to me and so I needed to get the
recommendation.
Q: Okay. And you indicated that there was a doctor
on this review board?
A: I did.
Q: Do you know his name?
A: I could not give you -- I can't give you the
names of any of the members of the review board.
Q: Did you undertake any inquiry to ensure that when
you assembled this review board, that there would
be individuals from the field of psychiatry who
had some expertise in assessing individuals who
had been accused of sexual misconduct?
A: Here again, I was relying on the assistance of my
Delegate in developing that list of personnel.
Q: I understand that, but did you remember
instructing your Delegate to make sure that there
were individuals on the review board with a
medical background who had expertise in assessing
or treating individuals who had been accused of
sexual molestation?
A: I do not recall giving that kind of a specific
instruction. I think it would be obvious,
however, that if we wanted a psychiatrist and if
we wanted a parent of a victim and if we wanted a
judge and if we wanted others --
Q: Right.
A: -- whose background would bring some particular
expertise to that, that the presumption was that
you weren't going to get a psychiatrist who was a
expert in gerontology.
Q: The answer to the question is you don't have a
specific recollection of having such a
conversation?
A: That's correct.
Q: Okay.
Could you turn to BL- .
A: Yes.
Q: Would it be accurate to state that all
assignments as of 1999, even for weekend duty,
would have to be approved by you?
A: That all assignments -- I would make an
assignment, which would be the general assignment
of a priest. That's the assignment that I would
give him, his fundamental basic assignment.
I would not, you know, be assigning him
beyond that point.
Again, perhaps you could rephrase your
question.
Q: Well, sure. Take a look at the last paragraph of
BL- . And this is in 1999. And it says:
"Father Lane is currently performing no
public ministry which would involve minors except
for celebration of two Sunday masses at St. Linus
Parish in Natick. He assures me that he does not
have any contact with minors separate from the
open form of liturgy. He performs no other
ministry apart from the work he does at Regina
Cleri."
Do you see that?
A: I do.
Q: Did you permit Father Lane to perform ministry in
1999 at St. Linus Parish in Natick?
A: I would not have assigned him to St. Linus Parish
in Natick.
Q: Okay.
A: I would have assigned him to his fundamental
assignment.
Q: So you had no knowledge that he had been
performing weekend masses in 1999, the best you
can recall?
A: I do not recall that knowledge.
Q: Okay.
Do you know Father Paul Mahan?
A: I do.
Q: At some point, do you remember assigning Paul
Mahan or assigning Paul Mahan -- approving his
pastorship at St. Matthews in Dorchester?
A: I can't recall when that was, but I did appoint
him as pastor of St. Matthews.
Q: Were you aware at that time that he had
previously been director of the band in grammar
school in St. Ann's in Dorchester?
A: No, I was not.
Q: Are you aware -- were you aware prior to
assigning Father Mahan to St. Matthews in
Dorchester that there were prior allegations of
sexual misconduct?
A: I have no recollection of any prior allegations
for Father Mahan. My recollection is that when
we received allegations about Father Mahan, that
he was removed from active ministry.
Q: Do you know a Father Jack Connoll?
A: I do.
Q: Is he an individual who has been accused of
sexual misconduct?
A: He has.
Q: Has he been removed from ministry?
A: He is not in active ministry, that is correct.
Q: He's not assigned to any parish?
A: No, no.
Q: And was he at one point assigned to St. Marks in
Dorchester by you?
A: I would have to check the files on that. I don't
know.
Q: Well, was he also appointed by you as chaplain of
St. John's Prep?
Do you recall that?
A: Again, I'd have to review the personnel files.
Q: Okay. You have no independent recollection right
now?
A: No.
Q: Do you know whether he's on the board of St.
Mary's Hall in Milton or was?
A: I could not answer that. It's that I don't know.
Q: Do you know a Thomas Dunne? D-u-n-n-e.
A: Could you say a little bit more about Thomas
Dunne.
Q: Director of youth ministry.
A: Oh, Father Dunne?
Q: Father Dunne. I'm sorry. Father Dunne.
A: Yes, yes.
Q: He was the director of youth ministry?
A: Yes.
Q: Is he presently the director?
A: Still is.
Q: And do you know whether he had any friendship
with Father Paul Shanley that you're aware of?
A: I am not aware of that.
Q: Is he a Seleucian?
A: He is.
Q: Now, do you know Father Jon Martin?
A: I do.
Q: And you know about Father Martin in connection
with the Reardon case; is that accurate?
A: Yes, but my knowledge of him is not limited to
that.
Q: Okay. And you're aware, are you not, that there
is an allegation that Father Martin himself was
involved in sexual misconduct with a minor?
A: I am -- you know, I know that he was removed from
the parish. I know that he went into treatment.
I know that he is not actively serving as a
priest. But I cannot speak with any specificity
about his allegation against him.
Q: Are you generally aware that this year there was
an allegation of sexual misconduct made against
Father Martin?
A: As I just indicated, I am not -- I could not give
you any kind of specifics about that right at
this movement. I just don't know.
Q: I'm not asking about any specifics. Maybe I'm
misreading your answer or I'm not doing the
question properly.
Are you generally aware, however, Cardinal,
that there's been an allegation of sexual
misconduct this year that has been brought
against Father Jon Martin?
A: Against a minor?
Q: Involving someone under the age of 18?
A: You know, I just have to check that out.
Q: Okay.
A: I know that -- I know he was removed and sent for
observation, sent for treatment. But I can't
recall the specifics.
Q: All right. So we're going to move on to Father
Gale right now, Cardinal. I have another exhibit
for you. It's much thicker than we're -- the
thickness does not reflect the amount of time I'm
going to spend on this particular file, but I
want to ask you whether you know Father Gale.
A: I do, yes.
Q: And you know that there have been allegations of
sexual misconduct made against Father Gale?
A: Yes.
Q: And Father Gale is no longer in active
ministry --
A: That's correct.
Q: -- is that right?
Now, you'll see on the first page of Exhibit
No. 91, you'll see a letter dated March 7,
1979 --
A: Yes.
Q: -- to the Reverend Thomas Daily about Father
Gale.
Do you see that?
A: I see this, yes.
Q: And they report sexual attacks.
Do you see that?
A: I see this.
Q: Okay. On three sons, on their sons age 14 and
17.
Do you see this?
A: I do.
Q: And this was sent by the office of the regional
bishop to Bishop Daily.
Do you see that?
A: I do.
Q: In March of 1979.
Do you see that?
A: I do.
Q: You'll see on the second page, that these
individuals indicated, at least one other boy has
told them their son, that he too was attacked by
Father Gale; is that correct?
Do you see that?
A: Yes.
Q: Now, did Bishop Daily inform you about any of
these accusations, Cardinal Law, when you arrived
here in Boston in March of 1984?
A: I do not recall being given this information.
Q: You are aware that Father Gale was not removed
from active ministry until the 1990s. You're
aware of that, are you not?
A: Whatever the record would show, yes.
Q: We're going to get to that.
A: Yes, yes, yes.
Q: But he was a parish priest for some period of
time during the time that you were here in
Boston; is that correct?
A: That's correct.
Q: Now, if you could turn to Gale page 11, please.
(Pause.)
A: Yes.
Q: Have you read it?
A: Yes.
Q: The first allegation you'll see pertained to St.
Joseph's Parish in Quincy, the one that was on
the first page.
A: Yes.
Q: This is now an allegation brought by -- well, it
involves St. Jude's Parish in Waltham.
Do you see that?
A: I do.
Q: And it comes from a -- the individual reports it
as a fire captain with the Boston Police
Department and he's writing about the child of a
lieutenant whom he claims was molested by Father
Gale.
Do you see that? Describes it as an
assault?
A: Yes. I guess I didn't pick up those indications
that you just indicated.
Q: But you see them know?
A: Fire chief and all of that. But I did see the
letter.
Q: Right, right.
A: Does it say that?
Q: Yes. It says right at the top, it says:
"Peace and all good and Christ Jesus. It is
with great sadness that I write this letter to
you, but it is a letter I feel compelled to
write. I'm a fire captain with the Boston Fire
Department."
A: That's blacked out of the letter that I have.
Q: We don't want to identify the victim but "I'm a
fire captain."
A: All right. I see.
Q: I can read that to you.
Was this brought to your attention --
A: It was not.
Q: -- about Father Gale?
A: I have no recollection of seeing this letter.
Q: Okay. All right. If you could turn to Gale page
15. And again, I believe this to be Bishop
McCormack's handwriting. I'm looking at the
initials on the top, but, again, you probably
know better than I would. I can't tell whether
that's 9 a.m. or John -- JBM, but I think it's
JBM.
Do you see those initials?
A: Yes. Obviously -- yeah. It looks like his
writing. At first I was put off by the dates --
Q: Right.
A: -- because he wouldn't have been there, but if
it's taking notes from the file, then that's what
I would presume that would be.
Q: Right. And you'll see that he summarizes an
incident, 1/83, or complaint, allegation, "Camp
Fatima complaint about Dorchester boys and
improper advances."
Do you see that?
A: Yes.
Q: And then the second page, I believe, makes
reference to the letter that we just covered.
Do you see that complaint?
A: Yes.
Q: Then 1981, I can't -- that's "Began seeing a
doctor in Quincy."
A: I see that.
Q: And then 3/79, I believe is the first incident
that we went over that is Gale No. 1.
Do you see that?
A: I do.
Q: Now, so we have allegations involving Father Gale
at Camp Fatima, St. Jude's and another incident
at St. Joseph's in Quincy.
When you first arrived here in Boston,
Cardinal, was there any sort of sit-down that you
had with your cabinet or important individuals
within the Archdiocese where you asked them to
tell you affirmatively about any problems or
issues, challenges that the diocese was facing?
A: I met, certainly, with Bishop Daily, and he
reviewed with me the state of the Archdiocese. I
met with other individuals who had specific
responsibilities, but nothing emerged as a
problem with regard to this issue.
Q: Is this -- the information that we've just
covered, that, again, comes from apparently,
according to Bishop McCormack and the documents
as we've seen, three different sources about
Father Gale, is this the type of information that
you would have expected to have received or have
summarized by Bishop Daily or other people when
you arrived?
A: What I would have expected is that if -- that
such information would have had to have led to
some kind of further examination, assessment,
treatment and some kind of a judgment that if a
person were in place, that it was responsible for
him to be in place.
My presumption would be that a problem would
have been handled and handled appropriately.
Q: Well, given the priorities that we have discussed
extensively here in your deposition about
protecting children, would you not have expected
Bishop Daily to inform you that there were
priests within the Archdiocese that had
allegations of sexual molestation against them,
coming, in the case of Father Gale, from three
different sources?
A: In 1984, my presumption would have been that
anyone in an assignment was there appropriately.
Had there been a problem, that it would have been
handled appropriately. I would not have expected
that there were people who were problematic who
were in assignment.
Q: Okay. Reflecting back on your situation in 1984,
is the information that we just covered
concerning Father Gale, those three allegations,
is that the type of information that you wish you
had had available to you in 1984?
A: There's a lot that I wish would have been
different in 1984 --
Q: Right. I'm talking about this.
A: -- from the year 2002.
Q: I understand.
A: And this would be part of that, yes.
Q: Okay. Could you turn to Gale 21, please.
A: Yes.
Q: This is a letter, I believe, from John McCormack
to Robert Gale, indicating that he should be
receiving a letter from you ending his assignment
to the tribunal as of June 30, 1991.
A: Yes.
Q: Do you see that?
A: Yes.
Q: And it also goes on to state:
"In the meantime, it would be good if you
and I met next week and review the details of
your plans and residences this summer."
Do you see that?
A: Yes.
Q: Why was Robert Gale -- why did his assignment at
the tribunal end as of June 30, 1991, if you
recall?
A: I cannot recall.
Q: Okay. Could you turn to the next page, Gale 22.
Is this a true letter -- this is dated June
26, 1991 -- a letter that you sent to Father Gale
concerning his reassignment from the tribunal?
A: Yes. I would have no reason to doubt that this
is my letter.
Q: Do you know, Cardinal, whether there were at this
point credible allegations of sexual misconduct
against Father Gale as of June --
A: New allegations or old allegations?
Q: New allegations, new allegations.
A: I'm presuming that that's underlying this action
but I cannot be --
Q: Right. It was not until 1992 in the Porter case
that the Archdiocese started its full review of
all the old files; is that correct?
A: Well, it was after -- yes. It was about that
time that we did that.
Q: Right. So if you could turn to the next page,
please, which is Gale 26.
A: Yes.
Q: You'll see, again, what I believe is Bishop
McCormack, in a chronology, which includes Camp
Fatima.
Does this help to refresh your recollection
as to whether or not there were allegations in
1991 involving Father Gale?
MR. TODD: Objection.
A: Does this document?
Q: Yes.
A: No.
Q: Yes. It doesn't make any specific --
A: No.
Q: It doesn't make any specific reference --
A: No, no.
Q: I have not asked Bishop McCormack about this yet.
A: No. I'm afraid that I wouldn't know what
underlies this.
Q: It says at the top "Plan."
Do you see that?
A: Right. I do see that.
Q: Do you remember placing any restrictions on
Father Gale attending Camp Fatima?
A: Here again, I would have -- I would have
worked -- I would have been represented in my
interface with Father Gale by Father McCormack.
Q: Okay. All right. So could you just tell me what
Camp Fatima is, what your understanding of it is?
A: Camp Fatima is a wonderful camp which is in the
Diocese of Manchester.
Q: Right.
A: And it's for children, young people -- and I
don't know what the age is in order to go
there --
Q: Right.
A: -- who suffer some sort of mental --
Q: Right.
A: -- developmental disability.
Q: As I understand it, it occurs at the end of the
summer after a regular camp that uses that
particular facility, after the camp is concluded?
A: I believe that is the case.
Q: And it goes on for approximately two weeks; is
that correct?
A: I wouldn't know that.
Q: And do you know whether there are allegations
involving, apart from Father Gale, allegations
involving sexual misconduct at Camp Fatima by
priests of the Archdiocese of Boston, at Camp
Fatima? Are you generally aware of that?
A: I am not aware of that.
Q: Could you turn to Gale 19, please. Want to take
a look at that document, please.
(Pause.)
A: Yes.
Q: Were you -- was this a letter that you recall
seeing or receiving back in 1993 concerning
Father Gale's attendance at Camp Fatima?
A: Excuse me. I must have the wrong letter.
Q: I'm sorry. It's Gale No. 19.
A: Oh. 19?
Q: Yes. I apologize.
A: Okay.
(Pause.)
A: I do not recall seeing this letter before.
Q: Okay. You'll note that on the first page,
there's a -- this is a letter that comes from the
Reverend David O'Leary of St. Augustine's Parish
in South Boston.
Do you see that?
A: I do.
Q: And it reports that in the fall of 1992, which is
the last sentence on the first page, information
came to Father O'Leary's attention about Father
Gale molesting an individual at Camp Fatima.
MR. TODD: Is there a question?
MR. MacLEISH: Yes.
Q: Do you see that?
A: What paragraph is that?
Q: Last paragraph on the first page. Let me read
it.
"A few weeks later at a gathering to
evaluate EC week '92" -- that's exceptional
children week at Camp Fatima -- "a very solid
individual started to speak about Father Gale in
a group of ten people. He said he was hurt that
Father Gale was still allowed to be at camp. I
mentioned that I had no first-hand knowledge to
act on, only mounting second-hand information.
This individual then shared how Father Gale would
invite the high school waiters up to his cabin
for a huge steak dinner and supply alcohol before
and after EC week. This individual had heard
rumors about being careful around Father Gale.
This individual then shared how Father Gale had
grabbed and attempted to place his hand down this
individual's pants. This first-hand information
came to me in the fall of 1992."
Go ahead. Were you generally aware that
there was some allegation made at some point in
time that Father Gale had been molesting high
school waiters up in New Hampshire?
A: No, I am not.
Q: All right. You'll note, as I just read this, was
in the fall of 1992, Cardinal Law --
Do you see that?
A: I do.
Q: -- that this first came to the individual's
attention.
Could you turn to Gale 17, please.
A: Gale 17?
Q: Yes.
A: Does it come after that?
Q: No. It's previous. Before.
A: 15, 21, 22. Oh, 17.
Q: 17, right.
(Pause.)
A: Yes.
Q: Okay. Have you ever seen that letter before that
was sent to Bishop McCormack?
A: I do not recall seeing this letter, no.
Q: Did you have -- I'm assuming that in 1992, if
there was an allegation of sexual abuse and the
priest was going up to Camp Fatima, that that
information would be shared with the director of
Camp Fatima. Was that a procedure?
A: I cannot speak to what the procedure was.
Q: There was a number of Archdiocesan priests that
annually went up to Camp Fatima; is that correct?
A: That's correct.
Q: Okay. Father Kelly one of them, do you know?
A: I wouldn't know whether Father Kelly went up or
not.
Q: Father Graham?
A: I don't -- I really don't know that.
Q: Okay. All right. Let's -- let me just make
sure --
A: I know that Father McCarthy did, the personnel
director did.
Q: Yes, he did.
A: He was a regular.
Q: Yes, he did. He did.
And there were -- the camp served vulnerable
children; is that correct?
A: Yes.
Q: All right. So we're going to move on to Father
Shanley but I just want to make sure that with
respect to the testimony that you've given about
the priests who had allegations against them
between the period of 1984 and 1989, I just want
to summarize where we are and I want you to
correct me if I'm wrong. I'll try to refer you
to exhibits.
I think we covered earlier today and in
prior testimony that you --
MR. TODD: Excuse me. What are you
going to be doing? Summarizing testimony?
MR. MacLEISH: I'm going to ask him
whether the testimony is correct. Yes. Your
objection is noted.
MR. TODD: I haven't made an objection.
I'm asking you what are you doing in this
question? Are you rehashing testimony that you
say he has given?
MR. MacLEISH: I want to make sure that
I have his accurate testimony. Okay?
MR. TODD: No. It's not okay.
MR. MacLEISH: Okay. The objection --
MR. TODD: The record --
MR. MacLEISH: Hold it.
MR. TODD: The transcript will indicate
whether you have accurate testimony.
Paraphrasing testimony and asking him to
comment on it when we have a written record is
objectionable.
MR. MacLEISH: Your objection is noted.
This is cross-examination.
Q: Cardinal, you understand that we went through --
we spent a fair amount of time in our last
session and this session going through what was
happening in the Archdiocese of Boston between
1984 and 1989.
Do you recall that testimony?
A: I believe I do, yes.
Q: And I think at the beginning of the testimony,
you, beginning of our session last time, you
indicated that the problems of priests molesting
children was not, in your view, a pervasive one
during that -- I think those were your exact
words -- during 1984 to 1989.
Is that your testimony?
A: It will -- whatever I said, that's what I said,
yes.
Q: Okay. But there were, as we've covered, there
were situations that you were personally involved
in during that same time period that my clients
allege that Father Shanley was molesting their
children. There were situations --
MR. TODD: Objection to "involved in."
MR. ROGERS: Objection to form.
Q: -- correct?
A: Do you mean was I aware of some cases at that
time?
Q: Yes.
A: To the extent that I have been aware of those
cases that you put before me, yes.
Q: Right. And that includes Father Birmingham,
Father O'Sullivan, Father Graham, Father Geoghan,
Father Rosenkranz and Father Rebeiro. They were
all in that time period; is that correct?
MR. TODD: I object. That's an unfair
question.
A: I believe that's correct.
Q: And in each one of those cases, after there was
an allegation of sexual molestation, in each one
of those incidents, the priest was returned to
active ministry in a parish; is that correct?
A: I believe that's correct, in accord with the
policy of review and trying to get some
assessment of a person who would be qualified to
give such an assessment with regard to the
pathology, to indicate that such an assignment
would not be -- was appropriate and reasonable,
yes.
Q: And that even covered situations such as the
Father O'Sullivan one where there was a criminal
prosecution; is that correct?
A: I did not make the assignment of Father
O'Sullivan, but that's correct, yes.
Q: So in your April statement, when you said you
wish you had known about the 1966 allegation
involving Father Paul Shanley, you're not stating
that if you had known about that, that Father
Paul Shanley would have been removed from St.
Jean's, are you?
MR. TODD: Objection.
A: What I am saying is that it would have been
handled -- that it would not have been -- that it
would have been investigated, there would have
been some review of his situation, and I can't
say whether he would have been assigned or not.
It would have depended on what we -- what kind of
word would I have gotten from either an institute
such as the Institute of Living or Southdown or
St. Luke's.
Q: Well, we have been, and been produced in this
case, records of about 15 priests, and the ones
that we've covered are the only records that we
have who had allegations against them between
1984 and 1989. And I would like to give you the
same opportunity I gave you in the previous
depositions to identify one priest who had
allegations of sexual molestation against him in
the same time period where Paul Shanley was at
St. Jean's who was removed from parish ministry.
MR. TODD: Objection. I think that's
been asked and answered as well.
THE WITNESS: Excuse me. I don't think
I have answered it. I think it's been asked.
Q: It has been asked and you indicated you --
A: The first time it was asked, it was asked in a
more general time frame.
Q: Right.
A: Was I aware of any priests who had been removed.
And here again, I, at the beginning of my
return from the break, I'll give you the names of
those generally, but for the specific time
frame --
Q: '84 to '89.
A: -- '84 to '89, I don't believe that there are
any, but I want to be able to amend that when I
come back after the break.
Q: Certainly. My only question is -- and you're
going to be cross-examined by your counsel -- but
my only question for you is in the period that
Paul Shanley was at St. Jean's --
A: '84 to '89.
Q: That's correct.
And that covers the beginning of 1984 right
up through the end of 1989.
A: Yes. And I would -- I don't believe so, but I
would want to be able to amend that.
Q: That's fine.
And you do acknowledge that Father Thomas
Doyle spoke to you about the general problem of
sexual molestation at some point either before
you started as Archbishop of Boston or shortly
thereafter?
A: Well, I acknowledged, I think, conversations with
Father Doyle. I can't be specific about them.
Q: Right. Cardinal, given the number of people that
we've spoken about who, number of priests in this
'84 to '89 time period that had allegations of
sexual molestation against children and were put
back into ministry, did you at some point start
to think during that time period that there was
more, as you put it, of a pervasive problem
involving sexual misconduct in priests?
A: It's hard, as I sit here, to say what I thought
when, but, obviously, the establishment of a
written policy, the establishment of an office,
all indicates an effort to deal in a more
systematic way with the problem that was more
recurrent.
I think that the case of Father Porter was a
case that -- that helped many of us understand
more clearly how pervasive this problem can be in
an individual case, not just in terms of the
number of perpetrators, just as the focus on the
Archdiocese in January was an occasion to come to
a clear understanding of the dimensions of the
problem. I'm not sure that that understanding is
yet run out as fully as it needs to.
Q: But given the problems that came to your
attention involving Father Birmingham, Father
O'Sullivan, Father Graham, Father Rosenkranz,
Father Geoghan and Father Rebeiro, did you at any
point in time in that '84 to '89 time period,
think in your own mind that there is a pervasive
problem in the Archdiocese of Boston involving
the subject of children being molested by
priests?
A: I think -- first of all, one such act is one too
many. Then I think you have to look at each of
those cases individually. In some of those
cases, as I understood the case when it was
presented to me, in some of those cases, I was
before a case where -- as in the case of Father
Graham -- the action took place several decades
before.
Q: Uh-huh.
A: And there was evidence that this had not occurred
since. Demonstrably, the person was doing good
work, effective work. And in a case like that, I
think, not without reason, was grateful to God
that this terrible pathology in this instance
had -- had been overcome and that this person was
able to function effectively.
And with regard to some of the other cases
that we have dealt with, there was what, to my
mind, was a bizarre and inexplicable method of
interaction under the rubric of helping
adolescents but --
Q: Which one was that?
A: I'm thinking of the Lane and the Surette. But
that also appeared to be something of the past.
And there were a lot of bizarre kinds of
therapies that were current in an earlier time
frame, not simply and not principally within the
Church, but generally in the area of sensitivity
sessions and things of that sense.
Q: Where you take off your clothes?
A: Yes. Weird things, yeah.
Q: And ejaculations?
A: Well, as I indicated --
MR. TODD: Would you please let him
finish and then follow up with questions.
A: As I indicated to you, Mr. MacLeish, I was not
aware of that claim.
Q: Sure.
A: But my point here is that you'd need to take each
case individually and look at it and see where is
the time frame when the allegation is being made,
what was the nature of the allegation, what had
occurred in the interim period to indicate
whether you were looking at something that was a
pervasive problem. Now, had I been facing in
every one of these instances, allegations of
contemporaneous activity, it would have been a
different thing. But that wasn't the case in all
of these situations.
Here, again, hindsight is a magnificent
thing. In terms of what I now see and what I now
see in terms of all of these cases that have come
to light is that one such instance is one too
many in terms of the risk involved, and the
person should not be allowed to function in
ministry.
But that was not the case in the time frame
that we're talking about.
Q: I understand that, Cardinal. What I -- let me
ask you this. Between 1984 and 1989, is it
accurate to state that there was -- the
Archdiocese of Boston, in terms of numbers of
children, served more children in various
capacities than any other social service
organization in the Commonwealth of
Massachusetts?
Would that be a fair statement?
A: I believe next to the state itself, in terms of
social service provision, that is true.
Q: So my question is, in light of all of the
children that are -- that you're serving at the
Archdiocese of Boston, and in light of the
various cases -- and I'm not talking about just
one in isolation like Father Graham -- but the
various cases that keep coming to your attention
in that '84 to '89 time period, did you ever
consider, for example, the need to bring in
outside consultants in the '84 to '89 time period
to advise you about how better to protect
children served in these Archdiocesan programs?
A: First of all, with regard to the Archdiocesan
programs, social service programs, in the social
service agencies that we have, they have their
own mechanism for review, for in-service
training, for supervision.
Q: Right.
A: And when you ask me about that social service
outreach, that would be through our social
service agencies.
Q: That's Catholic Charities --
A: Catholic Charities.
Q: -- and North Shore?
A: Yes. And allied agencies.
Typically, you would not have priests
involved in those roles. They would be, rather,
people who would be trained social workers,
although there were some priests who did have
that credential, and Father Lane and Father
Surette earlier along were in that organization.
Q: What I was also referring to, Cardinal, was when
I say social services, perhaps I didn't use the
right definition. But I would include within
that also the schools of the Archdiocese, the CCD
classes of the Archdiocese and other programs for
youth.
When you include all those programs, would
it be fair to state that you were the first or
second largest social service organization in the
time period from 1984 to 1989?
A: I think so, yeah.
Q: And so did you ever consider, for example,
drawing on the expertise of Catholic Charities
and their policies and procedures in dealing with
the issue of these priests who had molested
children that came to your attention in the '84
to '89 time period?
A: I believe I've answered before that I relied on
the Delegate --
Q: Right.
A: -- to interact with the priests and to have
assistance from appropriate medical personnel and
to have assistance from institutions that had
some specialty and expertise in this area.
Q: But as you started to learn first about Father
O'Sullivan in 1984 and then about Father Geoghan,
then about Father Birmingham and the others that
we've covered, as you started to learn that, did
you ever think that there was some need for
action, even if it just involved getting the
priests together and saying: This is
intolerable. This type of conduct is
intolerable. Did that ever occur to you in the
'84 to '89 time period?
A: What we did in the '84, '89 time frame is attempt
to respond case by case and to provide the kind
of response that was, in our view, the view of
the Delegate, a responsible way to deal with the
case.
Q: But to your knowledge, no outside experts were
brought in on that '84 to '89 time period to
advise, not with respect to specific cases, but
really the whole picture of what the Archdiocese
should be doing to ensure that children were
protected?
Do you understand my question?
A: Well, I understand the answer that you want me to
give.
Q: Well, I just -- which is the truth. I want
nothing more or less than the truth, Cardinal.
A: Yes. Well, I'm giving you nothing more than the
truth.
Q: Right.
A: You're not suggesting I'm not?
Q: No. Nor are you suggesting, I hope, that I'm
asking for particular answers. I just want to
know if outside experts were brought in.
A: Outside experts brought in?
Q: Let me be more specific.
We discussed, for example, that in
individual cases, Father O'Hanley, I think his
name came up in the Rosenkranz case and one of
the other cases that we have discussed. And
we've talked about the Institute for Living in
the case of Father Geoghan. Those were agencies,
individuals with expertise; is that correct?
A: That's correct.
Q: But they were brought in in individual cases; is
that correct?
A: That's correct.
Q: Was there anybody in that '84 to '89 time period
who was an expert and had the same information
that you had and that your Delegate had about the
number of priests that were involved in sexual
misconduct with children?
A: And the question?
Q: Was there any expert -- I understand there were
experts in individual cases. My question is:
As this problem started to increase -- you
said that one is too many and I couldn't agree
with you more -- but as this problem started to
increase, did you bring in an expert to look at,
not just one priest, but the entire situation of
these priests being involved with children?
A: The entire situation of these priests --
Q: Right.
A: -- being involved with children?
What are you talking about here? We're
dealing -- you know, in each instance, our
policy -- which I wish had been different, but it
was what it was --
Q: Right.
A: -- our policy was that with each case, we had
someone or some institution that we could rely
on, with reason, to assist us and to assist him
and to assist the Church and to assist children
in the process.
Now, beyond that, you're asking me now, did
I rely on some expert to deal with these priests?
What do you mean by that?
Q: Let me withdraw the question.
When you came to Boston, you've testified
that you assumed all of the people that were
appointed had been properly assigned; is that
correct?
A: That's correct.
Q: And after you started in Boston in 1984, the
cases that we've gone over at our last session
and today came to your attention; is that
correct?
A: That's correct.
Q: And you started to understand that maybe some of
the people that you assumed had been properly
assigned were no longer appropriate for
assignment?
A: That's correct.
Q: Is that correct?
A: Right.
Q: And that was not something that you believed when
you started, right?
A: That's correct.
Q: And you were shocked when you learned that there
were priests in Boston who had engaged in sexual
misconduct with minors, correct?
A: I was saddened.
Q: Well, were you shocked?
A: I was shocked, saddened, yes.
Q: Were you shocked by the number of priests in the
'84 to '89 time period that were sexually
involved with children?
A: You know, first of all, they were not involved in
the '84, '89 time period.
Q: Had been involved?
A: They had been involved, but not in the '84, '89
time period.
Q: Right. They came to your attention in that time
frame?
A: They came to my attention in that time frame.
And that is a difference.
Of course, I was profoundly concerned and
shocked by the fact that there would have been
one.
Q: Given the fact that you were shocked, did it
suggest to you that there was some sort of
systemic problem that was going on in the
Archdiocese of Boston involving this type of
misconduct?
A: I really did not believe there was a systemic
problem.
Q: I think you said at the last session that there
was an average of one a year. Is that -- do you
recall that testimony?
A: One a year?
Q: I think you said that when we last met.
A: I think I did it in terms of the number that you
were putting before me. I was simply reflecting
on the number you put before me for that time
frame.
Q: Right, right. And that wasn't an acceptable
level for you, by any means?
A: I said one would not be acceptable, right.
Q: So, again, the question is:
Given that you were shocked by this, what
you were learning, and given your priority of
protecting children, did it ever occur to you
simply to send out the message to the priests of
the Archdiocese of Boston, a strong message in
this '84 to '89 time period, that this type of
conduct was totally intolerable? Did that ever
occur? Did you ever consider doing that?
A: It never occurred to me it was necessary to point
out that this kind of behavior is intolerable. I
think that -- I think, and I now think that that
is -- that that is recognized. It's intolerable
in terms of our understanding of what the
commitment of celibacy is --
Q: Right.
A: -- what the commitment to serve is, and our focus
in terms of in-service training, of retreats, the
expectation that every priest makes a retreat
every year --
Q: Right.
A: -- of the provision of a variety of ongoing
courses of education and formation, is to
strengthen that priestly life and ministry --
Q: Right.
A: -- the seminary program, the method of assessing
candidates who apply to the seminary.
All of this has its focus on assuring that
those who begin study for the seminary are
capable of living this kind of a life. And our
programs are directed towards strengthening that
priestly commitment.
So even though there may not have been a
program within that time frame that looked
specifically at the issue of the sexual abuse of
children, it is not to say that there wasn't an
effort to strengthen the quality of priestly life
in ministry --
Q: Well, in the --
A: Which would have made this --
Q: I'm sorry.
A: -- which would have been a protective measure.
MR. MacLEISH: Take a break? Sure.
THE VIDEOGRAPHER: The time is 2:34.
This is the end of Cassette 2 in today's volume
in the deposition of Cardinal Law. We're off the
record.
(Recess.)
THE VIDEOGRAPHER: The time is 2:44.
This is Cassette 3 in today's volume in the
deposition of Cardinal Law. We're on the record.
Q: Cardinal, before the break, you started -- you
talked about in-service training programs and
education in the area of sexual abuse.
Do you recall that testimony?
A: I do.
Q: Did you, as you started to have an awareness of
the problem that you were facing within the
Archdiocese of Boston, in the '84 to '89 time
period, did you start any in-service training
programs in the area of sexual abuse? In that
time period?
A: In that time frame for that specific problem, no.
Q: Did you, in the '84 to '89 time period, start any
sort of special education programs in the area of
identifying either victims of sexual abuse or
perpetrators of sexual abuse?
A: No.
Q: In the '84 to '89 time period, did you call in
any clinician -- this is separate and apart from
the individual assessments -- to examine the --
to advise you on whether there were any policies
or procedures that you could put into effect that
would assist you in protecting children served in
Archdiocesan programs from sexual abuse by
priests?
A: Well --
Q: This is '84 to '89 time period.
A: Served by priests?
Q: Yes.
A: Here again, the underlying presumption in your
question is that we were facing a major problem
in terms of '84 to '89.
And, again, I would submit that if you look
at these cases individually in terms of the time
frame where the allegation occurred and in terms
of the knowledge under which, and the policy
under which we were operating, I'm not certain
that the judgment at that time would have been
that we were facing a major, overwhelming
problem.
Q: Well, your first -- one of the first things you
have to deal with is Father O'Sullivan who was --
pled guilty of unlawful sexual intercourse with a
minor, immediately, almost immediately after you
started, and that was a current allegation, was
it not, Cardinal Law?
A: That was.
MR. TODD: Objection.
MR. ROGERS: Objection to the form of
the question.
Q: Then you had to deal, after that, with Father
Geoghan, at the end of 1984. We went over that
this morning with respect to allegations about
Father Geoghan about his parish in Dorchester; is
that correct?
A: That's correct.
Q: You then also learned, did you not, about Father
Birmingham and the allegations against him after
you had made him pastor of St. Ann's? You
learned about that?
A: That's correct.
Q: And we already, I think, went through Father
Rosenkranz and we went through Father Graham and
you emphasized that one as a single incident.
But you don't believe that with the number
of priests involved and sometimes more than one
allegations, you were facing a major problem?
A: I was facing a major problem with those priests.
I wasn't facing a major problem with the
priesthood.
Q: All right. So you didn't bring in -- whether it
was a major problem, minor problem, however one
would characterize it -- you did not consult any
expert clinicians in the '84 to '89 time period
who could advise you on ways that children could
be protected from sexual abuse by priests. Is
that an accurate statement?
MR. TODD: Objection. Argumentative.
Asked and answered.
A: I have attempted to answer your question already.
I will attempt to answer your question again.
Q: Yes.
A: In terms of specific focus on the problem of
sexual abuse, we did not have specific programs.
In terms of a general encouragement, support
of priestly life and ministry in a way that
strengthens priestly commitment to celibacy and
to service, we certainly did have programs and
continue to have programs.
Q: My question was about experts, whether you
brought in any experts to help to advise you on
policies and procedures during the '84 to '89
time period that would assist you in ensuring
that children served in Archdiocesan programs
were not molested my priests.
Do you understand my question?
MR. TODD: Objection. Asked and
answered.
MR. MacLEISH: It hasn't been responded
to.
A: I understand your question. The answer to that
specifically is no, it's been no, but I've tried
to explain it more broadly so that the question
wouldn't stand by itself as an incorrect
characterization of the state of pastoral care
that's being taken in this Archdiocese.
Q: I'm not -- I'm just asking for the answer to the
questions, Cardinal. I understand --
MR. TODD: And you got it.
Q: Excuse me. Just to be clear, in the '84 to '89
time period, there was no such expert that was
brought in?
MR. TODD: He's answered that.
MR. ROGERS: Objection. He just
answered that.
A: I've answered the question.
MR. TODD: Just say you've answered.
MR. ROGERS: He's done it several
times.
A: I just answered that question, Mr. MacLeish --
MR. MacLEISH: His answer was not
responsive.
A: -- and the answer is --
MR. TODD: That's fine, that's fine.
A: The answer is no.
Q: Thank you, Cardinal.
Now, let's return, if we could, to Father
Shanley.
(Law Exhibit No. 92, Handwritten
Document, 1/16/94, marked for
identification.)
A: Do you want me to read this?
Q: Yes. If you would, please, Cardinal.
(Pause.)
(Law Exhibit No. 93, Personal and
Confidential, Review Board, 12/6/93,
marked for identification.)
Q: Cardinal, would you also look at Exhibit 92,
please,
A: 93?
Q: 93, sorry. 93.
A: This is another case or is this --
Q: This is Paul Shanley's case. No. 33 is Paul
Shanley's case.
Have you seen Exhibit 93 and 92, Cardinal
Law?
A: I have seen both of those, yes.
Q: Exhibit 93, we'll turn to first, if we could.
This is a report of the review board for Case
No. 33 which is Paul Shanley, dated December 6,
1993.
I don't have any documents that suggest that
this particular finding of the review board was
forwarded to you, but do you have any general
recollection of seeing Exhibit No. 93?
A: I don't.
Q: Okay. Would it have been the ordinary practice
in documents such as Exhibit No. 93 for them to
be forwarded to you for some sort of review?
A: What would be ordinary -- no, because this would
be -- this would be the Delegate's recommendation
to the review board.
Q: Okay.
A: The ordinary would be for me to get what the
review board -- the recommendation of the review
board and that's at that point that I'd hear
about it.
Q: Okay. All right. But you wouldn't receive the
report that the Delegate made to the review
board?
A: No.
Q: Well, you'll see in this particular case, there
was a complaint that two men around 40 years of
age and the mother of a young man who died of
blank reported that the priest had sexually
abused, it's crossed out -- I can't tell what it
says -- in their early teen-age years.
Do you see that?
A: Yes.
Q: The allegations basically involved his
masturbating them?
A: Yes.
Q: And the response is, is that the lawyer reported
that he did not dispute the substance of the
allegations.
A: Yes.
Q: Did you ever begin to learn in 1993 that there
were allegations made against Paul Shanley, who,
by now was in California, that involved
masturbation of individuals who were in their
early teen-age years?
A: The report that I -- that came to me about Paul
Shanley was the report that precipitated his
removal from active ministry.
Q: And you stated -- I'm sorry. Go ahead.
A: In California.
Q: And you've stated that that occurred in 1993; is
that correct?
A: That was my recollection. And it could have been
this report. I can't say that.
Q: Okay. Exhibit No. 92, which you've read, is a
letter of January 16, 1994, from Paul Shanley to
Father McCormack. And I'd like to direct your
attention to the second page, if I could,
Cardinal.
A: Yes.
Q: It says:
"I've heard no more from anyone about my
proposal to offer a safe house to warehoused
priests."
Do you see that?
A: Yes, yes.
Q: Do you know what a safe house is --
A: Well, I know --
Q: -- in this context?
A: I don't know what a safe house -- I don't know
what he's talking about here. I've not seen this
letter before. But I know what the term "safe
house" means in other categories.
Q: What does it mean in other categories?
A: Well, it's that. It's a house where you can keep
somebody under surveillance, I think, and
protected from others and from -- and keep others
protected from him.
Q: Right. Did the Archdiocese of Boston consider
establishing a so-called safe house for priests
such as Paul Shanley in the 1993 period?
A: I can't recall the time frame, but we did -- we
did not only consider it, but had a group of
these priests living together with 24-hour
personnel present there and signing in and
signing out mechanism and in-house therapy and
things of that that kind.
Q: Where was that located? In Milton?
A: At one point in Milton.
Q: And did that start in 1993?
A: I can't recall the time on that.
Q: And did the location change from Milton?
A: It did.
Q: Where did it change to?
MR. TODD: Hold on. Is that something
you want to divulge?
MR. ROGERS: Not a problem.
MR. TODD: Not a problem. Okay. Go
ahead.
A: I believe that -- I believe we rented a house in
Georgetown.
Q: Georgetown, Massachusetts?
A: Yes.
Q: Near Baldpate Hospital?
A: I'm not sure of that.
(Law Exhibit No. 94, Handwritten
Document, 3/3/94, marked for
identification.)
(Law Exhibit No. 95, Personal and
Confidential, Reverend Paul Shanley,
marked for identification.)
A: Where should I direct my attention?
Q: Yeah. If you could look at Exhibit No. 94. This
is the handwriting, we've established in another
deposition, of Bishop McCormack, and I just want
you to, if you could read -- did you get the
Exhibit No., yes, 94.
Do you remember Bishop McCormack ever
reporting to you that Paul Shanley had admitted
to the substance of allegations of sexual
misconduct with adolescents?
A: My presumption is that this would have been
communicated to me. This would be after he is
removed.
Q: Right. That's correct.
A: And I know that, you know, that Father McCormack
and then others who succeeded him have maintained
some type of sporadic contact with Paul Shanley
but --
Q: Right. Do you know whether there was ever
thought -- any thought given by you or Father
McCormack or any other person to bring Paul
Shanley back into what you described as the safe
house that you had in Milton and then in
Georgetown so that priests -- so he could be
monitored and kept safe?
A: I can't -- I don't recall a discussion around
that subject with Father McCormack.
Q: Okay. Do you have 95 there?
A: Is that this?
Q: Yes. Have you had the chance to see it?
A: No.
(Pause.)
A: And this is a few days later than the other one.
Q: Yes, it is, that's correct. It's 3/7/94. The
handwritten report of Father McCormack was
3/3/94.
(Law Exhibit No. 96, Memo, 8/30/94,
marked for identification.)
Q: Were you generally aware by 1994, early 1994,
that there were a number of allegations against
Paul Shanley?
A: I cannot -- I can't recall what information I got
about him after his removal.
Q: Did you -- were you aware -- did Father McCormack
tell you that those allegations involved both
oral and anal intercourse?
A: I never had that kind of specificity supplied to
me.
Q: Let's go to Exhibit 96, please.
(Law Exhibit No. 97, Personal and
Confidential, Review Board, 10/3/94,
marked for identification.)
(Pause.)
Q: Have you reviewed Exhibit No. 96, Cardinal?
A: I have.
Q: And this is dated August 30, 1994. It's a memo
to the file from John McCormack, and you see
under Subparagraph 1, it reports that:
"Father Shanley is so personally damaged
that his pathology is beyond repair. It cannot
be reversed."
Do you see that?
A: Yes.
Q: Did Father McCormack, when he was your Delegate,
communicate to you at any time that in his
opinion, Father Paul Shanley was so personally
damaged that his pathology was beyond repair --
or words to that effect?
A: You know, I don't recall that. He may have.
Here again, by this time, Father Shanley was out
of priestly ministry. He never was returned to
priestly ministry. There was no active
consideration of having him in priestly ministry.
But I don't have a recollection of this being
communicated to me in those terms, but it might
well have been.
Q: You see also it states:
"How do we protect others from him?"
A: Yes.
Q: Do you see that?
A: Yes.
Q: And did Father McCormack ever discuss with you
how -- what the Archdiocese should do to protect
other individuals from Paul Shanley at any time?
A: I don't recall having that question raised in
those terms, but a way in which we would do that,
and one of the most effective ways that we could
do that, would be to remove the person from
public ministry, which we had done.
Q: But why not put him into a safe house similar to
the safe house that you described earlier in your
testimony?
A: That also would be a possibility, yes.
Q: Did you consider that at any point in time with
Father Paul Shanley?
A: Here again, I would have relied on Father
McCormack to come forward with recommendations as
to how best to handle the case.
(Law Exhibit No. 98, Review Board
Meeting, 10/3/94, marked for
identification.)
(Law Exhibit No. 99, Confidential
Memorandum, marked for identification.)
(Discussion off the record.)
Q: Do you have Exhibit 98, Cardinal Law?
A: I do.
Q: Could you review Exhibit No. 98 and 99?
A: 98 and 99?
Q: The only one you need to review in 98 is Case
No. 33, which is Paul Shanley.
A: All right. Yes.
Q: You'll see also, if you look at Exhibit No. 99,
you accepted the board's recommendation
concerning Paul Shanley in a memorandum that is,
I believe, stamped received January 9, 1995.
Do you see that?
A: I do.
Q: And you'll see the review board meeting of
October 3, 1994?
A: I do.
Q: And this would be, Exhibit 98, the review board
meeting would be the type of information that you
would receive before you acted on the review
board's recommendation?
A: Excuse me. Would you just repeat that.
Q: Sure. You would receive Exhibit No. 98 and then
you would act -- something like Exhibit 98 --
A: Well, I would --
Q: -- and then you would act on it; is that
accurate?
A: I would either receive it or have that
information communicated to me orally by the
Delegate.
Q: All right. By 1994, am I correct in stating that
there were now allegations against more than 20
Archdiocesan priests, sexual misconduct?
A: I would rely on your counting there. I wouldn't
be able to say that for sure, but if you say so.
Q: Okay. I don't know. I really, truly don't know.
In any event, you'll see on Exhibit 99, you
did accept the recommendations of the review
board --
A: I did.
Q: -- at its meeting in October?
A: And I directed the Office of the Delegate to
implement the recommendation.
Q: Referring to the recommendations of the review
board in Exhibit 98, the board recommends that he
continue, A, to be on sick leave.
Do you see that?
A: Excuse me. Yes, I do.
Q: And live out of state.
A: Yes.
Q: It's the second recommendation. And not do any
ministry. Do you see that?
A: That's correct. I see that.
Q: You have looked at a number of these review board
recommendations since 1993; is that correct?
A: I have received a number of them, yes.
Q: Probably far too many, I'm sure.
A: Absolutely.
Q: In all the review board recommendations that
you've seen, have you ever seen a recommendation
that the priest accused of sexual misconduct live
out of state, as it is reflected in Exhibit
No. 98 concerning Paul Shanley?
A: I don't have a perfect recall of anything really.
I don't recall any other, but there may have
been.
Q: Am I accurate in stating that the review board
usually did not recommend that priests should
reside out of state in presenting its conclusions
to you?
A: As I indicated, I don't recall this coming in
other recommendations.
Q: Can you think of any reason why the review board
would recommend that Paul Shanley live out of
state?
A: Well, he was living out of state.
Q: Right.
A: And I would suppose that that would be a reason.
Q: Well, it says the board recommends that he
"continue." You see the word "continue" there?
A: Yes.
Q: There were facilities in Massachusetts that could
take care of people like Paul Shanley; is that
correct? Such as the safe house that you've
described?
A: Yes. In the time frame that it existed. I can't
be sure of when that ceased to exist, but, yes.
(Law Exhibit No. 100, Document, RCAB
1, marked for identification.)
Q: You're welcome to read all of this, Cardinal.
I'm going to be focusing my questions on the
upper third of the document, but you're welcome
to read all of it.
(Pause.)
Q: At some point, Cardinal, did you become aware
that Paul Shanley had relocated to the City of
New York?
A: Yes, I did.
Q: Who told you that?
A: I cannot recall how I had that information.
Q: Did you become aware that he was working in some
sort of administrative capacity at a place called
Leo House?
A: I was.
Q: And you understood that that was a transient
hotel for Catholic travelers and other
individuals?
A: Well, actually, my understanding of what the Leo
House was, was quite different than what it is.
Leo House, in my recollection, was a place
for priests who were visiting in New York, and
religious males, and it was a place that provided
lodging at a reasonable cost that would be much
less than you would have to pay in hotels.
I was not aware that it was a place where
families could lodge and where children could
lodge. My knowledge of Leo House was an older
knowledge.
Q: Well, these are documents that were obtained from
your files. You see RCAB, the Bates stamp number
down there, RCAB-511.
I take it you never saw this document?
A: That's correct. I have not seen it before now.
Q: And you see that it says, you know, the upper top
part of it:
"Cribs for infants are available no charge.
Window guarded rooms for children available."
Do you see that?
A: I see that.
Q: Who told you that Leo House was a place for
priests?
A: I'm indicating that that was my general
understanding just out of what I knew out of
memory from Leo House, the way I had understood
what Leo House was.
My understanding of Leo House was that it
was a place that was -- that had a limited
clientele and that that was its purpose.
Q: I'm asking for the source of that information,
Cardinal Law. Who told you that or who wrote
that to you or was it based upon your own --
A: Well, first of all, I'm not suggesting that
someone gave me that information in the time
frame that we're talking about. I'm talking
about knowledge that it was in my apperceptive
mass. And it came out of my understanding --
this was just the way -- if you had mentioned Leo
House to me --
Q: Yeah.
A: -- that's what I would have thought Leo House
was.
I would not have thought of it as a place
that allowed -- that had women guests nor that
had children.
Q: All right. But you now are aware -- I take it
your understanding of what it was, was not
consonant with the facts when Paul Shanley was
there; is that correct?
A: That's correct. But I've come to that
understanding subsequently. That doesn't -- yes.
Q: Let's put it this way. I'm sorry.
At some point, you became aware that Father
Shanley was working in an administrative capacity
at Leo House; is that correct?
A: That's correct.
Q: And you understood that his supervisor at Leo
House was a gentleman by the name of Francis
Pilecki; is that correct?
A: Well, I couldn't recall the name but I knew that
he had a supervisor and that he was not the
supervisor.
Q: Right.
(Law Exhibit No. 101, Document,
6/26/95, marked for identification.)
Q: Have you had the opportunity to review Exhibit
101, Cardinal Law?
A: I have.
MR. MacLEISH: This was a document that
was produced by the Archdiocese. I'm assuming,
by the way, Will, that no portion of this was
redacted.
Q: But I would just ask you if you have ever seen
this document?
A: I have not.
Q: Did anyone ever tell you, as is set forth in this
document, that Leo House had some built-in risks
for Paul Shanley?
A: I do not recall that.
Q: Did anyone ever tell you that it would be, quote,
hard to defend if any public disclosure was made
about it. New York City, possibly questionable
supervision, transient guests, young people, not
of our making, et cetera?
Do you see that?
A: No.
Q: Did anyone ever tell you anything about that?
A: No.
(Law Exhibit No. 102, Memo, 9/13/96,
marked for identification.) (Law Exhibit No. 103, Document,
9/25/95, marked for identification.)
A: Yes.
Q: Cardinal Law, have you reviewed Exhibit 102?
A: I have.
Q: Several minutes ago, you testified that it was
your belief that Leo House was a place where
priests reside.
Do you recall that testimony?
A: That's what I believed it was at the time that
came to my attention that he was going there,
that's correct.
Q: Did you receive Exhibit No. 102, which is a
memorandum to you from Brian Flatley, dated
September 13, 1995, concerning Father Paul
Shanley?
A: I would suppose that I did.
Q: And it states, in the first two sentences:
"Father Shanley has been working in New York
City at Leo House since February of 1995. One of
his accusers keeps a close watch on Father
Shanley, as he called here, upset that Father
Shanley was working in a place where children
reside."
Do you see that?
A: That's correct, that's correct.
Q: So given the fact that you would have read Father
Flatley's memorandum in 1995, would you like to
modify your earlier testimony that you thought
that Leo House was a place where only priests
resided?
A: No. That was correct. At the time that he went
to Leo House, that was my understanding of what
Leo House was.
Q: Okay. But then you learned through this
memorandum that Father Paul Shanley was working
at a place where children resided; is that
correct?
A: I received this memorandum, and I presume that
that must have registered with me.
Q: All right. But you took no action to remove Paul
Shanley from his position at Leo House; is that
correct?
A: I did not take an action to remove him at that
time.
Q: Of all the various priests who had allegations of
sexual misconduct against them, can you identify
any other situation where a priest was allowed to
function either in a parish or some other setting
where children resided, apart from Paul Shanley?
A: Would you repeat that question, please.
Q: Sure. You'll see here that we've established now
that Reverend Flatley sent you a memo in
September 13, 1995, that suggests that Paul
Shanley is working at Leo House, a place where
children reside.
Do you see that?
A: Yes.
Q: Now, my question is whether with respect to any
other priest like Paul Shanley accused of sexual
misconduct, can you recall any other situation
where, after the allegations were verified, the
priest was allowed to reside in a place where
children were also present?
A: Well, I think we've gone over some of the
cases --
Q: Right, right.
A: -- where there were reassignments after --
Q: Right.
A: -- intervening indication that this would be not
inappropriate, yes.
Q: Do you know whether any experts were consulted as
to whether or not it was appropriate for Paul
Shanley to be working in a place where children
resided in 1995?
A: First of all, as I indicated to you, when I found
out that he was at Leo House --
Q: Right.
A: -- it was not -- it was my understanding,
obviously erroneous, that this was not a place --
that this was a place for priests and religious
brothers.
Q: Right.
A: And the change was something that I had not been
aware of.
When this memorandum goes on to indicate
that Monsignor Murphy called Monsignor Edward D.
O'Donnell, Vice-Chancellor for Priests' Personnel
and asked his advice, he said that he visited
Shanley and indicated that he would find it
inconceivable that there would be any unwholesome
activities occurring there.
Q: He's not a doctor, is he?
A: No, he's not a doctor. He's someone who would
have had some responsibility for Leo House for
the Archdiocese.
Q: After your review of Exhibit 102, did you go back
to the review board and ask the review board to
consider whether Paul Shanley working at the Leo
House, a place where children resided, was an
appropriate placement for him?
A: I did not. That would have been something that
would have been the initiative of the -- as a
matter of fact, as you know, he left Leo House.
Q: After approximately two years?
A: He did not assume this responsibility of
director.
Q: No, he did not.
Do you know -- did you find out who the
director was, Francis Pilecki?
A: Well, I see the name here.
Q: Right. Do you know who Francis Pilecki was?
A: I do not.
Q: Did you make any inquiry as to whether or not the
supervisor at Leo House was someone who was
appropriate to supervise Paul Shanley?
A: No. I would have relied on the Archdiocese of
New York.
Q: Okay. Well, do you know that Francis Pilecki
is -- do you now know that Francis Pilecki is a
convicted child molester --
A: I didn't not know that.
Q: -- former president of Westfield State College?
A: I did not know that.
Q: Brian Flatley never told you that?
A: No.
Q: Next exhibit.
A: If he did, I don't recall it. I should say that.
And I think I would.
Q: Cardinal, this is a long letter from Paul
Shanley. You're welcome to read the whole thing.
I'm going to only be asking you questions about
the second page, the paragraph that is the
last -- well, it starts, "As you and John
McCormack will attest."
A: Let me just go through it quickly.
Q: You can read the whole thing.
(Pause.)
(Law Exhibit No. 104, Letter to
Shanley, 11/20/95, marked for
identification.)
(Law Exhibit No. 105, Leo House,
12/14/95, marked for identification.)
(Law Exhibit No. 106, Letter to
Shanley, 2/29/96, marked for
identification.)
Q: Have you had the opportunity to review the
exhibit, Cardinal? I'm sorry.
A: Not quite.
Q: I'm sorry.
A: Yes.
Q: Could you look at the second page for me, and the
paragraph that starts, "As you and John McCormack
will attest." Let me just read it and ask you a
question.
"As you and John McCormack will attest, I've
scrupulously abided by every rule and restriction
given to me. Even though I strongly disagree
with the admonition that I may never again say
mass publicly, I have never done so. I
submitted, reluctantly, to the evaluation in
Connecticut. I returned from California and my
support group. I have abided by my promise not
to mention to anyone the fact that I too had been
sexually abused as a teen-ager, and later as a
seminarian by a priest, a faculty member, a
pastor, and ironically by the predecessor of one
of the two cardinals who now debate my fate."
Do you see that?
A: I do.
Q: And this is not a letter to you. This is a
letter to Brian Flatley.
A: Yes.
Q: Did Brian Flatley ever inform you that Paul
Shanley was alleging that he had been sexually
molested by a priest, a faculty member, a pastor
and by either your predecessor or the predecessor
to Cardinal O'Connor?
A: To my recollection, that information came to me
in the course of depositions and all of this
material coming to light. I don't -- and I think
I would have recalled such a charge and I do not
recall that.
Q: Do you know --
A: But I do recall hearing it before now, however,
because I've heard it in relation to depositions.
Q: Sure. Do you know, Cardinal Law, whether or not
Paul Shanley was at any point attempting to
blackmail the Archdiocese of Boston?
A: I do not -- I'm not aware of that, but I have --
I have no knowledge of that.
Q: Right. Next exhibit, please.
I just want to take a moment and look at
Exhibit No. 104, if you would, please, Cardinal.
A: Excuse me?
Q: Take a minute and look at Exhibit No. 104.
(Pause.)
A: Yes.
Q: You stated -- this is a letter that you sent to
Paul Shanley on November 20, 1995; is that
correct?
A: That's correct.
Q: And you state:
"This has been" -- in the second
paragraph -- "This has been a tumultuous year for
you, Paul. It must be discouraging to have
someone following you and making inconsistent
demands."
Do you see that?
A: I see.
Q: Were you referring to a victim of sexual abuse
who had been making inconsistent demands towards
Paul Shanley?
A: I must say that in all likelihood, this letter
was prepared for me by Father Flatley, and I
would imagine, given what I saw earlier, that
that's what that has reference to.
Q: Okay. All right. Next exhibit, please, which is
568.
A: 568?
Q: I'm sorry. This is going to be Exhibit No. 105.
(Pause.)
A: Yes.
Q: Cardinal Law, looking at Exhibit No. 105, this is
a letter from Sister Anne Karlin from the Sisters
of St. Agnes.
Do you see that?
A: I do.
Q: Sent to you, addressed to you, that was produced
from your files.
Do you see that?
A: I see that.
Q: It does not contain the stamp "Not acknowledged
at Cardinal's Residence."
A: That's correct.
Q: Okay. Would it be fair to state, or do you have
a recollection of receiving this document?
A: I do not have a recollection of receiving this
document.
Q: This is a document in which the Sisters of St.
Agnes, who run Leo House, indicate that they
received a report from the Boston area indicating
that Paul Shanley was a child molester.
Is that correct?
A: That's what the letter states, yes.
Q: And this, again, is not the typical type of
correspondence that you would be receiving in
1995. Is that a fair statement?
A: That's correct.
Q: Is this the type of important communication that
your personal secretary might have brought to
your attention?
A: Or would have brought it to the attention of the
Delegate.
Q: It states in the last paragraph:
"Here I am with this time bomb. I have
shared this information with one other sister.
Would you be so kind as to clarify Father Paul's
integrity and reputation and character. It will
be difficult to realize that he would have such a
sad condition as imputed above."
Is that correct?
A: That's what the letter says.
Q: And you understood from Leo House that these were
the nuns that had actually been operating Leo
House for some number of years; is that correct?
A: Well, I really -- I was not that aware of what
community ran The Leo House, no. I would not
have been aware of that.
Q: If you had read -- I don't know whether -- the
letter states in the second paragraph that the
Sisters of St. Agnes from Fond du Lac, Wisconsin,
have managed this place for one hundred years.
Do you see that?
A: Yes, I do.
Q: And do you recall anyone ever speaking to you
about this allegation or this question that was
posed by these nuns who had been running Leo
House as to whether or not Father Paul Shanley
was a child molester? Did anyone ever speak to
you about that?
A: As I indicated to you, I don't recall seeing this
letter.
Q: But you would agree with me that it would be
important that the nuns who were running this
facility, in response to this type of
communication, get completely accurate
information, correct?
A: My presumption would be that those responsible
for Leo House would have been privy to a full
account of what the situation was.
Q: After this letter was sent?
A: Well, before the letter even.
Q: Well --
A: But certainly after.
Q: Right. This letter states, does it -- it poses
the question of whether it's true that Paul
Shanley is a child molester; is that correct?
A: Yes.
Q: Does that not suggest to you that this was new
information to the Sisters of St. Agnes?
A: Yes.
Q: Do you know why the Sisters of St. Agnes were
apparently not informed when Paul Shanley went to
work there that there were credible allegations,
admitted allegations of child molestation by him?
MR. TODD: Objection.
MR. MacLEISH: Go ahead.
A: I do not know who was informed of what. I
would -- my presumption would have been that
those responsible would have been informed.
Q: Okay. Let's look at Exhibit No. 106, please.
A: Yes.
Q: Is Exhibit 106 a letter that you sent to Paul
Shanley on February 29, 1996?
A: It is.
Q: And you'll see it's addressed to Paul Shanley at
The Leo House; is that correct?
A: It is.
Q: And going back to Exhibit 102, you were informed
at -- the date of this letter, I'm sorry, of 106,
your letter to Paul Shanley, is February 29,
1996, correct?
A: That's correct.
Q: And you first learned that Leo House was a place
where children resided in Father Flatley's
memorandum to you of September 13, 1995; is that
correct?
A: That's correct.
Q: So approximately five months later, Paul Shanley
is still working at Leo House?
A: Yes.
Q: Okay. You state as follows in your letter to
Paul Shanley. You state:
"This letter provides me with an opportunity
to thank you in my name and in the name of the
people of the Archdiocese for the ministry which
you offered, both in parishes and in a
specialized way over the years from your
ordination in 1960 until your sick leave began in
1990."
Do you see that?
A: I do.
Q: "For 30 years in assigned ministry, you brought
God's word and his love to his people and I know
that that continues to be your goal despite some
difficult limitations."
A: That's correct.
Q: When you were using the word "difficult
limitations," you were referring to his admitted
sexual misconduct with minors?
A: I was -- first of all, it's likely that this
letter was drafted for me by Father Flatley. But
I would see it, and I would intend it to refer to
his, yes, to his condition, his pathological
condition.
Q: When you were using the words "despite some
difficult limitations" --
A: Yes.
Q: -- you were referring to sexual molestation of
minors?
A: That's correct.
Q: "That is an impressive record and all of us are
truly grateful for your priestly care and
ministry to all whom you have served during those
years."
A: That's right.
Q: "Without doubt, over all of these years of
generous and zealous care, the lives and hearts
of many people have been touched by your sharing
of the Lord's spirit. You are truly appreciated
for all that you have done."
Those were your words in your letter to Paul
Shanley of February 29, 1996?
A: That's correct. These are my words to a priest
who, in the course of his many years of active
ministry, did, in effect, preach God's word,
share God's love to a number of people in an
effective way.
Q: And committed unspeakable evil?
A: And committed unspeakable evil, that's correct.
And one of the reasons why he's retired, one of
reasons why he's not on active ministry at that
time is because of that. And he knew that. The
reason why he was retiring at that point was
because of that. And he knew that. It's a
question of trying to be pastoral and reconciling
to somebody who still remains a human being even
though he has done terrible, terrible things,
which -- and he's paying the consequence of that
by not being able to serve as a priest, and
appropriately so.
But at the same time, there were -- there
were acts, priestly acts in his lifetime, which
were not of that nature.
Q: And for those against whom he had committed
unspeakable evil, what did you do at or around
this time to assist or support them, Cardinal
Law, personally?
A: Well, one of the things that, perhaps most
effective that was being done is that he was
removed from active ministry. And by this
action, was being removed from any other kind of
activity.
Q: So you continued to believe that your words to
Father Paul Shanley as reflected in this letter
of February 29, 1996, were appropriate ones to
send at the time?
MR. TODD: Objection.
A: I think the intent is appropriate. Would I
phrase it differently as I sit here now?
Probably, yes.
Q: Well, my question is specific and I'm not sure
that you answered it.
What, as of this time, Cardinal Law,
February of 1996, were you specifically doing, if
anything, to reach out and help the victims of
Paul Shanley's unspeakable evil?
A: Here again, as I've indicated before, this letter
is an attempt to deal with the perpetrator and to
deal with him in a way that would put him beyond
the ability of inflicting harm on others.
I think that that is a very effective and
important action to take.
In finalizing that decision and
communicating that, the fact that one attempts
also to be pastoral in dealing with the
perpetrator, I think is to be expected and is
required.
With regard to outreach to victims, again,
that was the responsibility of the Delegate's
Office. And as you yourself have indicated, we
had several persons who worked in that office
with the Delegate, among them, Sister Catherine
Mulkerrin, and she acted with great
effectiveness, I think.
Q: Sister Catherine, I think, had left by 1994 and
was replaced by Sister Rita, as I understand it;
is that not correct?
A: That's right. Sister Rita McCarthy, who did very
good work.
Q: So my question is in terms of what you personally
did for the victims of this unspeakable evil,
have you concluded with your answer?
A: I have.
Q: Okay.
Were you aware when you wrote this letter to
Paul Shanley, were you, in your conscious memory,
were you aware of where his last assignment had
been in the Archdiocese of Boston as of 1996?
A: I think I was, yes.
Q: So you knew that he had been at St. Jean's --
A: Yes.
Q: -- in 1996 --
A: Yes.
Q: -- for a significant period of time?
A: Yes.
Q: Okay. All right.
(Law Exhibit No. 107, Memo to Law from
Murphy, 6/5/97, marked for
identification.)
Q: Cardinal, the next exhibit, which is 598. What
number is this? 107.
Before we get to that, Cardinal, you do
agree with me that as of the time you wrote to
Paul Shanley in terms of ensuring that he would
not commit acts of sexual violence again, you
knew he was living at that time or working,
rather, at a place where children resided as of
February 29, 1996?
A: I believe I knew that, yeah. Yes.
Q: Okay. Exhibit No. 107.
Do you recognize this as a memorandum sent
to you by Reverend Murphy on June 5, 1997,
concerning Paul Shanley?
A: I was aware of the fact that this offer came,
yes.
Q: Yes. And Father Murphy writes that:
"Father Shanley is a retired priest of the
Archdiocese. He admitted to past sexual
misconduct with minors. He's currently assistant
director of Leo House, a transient residence for
priests, religious and immigrants. Father
Shanley lives in an environment where the
resident staff of seven is aware of his past
behavior and is watchful of him."
Do you see that?
A: Yes.
Q: Then it asks for:
"Father Shanley has been offered the
position of director of Leo House. He would like
to accept it."
And Father Murphy asks you for your
permission for Father Paul Shanley to be named
director of Leo House; is that correct?
A: Yes. And he recommends it.
Q: Yes. And you accept it, do you not?
A: Well -- I was not pleased with this possibility.
I was willing to approach the Cardinal about this
possibility.
Q: Cardinal O'Connor, that would be, correct?
A: That's correct. And a letter was prepared for my
signature, which never went, because in the
intervening time, it was clear that the Cardinal
was not open to that and that was good for me and
so I never sent the letter.
Q: Well, you were prepared to go along with it if
Cardinal O'Connor had no objection; is that
correct?
A: I did not go along with it, but, yes, I would
have sent that letter.
MR. MacLEISH: The letter, can we have
the letter for the Cardinal, please. This is
Exhibit 108.
(Law Exhibit No. 108, Draft Letter to
O'Connor from Law, 6/12/97,
marked for identification.)
A: Yes. I've read this.
Q: And, this is the draft letter that is signed by
you and then the words "Not sent" appear.
A: That's correct.
Q: And whose handwriting is it where it says "Not
sent"?
A: I wouldn't know whose handwriting that is. I
think it could be Father Murphy's.
Q: Do you know when that handwriting was entered?
A: No, I don't.
Q: Well, this is the letter that you signed
following your discussion with Father Murphy; is
that correct?
A: That's correct.
Q: And you state in the letter that was not sent,
you state that:
"If you do decide to allow Father Shanley to
accept this position, I would not object."
A: That's correct.
Q: Okay. So you were leaving it in the hands of
Cardinal O'Connor, but you did not have an
objection to Paul Shanley being named director of
Leo House; is that correct?
A: That's correct.
Q: You did not have such an objection even though
you were aware that Leo House was a place where
children resided; is that correct?
A: Well, I believe one of the earlier documents that
you just showed me indicated that there were no
children --
No, no. There was some reference in one of
the documents to the fact that there were not
children presently there.
MR. TODD: Excuse me. Just a minute.
I want to talk to the Cardinal for a minute.
THE WITNESS: To me? Okay.
THE VIDEOGRAPHER: The time is 3:55.
We're off the record.
MR. MacLEISH: There's a pending
question. I would like him to finish the answer
to the question, please.
MR. TODD: Cardinal, come out.
MR. MacLEISH: I object. There's a
pending question.
THE WITNESS: May I?
MR. MacLEISH: Certainly. Well, No,
I'm not assenting to it, but your counsel -- I'm
not going to block the entrance.
(Discussion off the record.)
THE VIDEOGRAPHER: The time is 3:56.
We're on the record.
A: Yes.
Q: There was a reference that no children were at
Leo House, Cardinal Law?
A: I thought that there was a reference in one of
these documents.
(Discussion off the record between the
witness and Mr. Rogers.)
MR. MacLEISH: Well, could we have the
Cardinal's testimony, Will? I mean --
THE WITNESS: He's looking --
MR. ROGERS: He's looking for a
document.
THE WITNESS: All he's doing is he's
helping me.
That's not -- that's not very --
MR. ROGERS: Okay.
THE WITNESS: -- helpful. That's a
document from Paul Shanley himself saying that
you may wish to mention you never saw -- came
across a child.
A: The other pertinent information with regard to
his acting out is the fact that there is some
medical attestation that his ability to act out
sexually would be impeded by his prostate
condition.
Q: When you took the break right now, did you
discuss the subject matter of your deposition
testimony with your counsel?
MR. TODD: I'll answer that on the
record. We were discussing a matter that is
presently pending, I think presently pending
before the appeals court in connection with the
privilege.
MR. MacLEISH: All right. Okay.
Q: Cardinal Law, in September of '95, you get the
memo from Reverend Flatley indicating that
children reside at Leo House.
Had that perception of Leo House changed by
the time you signed the letter of June 12, 1997,
Exhibit 108?
A: By the time of the letter of June 12, 1997, I had
the knowledge that was contained in the '95
thing. I also had the knowledge that medically
his own situation had changed in terms of sexual
activity.
Q: Who told you that?
A: That's in the documentation that we reviewed
today. I can go through it and --
Q: No.
A: -- and find it.
Q: You believe that because there was a -- some
problem with his prostate, that Paul Shanley
would no longer be a threat to children. Is that
your testimony?
A: I had the impression from some of that
information that he would not be a threat
sexually; that he would not be a -- that he would
not be acting out sexually. That was my
understanding.
Q: Did an expert tell you that or a medical doctor?
A: Well, I believe that that's based on a medical --
I believe that's what's here is based on a
medical -- certainly Father Shanley wouldn't
have -- I mean, Father Murphy or Flatley wouldn't
have had the ability to make that kind of a
judgment.
Q: Okay. Was it your understanding in 1997 that
individuals who act out sexually against children
are doing so because of some sexual urge that
would be ameliorated by a deterioration of their
prostate?
A: You know, generally, I was under the impression
that the psychosexual urge was sometime --
somehow connected to -- the physiogony and the
psychology were linked. I may be wrong on that.
Q: But no expert told you that?
A: But that was my -- a medical note here would have
told me that.
Q: All right. Okay.
I take it you spoke, before Exhibit No. 108
went out, with, as I understand it, with Cardinal
O'Connor, and the decision was made not to go
forward with Paul Shanley as director of Leo
House.
A: That's correct, that's correct.
Q: Did you ever have occasion, during the course of
your 20 years in the Archdiocese of Boston, to
speak with another Cardinal concerning the
assignment of a priest in any particular area?
MR. TODD: Objection.
Q: I guess -- let me put it more simply, Cardinal.
In 1997, you and Cardinal O'Connor had two
of the largest dioceses in the United States; is
that correct?
A: That's correct.
Q: My question is:
Can you recall any other situation involving
a priest accused of sexual misconduct where you
and someone at the level of Cardinal O'Connor are
discussing the future of that priest?
A: Father -- well, first of all, you have to
understand that Cardinal O'Connor was probably my
best friend.
Q: I know.
A: And we were in contact a lot of time.
Q: Ever about a priest?
A: Well, there was never another occasion to be in
contact with him with a priest.
Q: Right.
A: But as a matter of fact, this issue was an issue
which was before him, and it seemed to me a
normal thing for me just to talk to him about
this.
Q: So when you pick up the phone, you decided that
Paul -- and spoke to Cardinal O'Connor -- you
decided that, collectively, that Cardinal
O'Connor was not going to go along with Paul
Shanley being named director of Leo House?
A: The decision was that this would not be the thing
to do.
Q: And part of the concern was negative publicity;
is that correct? If something were to happen
involving Paul Shanley?
A: The concern was the appropriateness of the
appointment.
Q: Was part of it negative publicity, Cardinal?
A: It could have been.
Q: All right.
(Law Exhibit No. 109, Letter to Shanley
from Murphy, 9/6/97, marked for
identification.)
MR. MacLEISH: Let's just do our last
exhibit here, which is No. 109.
A: The issue was --
Q: Go ahead.
A: -- whether, you know, Father Shanley, who was in
a secondary role, should assume the primary role,
given his background. And that was -- that was a
problem. That was a problem for me. It wasn't
something that I was comfortable with, and,
clearly, Cardinal O'Connor was not comfortable
with it. And I was very comfortable with his
decision.
Q: Well, Cardinal, you were not going to object to
it if Cardinal O'Connor went along with it?
A: That's correct.
Q: Let's look at Exhibit 109, which I think is going
to be our last one.
Just very quickly, have you -- did you ever
see this letter before today?
A: No. I don't recall seeing this, but it's
conceivable it may have been put before me in
another deposition. I don't know that. I
don't --
Q: It states, in the second paragraph -- this is
from Father Murphy to Paul Shanley --
"The restrictions against living with a
roommate and not living near children or known
homosexuals were prudent while you were under
such close scrutiny by" -- and then there's a
blank. That's a victim's name that we redacted.
"But I feel comfortable in lifting those
now. You may have a roommate and you may live
wherever you choose."
Cardinal Law, in September of 1997, was
Reverend Murphy free to lift restrictions imposed
on Paul Shanley without the approval of the
review board?
A: No.
Q: Cardinal, have you ever spoken with anyone,
including your counsel, on the subject matter of
whether you have documents that were responsive
to the subpoenas and document requests that have
been sent out in this case?
I don't want to know the substance, just
whether you've ever consulted with your counsel
or anyone else concerning the subpoena that was
issued in February of this year for documents or
other document requests that have been filed in
these consolidated cases?
MR. ROGERS: I think we need to have a
conversation on a privilege issue.
MR. MacLEISH: Well, the subject matter
is not privileged, Will, but that's fine. If you
need to do it, you need to do it.
THE VIDEOGRAPHER: The time is 4:05.
We're off the record:
(Pause.)
THE VIDEOGRAPHER: The time is 4:08.
We're on the record.
Q: Cardinal Law, have you had any discussions with
anyone, including your counsel, on the subject
matter of documents that would be responsive to
the first subpoena issued in this case or any of
the document requests that have been issued in
these consolidated cases?
MR. ROGERS: Objection to the form, but
go ahead.
A: And you mentioned a date earlier, didn't you?
Q: Yes. February. The subpoena was issued in
February.
A: And I guess that my own hesitation before counsel
suggested we talk was being able to focus on the
date.
Q: Sure.
A: But to my knowledge and recollection, I have had
discussions about these requests.
Q: With whom?
A: Counsel.
Q: Counsel. Anybody else?
A: Well, with those working with me to help provide
the documents that are being requested.
Q: Okay. Have you -- have you been involved in any
search of records yourself for items that might
be responsive?
A: I have not been.
Q: Do you have filing cabinets in your office area?
Not in your actual office, but outside of your
office?
A: Yes, we've got filing cabinets.
Q: You may recall your testimony in our first day
together about the affirmative defense concerning
negligence by the Ford family.
Do you remember that testimony? It was in
the answer.
A: Would you refresh me on the answer.
Q: Well, I just want to ask whether or not you
have -- you have any knowledge about amending
your answer, your first affirmative defense,
which asserted that some or all of the damage in
this case could be attributable to Mr. Gregory
Ford or his parents?
MR. TODD: That's not a fair
characterization of the affirmative defense. The
question has been asked and answered. The
Cardinal has spoken two or three times about his
personal feelings on that particular affirmative
defense.
Q: But you haven't changed your affirmative defense,
have you, Cardinal?
A: I think what I said with regard to that, and
which I would repeat -- and it was in response, I
thought to a specific question from you --
Q: Uh-huh.
A: -- that in no way would I impute responsibility
or guilt to a victim of child sexual molestation,
would I impute the guilt or responsibility on
that person, and that remains my position.
Q: Okay. You're not aware of any additional facts
or circumstances that would suggest in any way
that Mr. Ford or Mrs. Ford were negligent with
respect to the injuries suffered by their son?
A: I am not aware of any.
Q: But you have not changed your answer, have you?
A: My answer as to what?
MR. ROGERS: Which answer?
MR. MacLEISH: The answer to the
complaint. Sorry. The answer to the complaint.
Q: You've not changed your answer to the complaint?
MR. ROGERS: I believe the answer has
been changed.
MR. MacLEISH: Oh, really? Then I
stand corrected.
Let me just think for a second.
Q: Would you agree with me, Cardinal Law, that from
the period from 1984 through 1989, that the
parishioners were urged by the Archdiocese to
have their children attend religious education
classes?
A: Yes.
MR. MacLEISH: Okay. And I don't have
anything further.
Thank you very much for coming in.
THE WITNESS: Thank you.
MR. MacLEISH: This concludes the
deposition in this case unless you have questions
for the Cardinal.
MR. ROGERS: No.
MR. TODD: No.
MR. MacLEISH: Thank you very much.
MR. TODD: Just on the record, I'm
going to review the record. But at the present
time, I don't have any.
MR. MacLEISH: Well, you'll have the
transcript soon, I'm sure.
MR. TODD: I'll answer your question as
soon as I've read the transcripts.
MR. MacLEISH: I'm concluding it.
Okay?
THE WITNESS: Thank you.
THE VIDEOGRAPHER: The time is 4:12.
This is the end of today's volume in the
deposition of Cardinal Law. We're off the
record.
(Whereupon, the deposition ended at 4:12 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 16th 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 18th day
of October, 2002.
___________________________
Notary Public
My Commission Expires:
April 17, 2003
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