Robert Shapiro examines Raymond Kilduff, a Hertz division vice president from Chicago, about his June 13, 1994 encounter with OJ Simpson at the O'Hare Plaza. Kilduff testifies that Simpson appeared distraught, upset, and frantic; that he drove Simpson to the airport; and that Simpson's left hand was cut and bleeding beneath a loose bandage whose gauze was covered in blood.
# 1 MR. SHAPIRO: Thank you. Good afternoon, ladies and gentlemen.
THE JURY: Good afternoon.
DIRECT EXAMINATION BY MR. SHAPIRO
# 2 MR. SHAPIRO: Good afternoon, Mr. Kilduff.
# 3 MR. KILDUFF: Good afternoon.
# 4 MR. SHAPIRO: How are you?
# 6 MR. SHAPIRO: You've been waiting for two days to get on the witness stand here.
# 7 MR. KILDUFF: Yes, I have.
# 8 MR. SHAPIRO: We apologize for the delays. You are from Chicago?
# 10 MR. SHAPIRO: And are you employed there?
# 11 MR. KILDUFF: Yes, I am.
# 12 MR. SHAPIRO: What is your employment, sir?
# 13 MR. KILDUFF: The Hertz corporation.
# 14 MR. SHAPIRO: Were you employed in the Hertz corporation on June the 13th of 1994?
# 16 MR. SHAPIRO: Is that date of any particular significance to you?
# 17 MR. KILDUFF: Yes, it is.
# 18 MR. SHAPIRO: And what is the significance?
# 19 MR. KILDUFF: It was the date that Mr. Simpson came to town for the golf tournament.
# 20 MR. SHAPIRO: And what is--what was your job at Hertz on the 13th?
# 21 MR. KILDUFF: Division vice president, central division sales.
# 22 MR. SHAPIRO: And what does that consist of?
# 23 MR. KILDUFF: It consists of, I handle 17 states for the sales, the corporate side of the business. In this particular case, we bring in our corporate customers from that area to a golf outing annually.
# 24 MR. SHAPIRO: And did you have a particular duty in bringing customers to the outing?
# 25 MR. KILDUFF: Yes, I did.
# 26 MR. SHAPIRO: And what was your duty on that morning?
# 27 MR. KILDUFF: Basically, ultimately I'm responsible for it all coming together.
# 28 MR. SHAPIRO: And did you have occasion to be in the area of a hotel where your guests were staying?
# 29 MR. KILDUFF: Yes, I did.
# 30 MR. SHAPIRO: What hotel is that?
# 31 MR. KILDUFF: The O'Hare plaza.
# 32 MR. SHAPIRO: At some time in the morning, did you see Mr. OJ Simpson there?
# 33 MR. KILDUFF: Yes, I did.
# 34 MR. SHAPIRO: Where was he when you first saw him?
# 35 MR. KILDUFF: Sitting outside on a bench.
# 36 MR. SHAPIRO: What time was it?
# 37 MR. KILDUFF: Approximately about 8:45 to 8:50, somewhere in that.
# 38 MR. SHAPIRO: Would you describe for the ladies and gentlemen of the jury how he appeared?
# 39 MR. KILDUFF: When I drove up, I saw Mr. Simpson sitting out there. I was surprised, one, because I thought he was asleep. He was obviously distraught. Once I pulled up, his hands were in his--put his hands in his face like there was something wrong. I walked out--got out of the car first, went up, introduced myself. I had met Mr. Simpson two times prior, and told him I was from the Hertz corporation, asked if he remembered me. And at that point, he stated he needed to get to the airport.
# 40 MR. SHAPIRO: And did you respond to him after he said, "I need to get to the airport"?
# 41 MR. KILDUFF: Yes, I did. At the same time though, I had three individuals with me, John Johnson, who is my boss, Jack Raynard, who is a customer, and Jim Hoye, who is a customer. John got out of the car and said, "Juice, what's going on?"
# 42 MR. DARDEN: Objection. This is hearsay.
# 43 THE COURT: Sustained.
# 44 MR. SHAPIRO: The people that were in your car, did they get out of the car?
# 45 MR. KILDUFF: Yes, they did.
# 46 MR. SHAPIRO: And did anyone approach Mr. Simpson?
# 47 MR. KILDUFF: Yes, they did.
# 48 MR. SHAPIRO: And did--was there some conversation?
# 50 MR. SHAPIRO: Did Mr. Simpson respond in any way?
# 52 MR. SHAPIRO: Do you recall what his response was?
# 53 MR. KILDUFF: Yes. He said--
# 54 MR. DARDEN: Objection. Hearsay.
# 55 THE COURT: Sustained.
# 56 MR. SHAPIRO: Do you recall what his demeanor was when he responded? Was this to Mr. Johnson?
# 58 MR. SHAPIRO: What was his demeanor?
# 60 MR. SHAPIRO: What was his tone?
# 61 MR. KILDUFF: Frantic.
# 62 MR. SHAPIRO: And at that time, was--did you make an offer to Mr. Simpson?
# 63 MR. KILDUFF: Yes, I did.
# 64 MR. SHAPIRO: And what was that?
# 65 MR. KILDUFF: To take him to the airport.
# 66 MR. DARDEN: Objection. Hearsay, your Honor.
# 67 THE COURT: Overruled. What was the offer?
# 68 MR. KILDUFF: To take him to the airport.
# 69 MR. SHAPIRO: And did he respond?
# 71 MR. SHAPIRO: What was his response?
# 72 MR. KILDUFF: He asked me to take him--
# 73 MR. DARDEN: Objection. Hearsay, your Honor.
# 74 THE COURT: Sustained.
# 75 MR. SHAPIRO: Did he get in the vehicle?
# 77 MR. SHAPIRO: What part of the vehicle did he get in?
# 78 MR. KILDUFF: Passenger front seat.
# 79 MR. SHAPIRO: And you were the driver?
# 81 MR. SHAPIRO: Was there anyone else in the vehicle?
# 83 MR. SHAPIRO: How far--did you take him to the airport?
# 84 MR. KILDUFF: Yes, I did.
# 85 MR. SHAPIRO: And did you ascertain what flight he was on?
# 87 MR. SHAPIRO: And did you make any calls to see what time that flight would be taking off?
# 88 MR. KILDUFF: Two. One to--
# 89 MR. SHAPIRO: Okay. You made two calls?
# 90 MR. KILDUFF: Uh-huh.
# 91 MR. SHAPIRO: And after making those calls, did you ascertain whether or not you would be able to make an earlier flight than Mr. Simpson had scheduled?
# 92 MR. KILDUFF: I was not aware of any earlier flight Mr. Simpson had scheduled.
# 93 MR. SHAPIRO: What flight were you trying to make?
# 95 MR. SHAPIRO: Were you able to make that flight?
# 97 MR. SHAPIRO: On the way to the airport, would you describe Mr. Simpson's demeanor?
# 98 MR. KILDUFF: Very much the same. Very upset.
# 99 MR. SHAPIRO: What was his tone of voice in the car?
# 100 MR. KILDUFF: Upset.
# 101 MR. SHAPIRO: Was he making any type of sounds?
# 103 MR. SHAPIRO: What type of sounds was he making?
# 104 MR. DARDEN: Objection. Hearsay.
# 105 THE COURT: Overruled.
# 106 MR. KILDUFF: He was moaning. Basically he repeated a statement several times.
KEY QUOTE # 107 MR. SHAPIRO: Did that statement express some type of distress?
# 108 MR. DARDEN: Objection. That's hearsay.
# 109 THE COURT: Sustained.
# 110 MR. SHAPIRO: What did that statement convey to you?
# 111 MR. DARDEN: Objection. It's hearsay.
# 112 THE COURT: Sustained.
# 113 MR. SHAPIRO: Did you have an occasion to observe anything unusual about Mr. Simpson's hands?
# 115 MR. SHAPIRO: And what did you observe?
# 116 MR. KILDUFF: That it was cut and bleeding.
# 117 MR. SHAPIRO: Which hand did you observe that on, do you recall?
# 119 MR. SHAPIRO: Which one was that?
# 120 MR. KILDUFF: The left.
# 121 MR. SHAPIRO: Did you notice any type of bandage on that hand?
# 123 MR. SHAPIRO: What type of bandage did you notice?
# 124 MR. KILDUFF: It was a regular, you know, type of Band-Aid. I'm not sure.
# 125 MR. SHAPIRO: And would you describe to the ladies and gentlemen of the jury the hand, the bandage and the blood that you observed?
# 126 MR. KILDUFF: When I--Mr. Simpson was sitting against the wall, it was very sunny. I could actually see into the bandage because it was loose and it was very bloody. I could see the entire gauze area covered in blood.
KEY QUOTE # 127 MR. SHAPIRO: Did you get Mr. Simpson to the airport?
# 129 MR. SHAPIRO: And did he leave your presence?
# 131 MR. SHAPIRO: Were you contacted by anyone--who were the first per--people to contact you regarding what you observed regarding Mr. Simpson?
# 132 MR. KILDUFF: The Chicago police.
# 133 MR. SHAPIRO: And when did they contact you?
# 134 MR. KILDUFF: The--three days later, I believe the 16th.
# 135 MR. SHAPIRO: How many people--did you talk to someone eventually at the Chicago police?
# 136 MR. KILDUFF: Yes. The LAPD.
# 137 MR. SHAPIRO: And how many people did you talk to?
# 139 MR. SHAPIRO: And for how long a period of time did you talk to them?
# 140 MR. KILDUFF: For about 45 minutes.
# 141 MR. SHAPIRO: And did you tell them substantially what you've told us here and told the jury today?
# 142 MR. KILDUFF: Not in this detail.
# 143 MR. SHAPIRO: Did you later talk to anyone from police departments?
# 144 MR. KILDUFF: Yes. Mr. Hodgman and I believe he had five or six policemen.
# 145 MR. SHAPIRO: Five or six policemen?
# 147 MR. SHAPIRO: And where was this?
# 148 MR. KILDUFF: In my offices.
# 149 MR. SHAPIRO: So Mr. Hodgman came to Chicago with five or six police?
# 150 MR. KILDUFF: Correct. It was a mixture of Chicago and LAPD.
# 151 MR. SHAPIRO: And did you have an interview with them?
# 152 MR. KILDUFF: Yes, I did. With Mr. Hodgman.
# 153 MR. SHAPIRO: Did Mr. Hodgman tape-record this interview?
# 154 MR. KILDUFF: Not to my knowledge.
# 155 MR. SHAPIRO: Were notes taken of this interview?
# 157 MR. SHAPIRO: And did you explain to Mr. Hodgman and the five or six police officers what occurred and what your observations were?
# 158 MR. KILDUFF: Yes, I did.
# 159 MR. SHAPIRO: And was that substantially what you've told this jury?
# 160 MR. KILDUFF: Very close.
# 161 MR. SHAPIRO: Have you seen a report that was prepared as a result of that interview?
# 162 MR. KILDUFF: Yes, I have.
# 163 MR. SHAPIRO: And in that report, did that summarize what your statements were to this jury today?
# 164 MR. KILDUFF: As a summary, yes.
# 165 MR. SHAPIRO: Thank you. Nothing further.