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Q. Did you have a power of attorney from Miss Flores?
Q. Your endorsements of those checks then were at Congressman Powell's direction?
A. Yes, sir.
Q. Did you have anything in writing from Mr. Powell instructing you to endorse the checks? A. No.
By Mr. TAYLER: Q. I believe you mentioned that you would get a little note with each check?
A. He would say deposit. Mr. O'Connor said endorse. But the note would say deposit and I would have to endorse it to deposit.
By Mr. O'CONNOR: Q. You have a power of attorney on Mr. Powell's account at the Sergeant at Arms Bank?
A. Yes, I do.
Q. Do you have a power of attorney on any of his other bank accounts?
A. I have a power of attorney, period. I don't use them on any other bank account.
Q. Have you ever drawn any checks to Mrs. Flores from the Sergeant at Arms Bank?
A. I don't remember.
Q. You think you would have recalled if you ever exercised that power of attorney in favor of Miss Flores?
A. You are saying I would recall if I had drawn a check on Mr. Powell's account to Miss Flores?
A. I write a lot of checks for Mr. Powell. I really do not remember whether I have written any to Miss Flores in the past 2 years.
Q. Could the committee assume from that answer that you have not?
A. I couldn't say; I would have to check the checkbook to find out.
Q. Would you mind going back and checking the checkbook and reporting back to the committee by memorandum as to whether you have?
A. Since January 3, 1965?
A. May I report this to you, Mr. Tayler, at the same time that I report
Q. Could you give us a little memorandum on this so that we can include it in the record ?
Q. Fine. We wouldn't want to be in the position of misquoting you. Mr. Hays. Any further questions?
By Mr. TAYLER: Q. Have you ever had any conversations with Mr. Powell about whether or not Mrs. Flores was receiving any of the funds represented by those checks?
Q. Have you had any conversations with Miss Flores about whether she was getting any of those funds?
The WITNESS. August.
By Mr. TAYLER: Q. Are you acquainted with Mr. Powell's clerk-hire staff in his congressional office?
A. Yes; I am.
Q. Do you have frequent contact with the people over there from time to time?
A. No. I am-I find myself so busy around the corner, I don't have the opportunity.
Q. Do you know whether Miss Flores has been doing any work in that office during the 89th Congress?
A. No; I do not.
A. He was a member of the staff of the Ad Hoc Subcommittee on the War on Poverty.
Q. Did he travel in connection with his duties?
Q. Let me direct your attention specifically to January of this year. The records show that Mr. LaPlace made a trip to the west coast, California, from January 12 to January 26. Do you recall him going there at that time?
A. No. I wouldn't know. The poverty people traveled very extensively and I wouldn't know who went where at what time.
Q. I take it then that you didn't have any contact with these people when they were out on their trips; they wouldn't call in and report to you?
Q. What are the names of the reported travelers then?
A. On August 5 for $112.56, C. Sumner Stone. On August 5, $168.20, C. Sumner Stone.
Q. What is the actual traveler?
Q. I know it is listed. I asked you—these are all purchases with Stone's travel card ?
A. I would have to go to look at the coupon to see that a traveleraccording to my records Stone is the traveler, as well as the purchaser.
Q. Go to the third then.
A. And the last one is Givens, and I am sorry I don't remember her first name.
Q. Does the name “Clark” appear among those ?
By Mr. O'CONNOR:
Q. Let me see if I follow you correctly. The three tickets, one for $112.50, insofar as you know, the traveler was Stone?
Q. The $168.20 ticket purchased on August 5, the traveler was Stone?
Q. You indicated that memorandum from Mr. Stone said the seven trips checked ?
By Mr. O'CONNOR:
A. If I may explain that, some of the trips—three of them I gave you
Q. Maybe I shouldn't get into that. Are they covered by additional checks that you have there?
A. Some of them are covered by refunds.
diren om deres
Mr. O'CONNOR. You proceed, counsel, because I think you are going to cover that.
By Mr. TAYLER: Q. Would you now tell us what tickets are covered by the second check? That is Gray exhibit 1. The second check being also signed by Adam C. Powell, per L. M. Dargans, in the same amount as the first; is that right?
A. No, $112
A. That covers a ticket purchased by Mr. Stone on August 5, Washington to Miami, and the name of the traveler appears as Emma Swann.
Q. What amount was that?
Q. Is there any way you can tell when the travel was performed; the tickets having been purchased August 5 ?
Q. You have to check the coupons in order to determine the actual date of the travel; is that right?
A. Oh, no. No. I wouldn't have the coupon from the ticket. I would only have the coupon from the purchase which the airline sends in when they send the statement in for payment.
Q. Does that form show when the travel was actually performed? A. No; it just shows the date of the purchase of the travel. Mr. Hays. This is my understanding around here from what I have seen. It would be perfectly impossible for someone to purchase a ticket, lose it, never use it, and you'd pay for it and not know the difference, wouldn't it?
The WITNESS. Yes, sir.. . Mr. Hays. Or any other members of the staff, because there is no certification from the airline that the ticket was ever used. Only that it was purchased.
The WITNESS. I am trying to think. What you said is most important.
Mr. Hays. I think what I said is right, from my experience with the Foreign Affairs Committee.
The WITNESS. And you are right, Mr. Hays, because we pay on the coupons when the tickets are purchased. We have no way of telling whether or when a ticket is used unless a voucher comes in, a per diem voucher comes in—no, even then we wouldn't.
By Mr. TAYLER:
A. That you have left; no, no. So that is
Q. So you can't tell when the ticket was used or if in fact it was ever used
A. That is right.
Q. And from what records you process, you can't be certain that the person who is listed on the transportation receipt as the user was in fact the person who used the ticket?
Q. Now can we go on to the third check dated July 29, 1966, in the sum of $197.15, from-yes—from Adam Clayton Powell to the Committee on Education and Labor? And will you tell us what tickets are covered by that check?
A. This check covers a ticket purchased on the credit card of C. Sumner Stone, Washington to Oklahoma City, July 27, in the amount of $191.57. The check is $6 more_$6 and change more than the actual ticket charged-price of the ticket as it appears on the statement.
Q. How do you account for that, if you can?
Q. Does that transportation receipt indicate that Stone was the traveler as well as the purchaser ?
A. I am not looking ; I don't have the transportation receipt. I am just looking at the bill.
Q. You are looking at the bill received from Eastern Airlines ?
Q. Now let's go to the No. 4 check, same date, July 29, 1966, $197.15, again, to the Committee on Education and Labor, bearing the signature Corrine A. Huff. What tickets are covered by that?
A. A ticket purchased by Mr. Stone, Washington to Oklahoma City, July 27, in the amount of $191.57. Here again the check is—well, it is six dollars and change over the actual amount of the ticket.
Q. Did you receive that check from Miss Huff?
Q. The one bearing Miss Huff's signature, did you have any conversation with her about that check?
Q. Do you have any information as to who made the trip for which that check pays reimbursement?
Q. During the period in question here, Mrs. Dargans, to your knowledge were any of the staff members ever sent out of Washington on trips to obtain Congressman Powell's signature on any papers ?
A. Not to my knowledge.