This summary discusses a deposition in a lawsuit between M. Rebecca Downing and York County District Attorney H. Stanley Rebert and Randy Rizzuto:
1) The plaintiff alleges that Bill Graff told her he pays for Susan Rebert's phone out of drug task force money and had been doing so for an unknown period of time, possibly years.
2) The payment of Susan Rebert's phone occurred while the plaintiff was employed at the D.A.'s office.
3) It is unknown if the plaintiff ever complained about the phone payments to Mr. Rebert or Bill Graff.
4) The witness does not know if the county ever stopped paying for Susan Rebert
This summary discusses a deposition in a lawsuit between M. Rebecca Downing and York County District Attorney H. Stanley Rebert and Randy Rizzuto:
1) The plaintiff alleges that Bill Graff told her he pays for Susan Rebert's phone out of drug task force money and had been doing so for an unknown period of time, possibly years.
2) The payment of Susan Rebert's phone occurred while the plaintiff was employed at the D.A.'s office.
3) It is unknown if the plaintiff ever complained about the phone payments to Mr. Rebert or Bill Graff.
4) The witness does not know if the county ever stopped paying for Susan Rebert
This summary discusses a deposition in a lawsuit between M. Rebecca Downing and York County District Attorney H. Stanley Rebert and Randy Rizzuto:
1) The plaintiff alleges that Bill Graff told her he pays for Susan Rebert's phone out of drug task force money and had been doing so for an unknown period of time, possibly years.
2) The payment of Susan Rebert's phone occurred while the plaintiff was employed at the D.A.'s office.
3) It is unknown if the plaintiff ever complained about the phone payments to Mr. Rebert or Bill Graff.
4) The witness does not know if the county ever stopped paying for Susan Rebert
I a rumor, or do you know for a fact? Did Bill 1 tell you? 2 I 1 2 Mr. Ingle had -- A Yes, because he kept the time; you 3 4 A Bill told me. Q So Bill told you he pays for Susan 5 Rebert's phone -- II ! 5 know, the attendance; time and attendance. Q So did he report that to anybody, do you know? 6 A Yes. I 6 A To whom? 7 8 A Q -- out of tIle drug task forCe money? Right. I 7 Q That's what I'm asking. Is that how this whole thing came to light, that Mr. Crouse 9 Q And do you know how long that had I: discovered this? 10 been going on? 110 A Y ea..~, I guess he subrnitted for 11 A No. jll ~~:~d ~;:e:a~~~~~d~~:':~~u~-:;' you Ii 12 13 A Q Was it one year? Was it four years? I have no idea. 112 I 113 Q 'iVhen you say you guess, do you b.-lOW , - ~:o~:e!:~~at's what happened; that Paul 114 r 1 14 Q Okay. Did this occur while Miss II: 15 Downing was employed by the D.A.'s office? /15 16 A Yes. 116 A Yes. Yeah, because Paul kept time I;; 17 Q And is this something that Miss 11 7 i and attendance at that time. p f! 18 Dowring complained to Mr. Rebert about? 1 18 Q Okay. And at t.~at time, \vhat time j" 19 A I don't know. Q Okay. Do you know if Miss Downing 1 19 period are we talking about again? That would be before-- I~: 1 20 1 20 15 I21 told Bill Graff that this is not -- I21 A Before Becky, yeah. 22 I don't know. A :,; 2232 Q So then, at the time Mr. Ingle's 23 Do you know if at any point in time Q I sentencing for the gun charges and whatnot, Mr. \ 24 the county ceased paying for lvIrs. Rebert's \ 24 Crouse would have known about the forgery ,25 phone? -425 situation involving 1vIT. Ingle? ·----I~ A I don't know. I don't pay the Page 881 f Page 90 t 1 I 1 A Yes. I Q 3 4 2 bills. Q Okay. I'mjust saying, did Bill Graff ever come to you and say, hey, we put an 3 4 II 2 Okay. Do you recalllvIr. Rebert ever making any statements to the effect of needing the detectives to work the polls? 5 emergency quit out on the phone or -- I 5 A The detectives never -- He never 6 A No, he never did. I 6 asked the detectives to work the polls because 7 Q Since it appears that you're friendly with Mrs. Rebert -- 7 I he was always unopposed, so there was no need 8 ! 8 for anybody to work the polls. 9 10 A Q Yes. -- I was WOnderLllg if she ever told 110 9 ! Q Okay. But do you recall him ever making that type of statement? 11 you that? III A No. He always wanted the chief 12 A No. ! 12 county detective to be aware that if anything 13 (Mr. Jacob and client confer 113 happened at the polls, that they were available. 14 privately.) 114 Q Fair enough. Did you ever stuff 15 BY lvlR. JACOB: 115 envelopes at the office for Mr. Rebert's 16 Q Going back to Ken Ingle and the 11 6 political campaign? 17 circumstances surrounding his retirement, do you 7 11 A Yes. 18 know if Paul Crouse was ever aware of the i 18 Q Did you ever solicit money for J 9 -- f"nroprv Q1;-"at;rm b-.JJ..J U...l,l. ....... J..'V .... ;~,,~h,;~~ ",,r~ T~gle') ...I,v.u JJ..J.YV.1Y.1.1.15 .iYl..l. il.i : II 19 persons to attend the country club functions -- 20 A Prior to him firing him or -- \ 20 A No. 21 Q Well, we just agreed that -- i 21 Q -- in regard to the campaign? 22 A I mean -- ! I 22 A No. 23 Q -- he voluntarily quit. I 23 Q And you never were involved in a 24 A Before -- 124 collection or solicitation of money for that? 25 Q Was he aware of the discovery that I 25 A Ifhe would bring the checks in,