Page 5651
1 Tuesday, 28 May 2002
2 [Open session]
3 [The accused entered court]
4 --- Upon commencing at 9.04 a.m.
5 JUDGE MAY: Various matters left over from yesterday. Mr. Nice,
6 while it's in my mind, the matter you -- which was referred to yesterday,
7 and I asked you perhaps to look into it, have you had any further
8 consideration?
9 MR. NICE: I've had a few further thoughts. I realised myself
10 this morning that I omitted to provide anything in writing, which I'd
11 effectively agreed to do yesterday. I don't actually know that even if I
12 had remembered yesterday afternoon I would have had the resources, but if
13 I can come back to that later this morning, I would be grateful.
14 JUDGE MAY: Yes.
15 MR. NICE: But there is something of a precedent in Blaskic, and
16 I'll try and get chapter and verse of that.
17 JUDGE MAY: Thank you.
18 MR. NICE: Your Honour has another point.
19 JUDGE MAY: I think Mr. Milosevic wants to raise some matters
20 MR. NICE: Can I raise two points while I'm on my feet, one to
21 which he may want to respond. In relation to yesterday's witness K5,
22 criminal record matters were raised with him. He denied them all. If the
23 accused has records of the courts concerned - and he was giving numbers -
24 then it would be administratively helpful and probably proper for them to
25 be provided to us through the Registry for us to consider, and I'd invite
Page 5652
1 him to make those available.
2 JUDGE MAY: Yes.
3 MR. NICE: The second point is in relation to the process whereby
4 witnesses are subject to 92 bis'ing at Court. I'm not sure that I like
5 the shorthand advantageous though it is, to say one "bises" a witness, but
6 I'm afraid that's what we do say that. The long form is too long, the
7 short form is too short.
8 That process, at court, is said by the Registry to require five
9 full working days of notice to them by us before an appointment can be
10 made. It's effectively impossible for us to give precise notice for
11 various witnesses and there are, I think, two or it may be even three
12 witness here at court today, or coming today, for whom short-term 92 bis
13 process would be desirable and would save time. I am don't know if the
14 court is going to be able to intercede on our behalf or help, but that's a
15 problem we're facing.
16 As we were discussing it this morning, one of my colleagues
17 helpfully said, well, maybe the answer is simply effectively to bis at
18 Court, that is, the witness comes here and is allowed to say, yes, I have
19 got through this statement and that statement, and it is true. It's
20 something we did, I think, once in Kordic when the Court was very pressed
21 for time. We did it then actually not with a statement but with a
22 summary, but of course, the trouble with doing that as a shorthand method
23 is it then obviates the need altogether for the 92 bis procedure and it
24 might be thought to be contrary to the purpose of the Rules. But those
25 are a couple of problems we are facing.
Page 5653
1 And so far as K12 is concerned, I think he's outstanding for
2 decision as to whether he's properly subject to the 92 bis procedure. If
3 you haven't had him, then that -- I'm giving you incorrect information. I
4 understand we're waiting for a decision on that.
5 JUDGE MAY: I have to tell you, I don't recollect K12.
6 MR. NICE: Let me check with Ms. Graham, rather than take time,
7 when it was provided.
8 JUDGE MAY: I think we've had that statement.
9 MR. NICE: Our recollection is last Thursday, but we'll check and
10 provide again.
11 JUDGE MAY: But while we're dealing with it, it may be convenient.
12 We've had the statement of Mr. Hendrie.
13 MR. NICE: Yes.
14 JUDGE MAY: The statement has been served on us and although it
15 may be he has not been through the procedure, it would appear at least
16 prima facie that he is a witness to whom 92 bis could apply, subject to
17 any submissions which are made by anybody else.
18 MR. NICE: I'm grateful. He's certainly one of the ones for whom
19 short-term bis'ing process would be helpful.
20 JUDGE MAY: Perhaps I could refer to the Registry and ask them if
21 it's at all possible to make facilities in this particular case although
22 we understand, of course, they are pressed.
23 MR. NICE: Thank you, Your Honour. I --
24 JUDGE MAY: Before we turn to Mr. Milosevic's exhibits, there are
25 some matters I need to do. I need to give a ruling in the case of Mr.
Page 5654
1 Kelly, but before I do that, we ought to deal with some practical matters.
2 Tomorrow, the accused has his dental appointment, so we won't
3 start until 10.30. Is General Maisonneuve here or not?
4 MR. NICE: He will be. He will be here, yes. Incidentally, in
5 relation to Mr. Kelly, although I'd said that you'd had the jurisprudence
6 on earlier occasions, I was hoping to make further argument to you about
7 the scope of his evidence, and indeed I had planned to take him through
8 the non-controversial -- if there is any controversy about his evidence,
9 the non-controversial part of his evidence first in order to explain, if
10 there's any doubt about it, why his report in full should be admitted, and
11 I'd like the opportunity to do that. It won't waste any time because the
12 non-controversial part, geography and matters of that sort, will be --
13 will have to be before you in any event.
14 JUDGE MAY: So you -- you would propose to call him and then make
15 the application.
16 MR. NICE: Go through the evidence of geography and the bare bones
17 of what his investigation was, and then make the application after that.
18 JUDGE MAY: Very well. We'll deal with it in that way.
19 MR. NICE: Thank you.
20 JUDGE MAY: But going back to General Maisonneuve, he's here
21 Wednesday, and he can be available for some days, can he, or what is the
22 situation?
23 MR. NICE: I think he can only be available for the one day. The
24 Chamber indicated last week that, subject to argument, parts of his
25 statement might be apt for the 92 bis procedure, and Mr. Ryneveld, who
Page 5655
1 will be taking him, has identified what he believes to be those that are
2 and those that are not. That, therefore, would mean that his evidence
3 will be shorter in duration than otherwise. We would hope that he can be
4 completed in the day.
5 Whether he has flexibility to extend his stay, I don't at the
6 moment know, but he came on an earlier occasion and it was certainly
7 difficult to timetable him.
8 JUDGE MAY: Obviously he should be called tomorrow morning.
9 MR. NICE: Yes.
10 JUDGE MAY: He may have to be interposed.
11 MR. NICE: Yes. We're working on the basis of wrapping other
12 evidence around his timetabled appearance.
13 JUDGE MAY: Very well. Tomorrow will be 10.30, so it will be a
14 short day in any event, but we'll have to see how that day transpires.
15 While we're dealing with the timetable, Friday will also be a
16 short day, 9.00 until 11.45. We have to deal with argument in another
17 case later in the day that day. But we should, that morning, deal with
18 the -- your application to vary our January order, which means we ought to
19 be reviewing the case as a whole.
20 MR. NICE: Arrangements are being made so that can be dealt with
21 expeditiously on Friday, but I think a lot of topics are going to arise.
22 I've got my own list of issues to raise with you which will affect
23 evidence in this and the other cases or may start the process of affecting
24 the evidence in this and the other parts of the case, as well as
25 responding to your particular concerns in the Scheduling Order, so I hope
Page 5656
1 there will be enough time.
2 JUDGE MAY: Can you give us notice of that so we can consider how
3 long to allow for it? But we will have to adjourn this case at 11.45 on
4 Friday.
5 Unless there are any other matters --
6 MR. NICE: Not at the moment.
7 JUDGE MAY: Mr. Milosevic, you were dealing last night with -- or,
8 rather, yesterday afternoon when we adjourned, with some exhibits that you
9 wanted admitted. Could you tell us briefly what they are, and we'll
10 consider them.
11 THE ACCUSED: [Interpretation] In the briefest possible terms. In
12 connection with Mr. Merovci's testimony. Point 1 I have is the question
13 that has to do with the LDK. It was supposed to take part in the
14 elections in Serbia, but their assessment was that they would not win more
15 than 15 seats in parliament, which is what they had then. That was my
16 assertion, and I am submitting this to you by way of an exhibit or,
17 rather, the material that the opposing party had actually made public or,
18 rather, disclosed.
19 It says, Rugova about the platform of the Democratic League of
20 Kosovo. The number 030 --
21 THE INTERPRETER: The speaker will have to slow down when giving
22 numbers. Could the numbers please be repeated?
23 JUDGE MAY: We're asked by the interpreters, could you repeat the
24 numbers slowly, please.
25 THE ACCUSED: [Interpretation] The number of the document, the
Page 5657
1 Serbian version, is 03037052, paragraph 3, and the last one. And the
2 English version is K0214130. So it is 021410, paragraph 3. And I'm
3 submitting only the Serbian version to you. That is one point I wish to
4 make.
5 Number 2, as for Witness Merovci and Rugova and his party, that
6 they -- they said that I told the international community that there would
7 be a radicalisation in Kosovo at that time.
8 JUDGE MAY: Mr. Milosevic, we don't want to go over it all again,
9 with respect. I don't --
10 THE INTERPRETER: Microphone, please.
11 THE ACCUSED: [Interpretation] I just want you to link all of this
12 up together.
13 JUDGE MAY: We can do that. We've heard the evidence, and we can
14 see whether it's relevant or not. Now, why can't you hand in both the
15 Serb and the English versions of the documents?
16 THE ACCUSED: [Interpretation] In this case, no, I only have the
17 version in Serbian. But you will find the English version because I've
18 given you the number.
19 JUDGE MAY: If you hand in the documents now, we can then consider
20 them. But we can't really waste a lot of time going over them.
21 THE ACCUSED: [Interpretation] You are not considering anything.
22 I'm just giving you the number of documents. This has to do with the
23 warning concerning radicalisation. The Serb version is 03036489,
24 paragraphs 3 and 8, and the English version is K0214097, paragraphs 2 and
25 7, and I'm submitting both the English and Serbian versions to you. So
Page 5658
1 that's a different matter altogether.
2 Now, point number 3. In relation to the question that had to do
3 with the green light for union with Albania, I am submitting yet again
4 another paper, 03036366, paragraphs 4 and 5. And the English version is
5 214092, paragraphs 4 and 5, and I'm submitting both the Serbian and the
6 English versions to you.
7 Point number 4, the plan for a secession, for the secession of
8 Kosovo. Evidence of that concerning international protection, the Serb
9 version is 03036508, paragraph 5, and the English version is K0214118,
10 paragraph 4. I am submitting both the English and Serbian versions to
11 you.
12 Point number 5. As for the attitude of their party towards the
13 KLA as extremists, I'm submitting to you the Serb version, number
14 03036356, and the English version is 00805327, and I'm submitting both the
15 English and Serbian versions to you. So that's that.
16 Last but not least, point number 6, the question that had to do
17 with the Hill plan and the draft related to Kosovo. The Serb version is
18 03036534, and the English version is 00805325 and 0080526. So I'm
19 submitting that to you as well.
20 So that would be it. And I haven't got anything left on that
21 score, but Mr. Ognjanovic is going to submit a cassette as well, the one
22 that you requested, the one that I quoted. It would have been submitted
23 to you earlier, but the explanation he got, my associate, when he wanted
24 to come and bring it to me on Friday, was that he could not bring a
25 cassette in, into the prison, that is, because this was not approved by
Page 5659
1 the Registrar. And the explanation was that for every cassette that is
2 brought to me to prison, there has to be an individual approval given by
3 the Registrar. So could you please have that clarified. If I have the
4 right to have my associates bring me documents related to this case, I
5 should think that it also has to do with cassettes as well. And then if
6 he says the previous day that he is going to bring legal documents, that
7 is to say documents, cassettes, et cetera, could you please look into this
8 and see whether each and every time every tape has to be submitted to the
9 Registrar and then does this communication with prison have to go through
10 the Registrar?
11 That would be about it. As you can see, I've been quite brief.
12 You have all six exhibits here.
13 JUDGE MAY: Let us have the exhibits. If the usher would collect
14 them, please. If the registrar would hand them up. And we'll also ask
15 her to look into the matter of the cassette too, if you would.
16 Very well. We will hand these now to the Prosecution to look at
17 and see if there's any objection. Otherwise, they will be exhibited.
18 Mr. Milosevic, the other point you were asked about was the
19 question of court records referred to yesterday. You asked about some
20 court records. You referred to them. Do you have any copies of those
21 records available for the Court so we can check them out?
22 THE ACCUSED: [Interpretation] I have the numbers, the ones that I
23 mentioned. I haven't got the copies of the court records, but they can be
24 obtained, because the court records from Urosevac are actually kept at the
25 court in Nis. So the court authorities of Yugoslavia have got them.
Page 5660
1 JUDGE MAY: Very well.
2 Mr. Nice, if you could pursue that matter, obviously it would be
3 helpful.
4 MR. NICE: Yes. We will pursue that. It will, of course, take
5 some time. And there's no guarantee of success. It depends on the
6 cooperation of the authorities. As to these exhibits, it's probably safer
7 if I hand back the Serb versions now than run the risk of them getting
8 lost in our paperwork. If the Registry could hang on to them. We'll
9 check the English versions when we've dug them out and will respond
10 whether we have any objections.
11 JUDGE MAY: It may be convenient then for them to have exhibit
12 numbers, at least for identification at the moment.
13 MR. NICE: I think that would be sensible. I've still got some
14 outstanding issues on newspaper articles to come back on.
15 JUDGE MAY: Yes. It may be convenient if we call the evidence now
16 while the registrar decides on numbers for those and in due course we can
17 come back to them.
18 MR. NICE: Apparently the English versions were there already, so
19 I'm wrong, I can work on those documents and will work on them today.
20 JUDGE MAY: Let the registrar have them for the moment and give
21 them numbers and then you can have them and see if there's any objection.
22 Now, can we go on with the witness, please.
23 MS. ROMANO: William Robert Fulton. Madam Registrar, I will be
24 using with this witness Exhibit 166 is the binder for Suva Reka, and I
25 would ask, if possible, the witness be given one set of the binders. It's
Page 5661
1 the second binder of Suva Reka. And also Exhibit 167 is the Meja binder.
2 And Your Honours, I also ask permission for the witness to refer
3 to his notes. I think you have a copy of his summary and he is an
4 investigator who was in Belgrade and he participated in monitoring the
5 mass graves, the exhumations, and he took extensive notes.
6 [Trial Chamber confers]
7 JUDGE MAY: Yes, he can refer to his notes.
8 MS. ROMANO: Thank you
9 [The witness entered court]
10 THE WITNESS: I solemnly declare that I will speak the truth, the
11 whole truth, and nothing but the truth.
12 JUDGE MAY: If you'd like to sit down.
13 WITNESS: WILLIAM ROBERT FULTON
14 JUDGE MAY: Yes.
15 Examined by Ms. Romano:
16 Q. Can you give us your full name, please.
17 A. William Robert Fulton.
18 Q. Mr. Fulton, I will ask you to pause between questions and answers
19 in order for the interpreters to do their work.
20 Mr. Fulton, you were a police officer holding the rank of
21 detective sergeant in the Royal Ulster Constabulary, now renamed the
22 Police Service of Northern Ireland, for 23 years; is that correct?
23 A. That's correct, Your Honour, yes.
24 Q. Have you been involved in organisational training in
25 identification of dead bodies in major disasters?
Page 5662
1 A. Yes. I was a co-author of the RUC's Contingency Plan on the
2 Recovery and Identification of Dead Bodies at Major Disasters.
3 Q. You were seconded to the British forensic team to work in Kosovo
4 in September and October 1999, and again in 2000 for the exhumation work;
5 is that correct?
6 A. Yes, that's correct.
7 Q. You have been currently working as an investigator for the Office
8 of the Prosecutor since May 2001; is that correct?
9 A. Yes, that's correct.
10 Q. Mr. Fulton, on June 6, 2001, you were assigned to work in the
11 field office in Belgrade. Yes or no.
12 A. Yes, that's correct.
13 Q. Who assigned you to this work, and what was your work over there?
14 A. I was assigned to go to Belgrade by my team leader, Mr. Kevin
15 Curtis, to monitor the exhumation process that was scheduled to start
16 within the boundaries of Serbia.
17 Q. How many sites in total have you monitored?
18 A. During my time in Serbia, there was four sites. However, I was
19 involved in the monitoring of two of them. However, I did visit all four
20 sites.
21 Q. Can you -- can you name the sites for the Court?
22 A. There was two in an area called Batajnica, one in Petrovo Selo --
23 actually, two in Petrovo Selo, both very, very close to one another, and
24 the other in the area of Lake Perucac.
25 MS. ROMANO: Can I have the witness shown this map. The accused
Page 5663
1 and the amici, they have already, and I have copies for the Court here.
2 It is a map of Serbia where is shown the location of the mass graves and
3 exhumation sites.
4 Q. Witness, with the help of the map when you have it, can you show
5 to the Court the location, the exact location of the sites?
6 A. Yes. The first site I attended was on the outskirts of Belgrade,
7 approximately 20 kilometres, in Batajnica.
8 Q. Can you please point to the location of the site.
9 A. This is Batajnica. The next site that I attended was the one in
10 Petrovo Selo, which is here. Of course there was two in Batajnica. And,
11 finally, there was one in Lake Perucac.
12 Q. Thank you.
13 MS. ROMANO: The Prosecution submits the map into evidence.
14 THE REGISTRAR: Prosecution Exhibit 172.
15 MS. ROMANO:
16 Q. Mr. Fulton, these exhumations relate to mass graves that have been
17 recently discovered in Serbia. Can you please tell the Court how did
18 these mass graves came to be discovered and who was in charge of this
19 investigation?
20 A. Information received at the Office of the Prosecutor, primarily
21 from media reports, there was an investigation carried out as a result of
22 a -- what's known as the freezer lorry in the Danube, quite close to a
23 village called Tekija, that was investigated by Captain Dragan Karleusa.
24 He's deputy chief of police of the MUP. And it was alleged to contain
25 bodies of victims who had been killed in Kosovo.
Page 5664
1 Q. Can you explain, if you can, with more details how was this
2 investigation in the lorry or if you know that? When was this lorry
3 discovered and when the investigation started?
4 A. My understanding is that the lorry was discovered in the River
5 Danube in April of 1999. The investigation initiated by the MUP would
6 have been sometime later, certainly within 2001, which in turn led to the
7 identification of an area, the first Batajnica site, that was selected for
8 exhumation.
9 Q. And as a result of this investigation, it was believed that these
10 mass graves contained bodies of persons killed in Kosovo during the
11 conflict; that's correct?
12 A. That was the indication, yes.
13 Q. And has the Office of the Prosecutor established any connection
14 between the bodies and the victims named in the second amended indictment
15 later on?
16 A. As a result of the exhumation that was carried out by the experts
17 from the Institute of Forensic Science in Belgrade who carried out the
18 duty at the exhumation site of Batajnica 1, a number of items of
19 identification were recovered that would tend to indicate that these
20 identifications belonged and referred to people from Kosovo and
21 principally from Suva Reka.
22 Q. Who carried out the exhumations, all the exhumations?
23 A. The exhumations were performed, as I say, by members of the
24 Belgrade Institute of Forensic Medicine under the direct -- the person in
25 charge was Professor Dusan Dunjic and members of his staff involved in
Page 5665
1 that.
2 Q. Have they finished all the exhumation work?
3 A. My understanding is that all the -- all sites were identified by
4 Captain Karleusa. On the second Batajnica site, there is still two more
5 mass graves to be exhumed there. They have not been started as of -- to
6 date.
7 Q. And has the Office of the Prosecutor received all the reports,
8 preliminary or final, of the exhumations that have been already concluded?
9 A. The Office of the Prosecutor has received, following an official
10 request, the complete forensic reports concerning the first Batajnica site
11 and the photographs that led to that. All other sites, although
12 requested, have not been forwarded to us as yet.
13 Q. But the Office of the Prosecutor has requested to obtain these
14 reports?
15 A. That's correct, yes.
16 Q. Were you assigned to monitor the exhumation process while they
17 were being performed?
18 A. Yes, I was.
19 Q. And can you describe your role.
20 A. My role was purely non-interventionist. I was there simply to
21 monitor the procedures of how the exhumation process took place, the
22 evidential recording, and anything of any significance that was found at
23 the site.
24 Q. All the information gathered concerning the first site on
25 Batajnica, Batajnica, is contained in a binder that you compiled with
Page 5666
1 other members of the Office of the Prosecutor; is that correct?
2 A. That's correct, yes.
3 MS. ROMANO: Can I have the witness shown or given Suva Reka, the
4 second binder of Suva Reka, Exhibit 166.
5 Q. Batajnica was the first site that you attended. That's correct?
6 A. Batajnica 1 was the first site, yes.
7 Q. In the binder, in tab 29, you have a photo of the exhumation of
8 the site. Can you show the photo to the Court.
9 A. On this.
10 MS. ROMANO: Mr. Usher, if you can help the witness to put the
11 photo on the ELMO.
12 Q. That is the site of the exhumation in Batajnica?
13 A. Yes, that's one of the -- all these photographs were taken by the
14 crime tech, technician, who was working with the exhumation team, and
15 these number of photographs show the topography of the area at the start
16 of the exhumation process.
17 Q. Where was the exact location of this site? Was it in the
18 outskirts of Belgrade?
19 A. Yes, it is in the outskirts of Belgrade, as I referred to, in
20 Batajnica. Directly behind or to the left of this photograph is the
21 boundary fence of a special anti-terrorist unit, the SAJ, and their firing
22 range only a matter of metres to the left. This actually abuts the
23 perimeter fence of this complex and a VJ complex.
24 Q. Who provided you with information about this mass grave?
25 A. The information that was obtained through the police investigation
Page 5667
1 was passed to Belgrade District Court where an investigating judge was
2 appointed.
3 Q. Do you remember who was the investigating judge?
4 A. The investigating judge for the first Batajnica site was Goran
5 Cavlina.
6 Q. And the forensic team was composed of how many people?
7 A. There were a number pathologists who did a rotation. There was
8 anthropologists, archaeologists, and assistants who helped in the actual
9 labour.
10 Q. And when did the exhumations take place and what is the period of
11 time that you attended the exhumations?
12 A. I attended the exhumations from the 10th of June until the 26th of
13 June.
14 Q. Were you the only observer?
15 A. No. There are several other observers from Humanitarian Law
16 Centre, OSCE, ICMP.
17 Q. During the course of the exhumations, were any bodies recovered?
18 And if any, how many?
19 A. The indications that were given to me were that the total number
20 of bodies numbered between 36 -- well, at least 36 to 38 bodies.
21 Q. How many male, female, and children?
22 A. There were 14 females, 13 men, nine children, and one foetus.
23 Q. Were identification items such as documents or clothing also
24 recovered?
25 A. Yes. A number of those items were recovered, yes.
Page 5668
1 Q. And you were -- were you present at the site when these documents
2 were recovered?
3 A. Yes, I was.
4 Q. And were the details contained in the documents given to you?
5 A. Yes, they were.
6 THE INTERPRETER: Please make a pause between questions and
7 answers. Thank you.
8 MS. ROMANO: My apology.
9 Q. So -- and did you also get copies of these documents?
10 A. When the official request was agreed to, we were supplied with
11 photographic recordings of all the identification documents that were
12 recovered.
13 Q. And while you were on the site and the documents were being
14 recovered, what did you do with the information that was given to you?
15 A. The information was passed to me by members of the team. Whenever
16 I was in receipt of that information, I passed it to the Office
17 of the Prosecutor.
18 Q. And did the members of the Office of the Prosecutor in The Hague,
19 did they check their records in order to determine if any of the details
20 matched to the victims of the crimes investigated by our office?
21 A. Yes, they did.
22 Q. And what was established?
23 A. Indications were that these people and the identification --
24 sorry, the identification documents that were recovered referred to people
25 who had been killed in Suva Reka.
Page 5669
1 Q. And from all the documents recovered, how many of them matched
2 with the details from the victims of Suva Reka?
3 A. Of the -- sorry. I can't remember how many now. I think it was
4 -- it was nine documents recovered. And eight of those referred to people
5 who had been killed within Suva Reka.
6 Q. And you mentioned that you later obtained copies of photographs
7 and also forensic reports?
8 A. That's correct, yes.
9 Q. When did you obtain that and from whom?
10 A. Whenever the forensic team had completed their reports, they were
11 handed in to Belgrade District Court. The copies of the forensic reports
12 and the photographs were obtained from the court.
13 Q. And are they compiled in the binder that you have in front of you?
14 A. Yes, they are.
15 Q. Are they -- the forensic reports are compiled on the tabs 34 to 38
16 and 41; is that correct?
17 A. Sorry, what was the numbers again? 38, yes.
18 Q. 34 to 38 and 41.
19 A. Yes. These are the forensic reports as compiled by -- and signed
20 by Professor Dunjic and members of his forensic team.
21 Q. And they relate to the nine identification items?
22 A. Yes, there are considerably more forensic reports. However, these
23 are the ones that refer to the identification documents and the bodies.
24 Q. And the photographs? Are they contained under tabs 19 to 27?
25 A. Yes, they are, Your Honours.
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Page 5671
1 Q. Using the photographs, can you please tell the court the names of
2 the individuals identified and what kind of documents or identification
3 items were recovered that allowed the identification? Maybe you can refer
4 to the index, if you have it.
5 A. Shall I show this one? Because it is in Latin, it shows quite
6 clearly the name.
7 JUDGE MAY: Yes. Put that on, if you would, Mr. Fulton.
8 THE WITNESS: [Interpretation] This photograph is a licna karta,
9 which is an identification document, is associated with body PA09, and it
10 shows the details and the name of Afrim Berisha from Suva Reka.
11 MS. ROMANO:
12 Q. And is Afrim Berisha one of the victims listed in Attachment K of
13 the second amended indictment?
14 A. Yes, Your Honour.
15 Q. What is the name of the second victim?
16 A. The second victim is Nexhmedin Berisha.
17 Q. All the photos contained in tab 20?
18 A. That's correct, yes.
19 Q. They refer to the identification of Nexhmedin Berisha? And what
20 was the item recovered?
21 A. That is a licna karta.
22 Q. The next victim?
23 A. The next identification document is a driving licence in the name
24 of -- I was given initially as Morina Miftar. However, it since has been
25 referred to -- because there is a lot of degradation of these documents.
Page 5672
1 Some were clearly better than others because of the body fluids, there was
2 evidence of burning. I considered it disruption. So some of the details
3 are, primarily in this one, are perhaps not as clear.
4 Q. This person is not listed in Attachment K, but is this person from
5 Suva Reka?
6 A. Yes. Indications are that this person is from the Suva Reka
7 municipality.
8 Q. Thank you. The next person is Hamdi Berisha. Is tab 22.
9 A. That's correct, Your Honour.
10 Q. And where was the document found?
11 A. This one is a licna karta.
12 MS. ROMANO: Your Honours, in order to do it in a more expeditious
13 way, Your Honours want me to go one by one and see all the documents, or I
14 just can refer to the tab and lay it on?
15 JUDGE MAY: We don't have to see the documents but just refer to
16 them.
17 MS. ROMANO: To them. Okay.
18 Q. So, Mr. Fulton, can you just refer to the name and what was the
19 document found and the tab that can be located. You can use the index.
20 So the next person would be Hamdi Berisha. Where was the
21 document? Excuse me, we passed already Hamdi Berisha. It is Fatmira
22 Berisha.
23 A. Fatmira Berisha, yes.
24 Q. Where was the document found?
25 A. This document was found in items of loose clothing and it contains
Page 5673
1 a licna karta which relates to the name of Fatmira Berisha.
2 Q. And Hamdi Berisha and Fatmira Berisha are listed in Attachment K
3 of the amended indictment?
4 A. That's correct, Your Honour, yes.
5 Q. You also have a health care on the name of Hamdi Berisha?
6 A. Yes. I've been told that this is a health insurance card in the
7 name of Hamdi Berisha.
8 Q. It's the same Hamdi Berisha as was in the licna karta or are
9 different persons?
10 A. I can't determine that.
11 Q. The next would be Vesel Berisha.
12 A. Yes. There was a considerable amount of documents recovered with
13 this body. I'm sorry.
14 Q. And in tab 25?
15 A. That's correct.
16 Q. Hasan Bytyqi?
17 A. This is a licna karta and a driving licence in the name of Hasan
18 Bytyci. There is also a vehicle registration licence in the name of Zoga
19 Mehdin.
20 Q. And what is the tab? 26?
21 A. Twenty-six.
22 Q. And is this person from Suva Reka?
23 A. That's correct, Your Honour, yes.
24 Q. The next one would be Musli Berisha?
25 A. Twenty-seven. Yes, licna karta in the name of Musli Berisha.
Page 5674
1 These last number of items apart from the first two were found in items of
2 loose clothing of which there was a considerable amount.
3 Q. I think we covered all the nine.
4 Mr. Fulton, was there another attempt to identify the bodies and
5 remains recovered from this site using other means of identification?
6 A. Ordinarily, it is possible to identify bodies comparing antemortem
7 data, which is data pre-death, to the post-mortem data that is recovered
8 at the exhumation. Because of the nature of the bodies, where there was
9 considerable fracturing and commingling and burning, it was clear that we
10 would have to use the facility that could be afforded by DNA process.
11 Q. And did Belgrade -- did Belgrade have facilities such like that?
12 A. It was established that Belgrade did not have the facility to
13 carry out such a DNA analysis.
14 Q. So what was done?
15 A. A facility was agreed by a DNA facility in Madrid who would
16 process the samples that were obtained from Batajnica 1 for the purpose of
17 DNA identification.
18 Q. So on 21st November, 2001, you accompanied Professor Dunjic to
19 Madrid?
20 A. That's correct, Your Honour, yes.
21 Q. To the Instituto Nacional do Toxicologia.
22 A. That is correct, yes.
23 Q. And has a preliminary report already been prepared?
24 A. Professor Dunjic took the samples and delivered them to the
25 institute in Madrid, and they -- and a preliminary result has been
Page 5675
1 supplied by this institute.
2 Q. And how did the samples from the relatives of the victims, how did
3 they -- how did they -- how were they gathered?
4 A. There was blood samples from the remaining members of the families
5 of people from Suva Reka were obtained from the institute -- or from the
6 ICMT -- the ICMP, I apologise.
7 Q. And has the Office of the Prosecutor received this preliminary
8 report?
9 A. Yes, this report has been sent to the Office of the Prosecutor and
10 to Professor Dunjic in Belgrade.
11 Q. And is this the report that is in tab 28?
12 A. That's correct, Your Honour, yes.
13 Q. And what were the preliminary findings contained in this report?
14 A. There are conclusions in this report from the Madrid institute
15 that would indicate that there is a genetic link between a sample from
16 body BA34 and BA52 to a blood sample that was obtained from the relatives
17 of the victims from Suva Reka.
18 Q. And the photographs related to these two bodies are in tabs 31 and
19 32 of the binder?
20 A. Actually, in 30, 31, and 32.
21 Q. And has the Office of the Prosecutor also received the forensic
22 report related to these two bodies?
23 A. Yes, that's correct.
24 Q. And are they in tabs 39 and 40?
25 A. Yes, that's correct.
Page 5676
1 Q. This analysis will be forwarded to the coordination centre for
2 Kosovo for formal identification?
3 A. Yes. The procedure over there is the formal identification has
4 yet to be made. However, the -- it's a case of getting the DNA analysis,
5 the antemortem data and the post-mortem data to make a formal
6 identification.
7 Q. In the binder also there is a photo of the site after the job of
8 the exhumation and the work was concluded. I believe this is in tab 33.
9 A. Yes, that's correct, Your Honour.
10 Q. Can you please show the Court. What does the photo show?
11 A. That's one photograph of the site at the conclusion and the
12 exhumation of all the bodies and all associated materials. You will see
13 that there is a number of railway sleepers that have been laid along the
14 floor of the pit, and there's also evidence of burning.
15 Q. And what does this indicate?
16 A. The conclusions, it would appear that there has been an attempt to
17 destroy the bodies by fire.
18 Q. I don't think we will be needing any more the binders.
19 Mr. Fulton, all the information that the Office of the Prosecutor
20 was asked regarding the work done in the three other exhumation sites are
21 only your notes?
22 A. That's correct, Your Honour, yes.
23 Q. So the Office of the Prosecutor has not received yet the
24 conclusions or the photographs?
25 A. I understand that the photographs and the forensic reports of the
Page 5677
1 second Batajnica site that was performed by the Belgrade institute have
2 been forwarded to the Court. However, we have not been receipt of them
3 yet.
4 Q. Can you give the exact location of the second exhumation site?
5 It's also in Batajnica, but the exact location?
6 A. The second Batajnica site, as I referred to earlier, is a short
7 distance from the first one. However, this one is actually -- was found
8 to be inside the SAJ compound and on the firing range.
9 Q. And again, who provided you with information?
10 A. This information was given by the courts.
11 Q. And who was the investigative magistrate?
12 A. The investigating judge, appointed by the president of the court
13 for the second Batajnica site was Judge Milan Dilparic.
14 Q. How long did the exhumation last?
15 A. The exhumation from the second Batajnica site lasted from the 10th
16 of July until the 15th of September.
17 Q. And did you attend during all at that time?
18 A. Yes.
19 Q. During the course of this exhumation, how many bodies, if any,
20 were recovered?
21 A. It has been indicated to me that the bodies of at least 269 people
22 have been recovered from this one site.
23 Q. Were any of these bodies identified?
24 A. There's been no identification of any of those bodies so far.
25 Q. And were identification items - again such documents, clothing -
Page 5678
1 also recovered?
2 A. Yes, there was a number of identification documents recovered,
3 Your Honour.
4 Q. Do you remember how many?
5 A. There was 11, I believe.
6 Q. And were you on the site when these documents were recovered?
7 A. Yes, Your Honour.
8 Q. Were the details contained in these documents given to you?
9 A. Yes, the details were given to me by members of the team.
10 Q. And again, what did you do with this information?
11 A. Whenever this information came into my possession, it was
12 forwarded it the Office of the Prosecutor.
13 Q. And did the members of the Office of the Prosecutor in The Hague
14 check their records in order to determine if any of the details matched to
15 the victims of any of the crimes investigated by the office?
16 A. That's correct, yes.
17 Q. And which record was use by the members of the OTP in this case?
18 A. They used the ICRC register.
19 MS. ROMANO: Can I have the witness shown the binder of Meja,
20 Exhibit 167, tab 2. It's the list of missing persons from the
21 International Committee of the Red Cross.
22 THE INTERPRETER: Would the Prosecutor kindly slow down a little.
23 MS. ROMANO: I'm sorry. I will try my best.
24 Q. What is exactly this document, Mr. Fulton?
25 A. This records the details of persons who are -- have been reported
Page 5679
1 missing as recorded by the ICRC and from where, and as much detail -
2 father's name, date of birth - as is possible.
3 Q. And what was established from all the documents recovered? How
4 many of them matched with the details of people listed in the records?
5 A. Of identification documents recovered, I believe there was nine
6 that referred to people who appear in the ICRC register.
7 Q. I believe it was eight.
8 A. Eight. My apologies.
9 Q. The first one would be Ali Bajrami. And if you can turn to page
10 61 of the ICRC list.
11 MS. ROMANO: Can the usher please help the witness to put the --
12 that page on the ELMO.
13 Q. Ali Bajrami is listed as to have -- a person to have disappeared
14 on the 27th of April, 1999, in Meja. What was the document found in the
15 exhumation sites that connected to this person?
16 A. This was a licna karta in the name of Ali Bajrami, father's name
17 Kadri.
18 Q. The second person will be Simon Sokoli, and you can use page 67
19 this time and point to the court the location of the name. Can you point
20 on the ELMO, please. And what was the document found?
21 A. This again was a licna karta associated with body number 177 that
22 was removed from this grave.
23 Q. And did the details contained in the licna karta match with the
24 details in the record of the ICRC?
25 A. Yes, they did, Your Honour.
Page 5680
1 Q. The other person would be Sezai Rama, and it's listed on page 66.
2 I don't think we need to continue showing or putting on the ELMO. I would
3 just ask you to refer to what was the -- what was the identification item
4 found that allowed the match.
5 A. This was a health care card, Your Honour.
6 Q. And is it Shyt Hasanaj is listed in the record on page 63 what was
7 the document found?
8 A. This was a licna karta on body 221.
9 Q. Krist Sokoli, ICRC list page 67.
10 A. This was a licna karta.
11 Q. Gani Smajili, page 67 as well?
12 A. This again was a licna karta that was found on body 240.
13 Q. Qun Bib Krasniqi. It's on page 60.
14 A. Sorry, what page again?
15 Q. Page 60. This person is listed as missing from Korenica on the
16 27th of April, 1999.
17 A. Sorry, could I have that name again?
18 Q. Krasniqi Qun Bib.
19 A. Yes. Yes. That's correct, Your Honour, yes.
20 Q. The search does not really identify the missing person but
21 identified, I believe, an individual named Ndue Krasniqi.
22 A. That's right. Date of birth 12th of 1st, 1966. He has a father
23 named Bibe.
24 Q. Can you clarify to the Court how this conclusion was reached?
25 A. Well, as you referred to, the search does not readily identify a
Page 5681
1 missing person of this name, however, there is a close correlation between
2 this individual and the one in the ICRC register on page 60.
3 Q. So the conclusion was that Bibe Krasniqi probably is the father of
4 the Ndue Krasniqi; is that correct?
5 A. Yeah, there's a possibility, yes.
6 Q. Brahim Gaxherri, and it's listed on page 62.
7 A. Yes. This was a licna karta in the name.
8 Q. We have the eight people. Mr. Fulton, what was the third site
9 that you visit?
10 A. There was some overlap in a number of exhumations that were going
11 on. The next site I attended was on the 27th of June, was the site of
12 Petrovo Selo.
13 Q. And again the Office of the Prosecutor does not possess any -- any
14 report or photographs from this exhumation?
15 A. That's correct, Your Honour, yes.
16 Q. And while you were there, what did you monitor or observe?
17 A. While the exhumation process was going on, I had only time for a
18 short visit. However, information was passed to me. The exhumations at
19 this site took place from the 24th of June until the 5th of July.
20 Q. And how many bodies, if any, were recovered?
21 A. From the first site in Petrovo Selo, there were 16 bodies, all
22 male; and from the second site, there were 57 bodies, seven of which were
23 female.
24 Q. And were you able to ascertain any body or any documents? Were
25 you given any documents of any of the bodies?
Page 5682
1 A. I was informed that there had been a number of identification
2 documents found from the first site. There was a document that referred
3 to the names of three people by the name of Bytyqi.
4 Q. And what was done?
5 A. This in turn led to, I believe, to be from Kosovo. However, they
6 were American citizens from Chicago, United States of America.
7 Q. And was -- was any record checked in order to obtain this
8 identification?
9 A. This information obtained through the -- at that time through the
10 HRC, was able to lead us to indication that these were three brothers by
11 the name of Agron, Mehmet, and Ylli.
12 Q. And were these three brothers reported as missing?
13 A. Yes. They were reported missing to the ICRC from a prison near
14 Nis on the 8th of July, 1999.
15 Q. And what was recovered from the second site in Petrovo Selo?
16 A. There was five further documents recovered, three of which refer
17 to people that correspond with details contained in the ICRC register.
18 Q. Can you give us the three names and the document that was found
19 and how -- where they report as missing?
20 A. There was a licna karta in the name of Iljaz Muslija, who
21 disappeared on the 1st of the 4th, 1999 from Izbica.
22 Q. And is this person listed in the ICRC list page 40?
23 A. I have a reference number, which is SRB BLG 804238.
24 Q. What is the second person?
25 A. There is a licna karta found in an item of clothing in the name of
Page 5683
1 Hysen Mehmeti.
2 Q. And is this person reported disappeared?
3 A. These details correspond to the ICRC register of a person who
4 disappeared on the 24th of May 1999 from an unknown location.
5 Q. Is this on page 85 of the ICRC list? You don't have the list with
6 you?
7 A. I don't have the list, I'm afraid.
8 Q. Page 85.
9 A. Yes, it does, Your Honour.
10 Q. And -- and the third person?
11 A. Is a licna karta in the name of Nazmi Gradina.
12 Q. And this person's reported missing from where and when?
13 A. This corresponds to ICRC register who disappeared on the 24th of
14 5th 1999.
15 Q. It's on page 85 as well?
16 A. Yes, that's correct, Your Honour.
17 Q. Thank you. The last site, the fourth site in Lake Perucac, can
18 you again give us the exact location and the exhumations took place --
19 when did they take place?
20 A. The exhumations took place from the 6th to the 14th of September,
21 2001 in Lake Perucac. It was given, such as BA or PS, it was given the
22 identification moniker of D as the exhumation site itself was where the
23 river Derventa went into the lake.
24 Q. And how many bodies, if any, were recovered?
25 A. These bodies were again charred, skeletal, and had a considerable
Page 5684
1 amount of fractures. The indications are that there was at least 48
2 bodies recovered from that exhumation site.
3 Q. And were any of the bodies identified?
4 A. There's been no identifications taken place on these bodies.
5 Q. And documents or items?
6 A. It was brought to my attention two identification documents were
7 found.
8 Q. What kind of documents and what are the contents or the details
9 contained in these documents?
10 A. The first one is a licna karta that was found in an item of
11 clothing in the name of Gezim Deva.
12 Q. And who is this person and is recorded as missing somewhere?
13 A. This person is recorded as missing from Djakovica on the 31st of
14 the 3rd 1999.
15 Q. And is also part of the record of the ICRC list?
16 A. Yes.
17 Q. It's page 37?
18 A. Thirty-seven, that's correct, Your Honour, yes.
19 Q. And where was the second document recovered?
20 A. This was a driving licence in the name of Skeljzen Binishi, who
21 refers to a person missing from Djakovica on the 31st of the 3rd 1999.
22 Q. And is this person also on page 37 of the ICRC list?
23 A. Here it is. I'm just having some difficulty honing in on it. Ah,
24 yes.
25 Q. Thank you. Mr. Fulton, you followed the exhumation process
Page 5685
1 throughout the period in Belgrade. According to your experience and
2 identification of dead bodies, were the work conducted professionally and
3 in an adequate manner?
4 A. Absolutely.
5 MS. ROMANO: No further questions, Your Honour. Thank you.
6 JUDGE MAY: Thank you. Yes, Mr. Milosevic.
7 Cross-examined by Mr. Milosevic:
8 Q. [Interpretation] [No interpretation]
9 JUDGE MAY: There's no interpretation. Would you repeat that,
10 please, Mr. Milosevic. It doesn't seem to have been translated.
11 THE ACCUSED: [Interpretation] Of course I'll repeat it, yes.
12 MR. MILOSEVIC: [Interpretation]
13 Q. Mr. Fulton, you are a professional policeman, aren't you?
14 A. I'm a police officer, yes.
15 Q. What kind of police work do you do? What is your speciality, so
16 to speak? Do you work on the discovery of crimes or is it something else?
17 You are a detective, if I understood what was said correctly.
18 A. Yes, I am, Your Honour. I've been a detective for over 18 years.
19 Q. Very well. Tell me, how long did you stay in Yugoslavia
20 altogether?
21 A. I went to Yugoslavia on the 6th of June last year.
22 Q. First time?
23 A. In Serbia, yes.
24 Q. You returned?
25 A. Yes. I've been back many times.
Page 5686
1 Q. Yes. But the question was: How long did your stay in Yugoslavia
2 last?
3 A. I've been assigned to Yugoslavia from the 6th of June last year,
4 and I remain assigned to Belgrade to date.
5 Q. Now I understand. So you've been in Belgrade for almost a year
6 now; right?
7 A. That's correct, Your Honour, yes.
8 Q. During that year, have you had meetings with representatives of
9 the authorities in Belgrade?
10 A. Which authorities do you refer to?
11 Q. Let me rephrase the question. During your stay in Belgrade, were
12 there any visits from the OTP, from the Office of the Prosecutor that you
13 work for? Were there any visits paid by them to Belgrade?
14 A. I believe so, yes, Your Honour.
15 Q. Did you take part in these meetings that the Prosecutors had with
16 the representatives of the authorities when they travelled to Belgrade?
17 A. Are you referring to the visit made by the Prosecutor to Belgrade,
18 Your Honour?
19 Q. I am referring to her visit and to other visits of the
20 representatives of the OTP.
21 JUDGE MAY: This witness has given evidence about exhumation, and
22 your cross-examination should concentrate on that and nothing else.
23 THE ACCUSED: [Interpretation] Well, I assume that I can ask him
24 whether he took part in talks with the representatives of the authorities
25 in the country that he went to to dig up corpses, that is. I do not see
Page 5687
1 that that goes beyond the scope, Mr. May.
2 JUDGE MAY: Only in relation to the exhumation.
3 Mr. Fulton, help us with this --
4 THE WITNESS: [Interpretation] No, Your Honour, I didn't take part
5 in any of the meetings with the Prosecutor that she had whenever she
6 visits the authorities.
7 MR. MILOSEVIC: [Interpretation]
8 Q. The statements that you gave and that are used today were given on
9 two occasions. Where did you give your statements?
10 A. I'm sorry, I don't know what you're referring to.
11 JUDGE MAY: Where did you make your statements, your witness
12 statements?
13 THE WITNESS: [Interpretation] Here, Your Honour.
14 MR. MILOSEVIC: [Interpretation]
15 Q. And which investigator did you give your statements to?
16 A. It would have been to my team leader, Mr. Kevin Curtis.
17 THE ACCUSED: [Interpretation] Is that the person who kidnapped me
18 from Belgrade, Mr. May?
19 JUDGE MAY: No. That's not a relevant question. Yes.
20 THE ACCUSED: [Interpretation] All right.
21 MR. MILOSEVIC: [Interpretation]
22 Q. You say that you were there to supervise the exhumations. What
23 does "supervision" mean, the supervision you've been referring to?
24 A. Your Honour, I never said that I supervised. I was there in a
25 capacity to monitor. It was quite clear to me and made quite clear to me,
Page 5688
1 as my role was non-interventionist, I had no influence, I offered no
2 direction, I simply observed what was taking place by members of the
3 Belgrade Institute of Forensic Science and other institutes.
4 Q. So let me rephrase the question. What do you mean by "monitoring"
5 now? I'm not asking you about supervision. I'm asking you about
6 monitoring. What do you mean by that?
7 A. I observed, Your Honour.
8 Q. Did you observe all actions from when the team start -- teams
9 started to work until they would finish their work? Did your working
10 hours coincide with the working hours of the teams?
11 A. For the first Batajnica site certainly, Your Honour.
12 Q. And can you tell me whether it was established -- whether it was
13 established at all and whether it was ultimately established when the
14 bodies were brought to the locality where you saw them?
15 A. That question has to be answered by the officer conducting the
16 investigation. I was not there in an investigating capacity, I was there
17 purely as an observer. I cannot refer to how long the bodies were to be
18 in the ground. That's simply within the purview of the forensic team and
19 their area of expertise.
20 Q. So you know nothing about this; right?
21 A. About what, Your Honour?
22 Q. About when these bodies were brought to the locality where you had
23 them dug up.
24 A. Indications that were throughout the press were that these bodies
25 had been placed there during 1999, primarily April and May 1999. This was
Page 5689
1 information that was given in informations to the press by the
2 investigating police officer.
3 Q. So apart from information obtained from the press, you have no
4 other information from the spot, from contacts with your people who were
5 carrying out the exhumations?
6 A. The people who were carrying out the exhumations were not my
7 people. They were members of institutes from Serbia. It is up to them to
8 make determinations regarding that matter, it's not up to me. I do not
9 have the expertise, the knowledge, or the capability of doing that. I was
10 there merely to observe and to monitor.
11 Q. I'm not talking about the forensic part of the work here now.
12 There is no doubt that forensics experts are experts in their own field.
13 I asked you a different question. I asked you whether you had any other
14 type of information, and you said no, you did not. Awhile ago, you gave
15 answers to the Prosecutor's questions as to how you identified
16 such-and-such a person and how you identified yet another person. You
17 remember all of that. This was five minutes ago. You remember that she
18 asked you about many persons, how you identified them.
19 Now, was any person identified here at all, Mr. Fulton, and if so,
20 how?
21 A. There's been no formal identifications made to date. I did not
22 say that these -- I said that these were identification documents that had
23 been recovered.
24 Q. Yes. But you heard the Prosecutor asking you how did you identify
25 such-and-such a person, and how did you identify yet another person?
Page 5690
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Page 5691
1 Several times she put her questions that way, how did you identify a
2 particular person? Does this answer of yours now mean that you enumerated
3 documents that were found in the ground amongst scattered clothes? Is
4 that right or is that not right?
5 JUDGE MAY: That was the witness's evidence. How the Prosecutor
6 chooses to phrase her questions is not a matter for the witness. His
7 evidence is this: That amongst the clothing found in these various graves
8 with the bodies, there were these identifying documents. Now, that's his
9 evidence. It's a matter for the Court to weigh.
10 THE ACCUSED: [Interpretation] All right, Mr. May. I think that
11 what you said just now implies that he should answer my questions as well
12 rather than give comments in relation to them.
13 MR. MILOSEVIC: [Interpretation]
14 Q. So my question is: Were the bodies identified or not?
15 JUDGE MAY: He's answered that. No formal identification was
16 made, but there were these identifying documents. That is the state of
17 the evidence. Then those documents tie up, it's said, with missing
18 persons.
19 Now, the witness can't really take it very much further than that,
20 and it will be for the Court to determine the probative value involved.
21 THE ACCUSED: [Interpretation] I don't know why you're bothered by
22 having the witness answer me whether these bodies were identified or not.
23 JUDGE MAY: Because he's answered you. He said there was no
24 formal identification, but he said there were these documents found. Now,
25 he can't take it any further than that. He's a witness. He's telling us
Page 5692
1 what happened, and that's what happened. Whether you want to argue that
2 that doesn't identify anybody, that's a matter for you, and you can argue
3 it in due course. But there's not good trying to argue with the witness.
4 Well, it's time to adjourn, in any event. We'll adjourn now.
5 Twenty minutes.
6 Mr. Fulton, you'll remember, of course, not to speak to anybody
7 about your evidence during the adjournment.
8 THE WITNESS: [Interpretation] Yes, Your Honour.
9 --- Recess taken at 10.31 a.m.
10 --- On resuming at 10.55 a.m.
11 JUDGE MAY: Yes, Mr. Milosevic.
12 MR. MILOSEVIC: [Interpretation]
13 Q. A moment ago, when I asked you whether you supervised the process
14 of exhumation, you said no, and you explained that you never said that and
15 that you were just an observer and monitored it. Now, I'm going to quote
16 one or two passages from your statement, page 2, I think, and it says: "I
17 am at the moment an investigator working for the OTP. I have been
18 employed in this position since June 2001, when I was assigned to Belgrade
19 to observe the exhumation process that was taking place within the
20 boundaries of Serbia."
21 THE INTERPRETER: The word the accused is using in Serbian is
22 "supervise."
23 MR. MILOSEVIC: [Interpretation]
24 Q. Now, is that correct or not?
25 A. No. I observed. I monitored.
Page 5693
1 Q. All right. That means that in the statement on this point, the --
2 it has not been -- what you were doing was not written correctly. Is that
3 right?
4 JUDGE MAY: Or not translated correctly.
5 MR. MILOSEVIC: [Interpretation]
6 Q. What does it say in the English? I haven't got the English
7 version in front of me.
8 JUDGE MAY: We don't have it either, but -- Ms. Romano, have you
9 got the English there?
10 We now have the English. The second paragraph of that, the first
11 page of the statement. "I was assigned to Belgrade to observe the
12 exhumation process that was taking place."
13 THE ACCUSED: [Interpretation] Yes. I can see that now.
14 MR. MILOSEVIC: [Interpretation]
15 Q. My next question is the following: As you spoke about documents,
16 was it ever established that these were authentic documents?
17 A. That's a question I simply can't answer. That may well be up for
18 the --
19 Q. Very well. Now, the investigating judge or the investigating
20 judges, were they present at the exhumation process all the time?
21 A. I don't believe so, no.
22 Q. Did you attend the exhumations from the very beginning or did you
23 join in at some later stage?
24 A. Batajnica 1 and 2 from the very beginning, Your Honour.
25 Q. Could you then describe to me how, before the exhumations began,
Page 5694
1 what the sites looked like where the exhumations took place. What did the
2 sites look like before the exhumations started?
3 A. For Batajnica 1, I was not -- I was there after they'd done an
4 exploratory clearance and dig to establish that there was -- or they
5 believed the bodies to be there after the area having been pointed out by
6 the investigating police officer.
7 The second site at Batajnica, inside the SAJ camp, was a --
8 just a clear area with some small shrubs.
9 Q. How many people took part in the exhumation process, actually
10 carried it out?
11 A. Those details are contained in the report of Professor Dunjic
12 that's in the binder, the second binder. It lists everybody who was
13 involved, and it will also list -- it will also explain what the area was
14 like prior to clearance. This was his site.
15 Q. Did I understand you correctly? That means that you know all the
16 names of the people who carried out the exhumation, and they are listed in
17 that report. Is that what you're saying? Is that it?
18 A. Yes.
19 Q. And were there any photographs or video records of the sites
20 before the exhumation started?
21 A. I believe so, yes.
22 Q. And how was the digging done? What with?
23 A. It was done manually after an initial mechanical excavation. From
24 then on, it was done manually.
25 Q. What depth were the bodily remains that you're talking about
Page 5695
1 found?
2 A. I believe those details should be contained in the forensic
3 report. Those were not details that I was recording. I had no input into
4 this exhumation process.
5 Q. And in what state of decay were the bodies that you found -- that
6 were found? What state of putrefaction?
7 A. I could only say what I see, and this will only be in layman's
8 terms. The bodies were skeletal with some flesh. They were commingled.
9 There were multiple fractures, either post or before death, I simply do
10 not know. These are questions that should be answered by the forensic
11 team and should be contained in their reports.
12 Q. And in the digging-up stage or the exhumation stage, was this
13 recorded on videotape or photographs?
14 A. Yes.
15 Q. When you talk about the locations, the sites, which you say are
16 BA1 and then you mention body BA09 -- that's right, isn't it?
17 A. That's correct, yes.
18 Q. What bodily remains were these? Was it a skeleton or were there
19 still traces of tissue left on the corpse?
20 A. I know that there's a photograph of BA09 following exhumation.
21 Perhaps that will answer the question, Your Honour.
22 Q. And did you personally attend the taking out of the licna karta or
23 ID cards? You said that they were taken out of trousers that were found
24 on the body. Did you attend this personally?
25 A. The situation with the monitoring is, although you're
Page 5696
1 non-interventionist and you're trying to get information, is also not to
2 be obstructionist. I was -- always maintained a distance from it on the
3 understanding that the information would be brought to my attention.
4 Q. And please try and be very specific. Where was the licna karta,
5 the ID card, found?
6 A. Your Honour, I'm afraid I can't be very specific. This function
7 was carried out by members of the forensic team. I do not know which one.
8 It is -- it was their site. It was their exhumation. It was up to them
9 to retrieve it. It was my position to monitor this and to retrieve
10 whatever information was obtained. I was not in their face.
11 Q. And which other parts of the contents did you have in the place
12 the ID card was found, the wallet?
13 A. I'm sorry, I don't know what you're talking about.
14 Q. I understood that it was found in a wallet. What else was there
15 in the wallet? What other contents were in the wallet that you found the
16 ID card in?
17 A. Your Honour, I didn't find the ID card. The ID card was found by
18 the forensic team. The details are on the index that are contained in the
19 binder. I can't recollect what that was.
20 Q. All right. We're talking about that body, BA09. Did you carry
21 out the identification of the body? Was the identification of the body
22 carried out?
23 A. Your Honour, these bodies have not been identified. An
24 identification document was recovered and has been associated with body
25 BA09.
Page 5697
1 Q. So they weren't identified. And what about the BA19 body? You
2 say that from the clothing on the body, an ID card was retrieved, and it
3 was in the name of Nexhadin Berisha with all the other specifications, is
4 that right?
5 A. That's the information that was passed to me at the time, Your
6 Honour, yes.
7 Q. And what part of the clothing was this ID card retrieved from?
8 A. Your Honour, I didn't retrieve any of these documents. I didn't
9 examine any of these documents. It was brought to my attention. These
10 documents had been recovered. This was work carried out by the forensic
11 team. It was up to them to do that.
12 Q. And the process of taking out the ID card from the clothing on the
13 body that you're talking about, was that recorded using video technology?
14 A. I generally do not know, Your Honour. I'm assuming so. There was
15 a crime technician there who took photographs. He also had a video
16 camera. The directions given to him was given by the lead pathologist, in
17 that case Professor Dunjic. He gave directions to the crime technician.
18 I had no input in that whatsoever.
19 Q. And in what state was BA19 found?
20 A. I cannot recall, but the photographs should be there. What I can
21 say is all bodies were in quite advanced stage of decomposition. They
22 were skeletal. There was some flesh. This is a general overview that I
23 observed, but there was evidence of burning. This was just a very, very
24 sorry mass of humanity that was dumped into one pit.
25 Q. May I then conclude that you were present at the moment when the
Page 5698
1 ID card that you're talking about was taken out of the clothing found on
2 this particular body?
3 JUDGE MAY: He's really given his evidence as best he can about
4 it. He was an overall observer and monitor of what was going on.
5 MR. MILOSEVIC: [Interpretation]
6 Q. All right. Now, you talk about identification documents later on
7 which were found, as you say, in the dispersed clothing; is that right?
8 A. "Dispersed clothing." I'm --
9 Q. Scattered clothing.
10 A. I believe I referred to it as loose clothing.
11 Q. Could you then explain how this clothing was loose?
12 A. The clothing was described by the forensic team as being loose
13 clothing because it was not associated with a particular body or body
14 part.
15 Q. Well, in what parts of the clothing were these documents found?
16 Could you be more specific, please?
17 JUDGE MAY: He can't answer that question. Mr. Milosevic, I don't
18 see the point of this cross-examination. The evidence is this: There is
19 a mass grave. There are a number of bodies. In the clothing of the
20 bodies there are found documents which relate to massacres or other
21 missing persons in Kosovo. Now that is the evidence. It will be a matter
22 for us at the end of the case to determine on that whether it supports the
23 Prosecution argument that these bodies were brought from Kosovo and put
24 into mass graves at these sites.
25 Now, so far you've cross-examined for over half an hour, and we
Page 5699
1 really have added nothing to the case at all. If you want to make
2 submissions about the documents in the -- to us about the documents in the
3 binder, you can do so, but on my calculation, you've got another quarter
4 of an hour or 20 minutes at the most to cross-examine, and that would be
5 more than sufficient.
6 THE ACCUSED: [Interpretation] You mean I have 15 to 20 minutes in
7 all?
8 JUDGE MAY: Yes. This is purely technical evidence. It seems to
9 me we're wasting time.
10 JUDGE ROBINSON: Mr. Milosevic, I just want to support what the
11 Presiding Judge has said. I'm surprised that you're spending so much time
12 on this cross-examination on what is a wholly technical matter. You
13 should reserve your cross-examination for weightier subjects, it seems to
14 me.
15 THE ACCUSED: [Interpretation] Very well.
16 MR. MILOSEVIC: [Interpretation]
17 Q. Now, you claim that all the names mentioned from the documents
18 you're talking about belong to people from the massacre in Suva Reka. And
19 Mr. May just mentioned the word. And this dates to the 26th of March,
20 1999; is that right?
21 A. I believe I said that all but one related to people from Suva
22 Reka.
23 Q. And on what grounds is it claimed that there was a massacre in
24 Suva Reka?
25 JUDGE MAY: It was I who said it, not the witness. Now, go on
Page 5700
1 with cross-examination.
2 MR. MILOSEVIC: [Interpretation]
3 Q. The exhumations at the BA2 location, were you present there from
4 the very beginning or did you join them at a later stage?
5 A. I was there from the very beginning, Your Honour.
6 Q. Now, number 1, bodies from this locality, you talk about personal
7 findings with Ismajl Laxhi [phoen], the 30th of June, born the 30th of
8 June, 1938 in Tirana. And this was not attached to the body; is that
9 right?
10 A. That's correct, Your Honour, yes.
11 Q. What was this personal identification or personal sign, mark?
12 A. It was identified to me as being a dog tag.
13 Q. And was it attached round the neck?
14 A. It was not attached to a body, Your Honour.
15 Q. How do you mean it wasn't attached to the body?
16 A. It was loose, Your Honour.
17 Q. Now, number 2, BA92, body number 2, you say you found the ID card
18 in the name of Ali Bajrami. Where was that licna karta found? Was it
19 attached to the body or not?
20 A. I didn't find licna karta. It's been reported to me that a licna
21 karta was found in clothing of body 2 BA92.
22 Q. And what clothing was there on body number 3 in your statement,
23 which is location 2 BA? And in your statement it is 2 BA117, in fact.
24 That's the number you refer to the body by.
25 A. That reference number was given by the forensic team and for how
Page 5701
1 they were numbering it. I generally have no clue what clothing was on the
2 body. If they told me that it was removed from clothing from the body
3 that was given the number of 2 BA117, that is information that I recorded.
4 Q. And now we come to body number 4 in your statement, which is 2
5 BA117 [sic], you talk about a licna karta found in the name of Simon
6 Sokoli. Where exactly was this ID card found and employment certificate
7 from the Jateks Holding Corporation?
8 A. I don't know, Your Honour.
9 Q. When it comes to this body under number 5, you talk about things
10 found relating to this body and then a second ID card, licna karta, with
11 the surname Sokoli and the date of birth being the 31st of January, 1965;
12 is that right? A second one was found?
13 A. Yes, that's right, Your Honour.
14 Q. On what grounds do you claim that the clothing and things in which
15 this licna karta was found belonged to the previous individual? How are
16 you able to say that?
17 A. I don't claim any of this information, Your Honour. This is the
18 information that was passed to me by members of the forensic team.
19 Q. And in what state were the bodily remains of body 6 in the portion
20 of your statement that refers to site 2 BA?
21 JUDGE MAY: The witness has already said that he cannot give
22 evidence about this.
23 MR. MILOSEVIC: [Interpretation]
24 Q. Very well. Was it a skeleton or a body? You say that a rucksack
25 was found, that there was a rucksack there. Now, was it on a skeleton or
Page 5702
1 were there tissues on the body?
2 A. From my own recollection of seeing the bodies at the site, I can
3 say generally that some were skeletal, some had -- were reasonably well
4 preserved. Some did have flesh on them. Whether that refers to the body
5 that the accused is talking about, I genuinely cannot say, Your Honour.
6 These bodies, again, as an overview, had been -- there was a number of
7 tyres sticking out of the grave itself. There was evidence of burning.
8 There was commingling. There was a lot of fractures and loose limbs. I
9 cannot be any more specific than that.
10 Q. And what else was found in the rucksack that you recovered?
11 JUDGE MAY: He didn't recover it.
12 MR. MILOSEVIC: [Interpretation]
13 Q. Well, all right, then, the rucksack that was found.
14 A. I don't know, Your Honour.
15 Q. And what about number 7? The site was 2 BA221. You state that an
16 ID card was found in the name of Gjon Hasanaj, is that right?
17 A. I think that refers to his father's name, Seyt.
18 Q. Were you present when this document was found, this identification
19 document? Were you present at the time?
20 A. Yes, I would have been, Your Honour.
21 Q. And you claim that the ID card was found on the body. That's
22 right, isn't it? What part of the body was it found on?
23 A. Your Honour, I don't claim any of this. This is the information
24 that was given to me by the members of the forensic team who were carrying
25 out the exhumations, carrying out the post-mortems, and carrying out the
Page 5703
1 evidential recording of whatever was found. This is their information
2 that was passed to me. I don't know how to make this any clearer.
3 JUDGE MAY: There's no need. You've made it perfectly clearly,
4 Mr. Fulton, but we'll continue with this cross-examination until it
5 finishes.
6 Yes.
7 MR. MILOSEVIC: [Interpretation]
8 Q. The forester -- the summary that was distributed to us prior to
9 your testimony, on page 1 of that, it says under the subheading
10 "Mass Graves in Serbia," and it was handed in in English only, it says the
11 following: "It was believed that [in English] bodies transported from
12 Kosovo to Belgrade --" [interpretation] and this next bit is vital -- [in
13 English] "of campaign seeking to erase -- to erase the traces of the
14 crimes committed in Kosovo."
15 [Interpretation] On what grounds do you state that this was a
16 campaign to erase the traces of the crimes committed in Kosovo?
17 A. This appears to have been a view that is held by the investigating
18 police officer and can be found in many of his press releases.
19 Q. And was it established who the perpetrators were?
20 A. Your Honour, I can't answer that, I'm afraid.
21 Q. All right. You're a professional policeman. You've been a
22 professional policeman for 20 years now, as you said yourself, and now I'm
23 asking you, in view of your professional experience: Do you believe that
24 somebody could conceive of such nonsense, that during the war when many
25 people are losing their lives --
Page 5704
1 JUDGE MAY: This is not a proper question. First of all, the
2 witness's beliefs are not relevant. Secondly, this is a matter of
3 argument which you can address to us, Mr. Milosevic, but there's no point
4 asking the witness about it. He is not here -- let me continue because it
5 is a general point. Witnesses are not here to argue a case. That is the
6 Prosecutor's job, and you will have the opportunity to rebut it in due
7 course. Witnesses are merely here to give evidence of what they saw or
8 heard or know about, and your cross-examination should be so directed.
9 THE ACCUSED: [Interpretation] Well, it is so directed, Mr. May,
10 because in this paper that was provided before this witness was brought
11 in, it says that there was some kind of a campaign. If you mean that --
12 if you're trying to say that the Serbs are that stupid to believe that
13 somebody, during the war, would --
14 JUDGE MAY: We're not going to listen to these arguments now.
15 What the witness says when giving evidence from the witness chair there is
16 what's evidence. It's not what is in these summaries. These summaries
17 are not evidence. This isn't part of the evidence. In any event, I
18 allowed you to ask a question since it was there, but the witness has
19 dealt with it as best he can.
20 Now, have you got anything else that you want to ask the witness
21 about his evidence?
22 MR. MILOSEVIC: [Interpretation]
23 Q. All right. When you say that it is in the summary, well it says
24 in the summary that it is part of a campaign. Can it also say in the
25 summary that this is perhaps rigged up? Perhaps it's a frame-up, a
Page 5705
1 malicious frame-up, not this kind of rubbish?
2 JUDGE MAY: No. We're not going to go on with this. You can
3 argue the case in due course.
4 Do the amici have any questions for this witness?
5 THE ACCUSED: [Interpretation] [No interpretation]
6 JUDGE MAY: No. You have wasted the time of the Court already.
7 Now, Ms. Romano, is there any re-examination?
8 MS. ROMANO: Just one question.
9 Re-examined by Ms. Romano:
10 Q. The witness mentioned the name of the investigative police officer
11 who held that opinion. I would just like to ask the witness if he knows
12 the name of this police officer.
13 A. It's Captain Dragan Karleusa.
14 MS. ROMANO: Thank you. And I just would like to know if the
15 statement has been exhibited.
16 JUDGE MAY: No, it hasn't. It should get a number.
17 MS. ROMANO: No further questions, Your Honour.
18 THE REGISTRAR: Prosecution Exhibit 173.
19 JUDGE MAY: Mr. Fulton, that concludes your evidence. Thank you
20 for coming to the Tribunal to give it. You are free to go.
21 THE WITNESS: [Interpretation] Thank you, Your Honour.
22 [The witness withdrew]
23 MS. ROMANO: Your Honour, the next witness is the investigator
24 Barney Kelly, and Mr. Nice will take the witness. They're coming. We
25 just need one or two minutes.
Page 5706
1 MR. NICE: Actually, can the witness stay outside for a minute? I
2 didn't realise he was being summoned.
3 Your Honour, we come now to witnesses who deal specifically with
4 the village of Racak. I know that the Court has got the witness statement
5 of the next witness, Barney Kelly. I hope it's also had and been able to
6 lay its hands on his full report which was served earlier.
7 JUDGE MAY: Is that the one attached to the statement?
8 MR. NICE: I hope so, yes. It's about that thick.
9 JUDGE MAY: It's called an assessment, just to make sure we have
10 the right one.
11 MR. NICE: It's called an assessment, absolutely right. And
12 indeed, very conveniently, on the fourth sheet in, it sets out where Racak
13 features in the indictment, paragraphs 98 and thereabouts.
14 An issue I think may arise as to the proper scope of this
15 witness's evidence, and I'm approaching it on the basis that an issue will
16 arise, and of course it's perhaps interesting to observe that whereas I'm
17 often saying in procedural matters that the reason for procedural
18 departure or departure from some procedural norms is because the field of
19 evidence in relation to the case generally is infinite as opposed to
20 finite, in Racak, we actually have an incident where there is probably a
21 finite, although substantial, field of evidence, but it is a field of
22 evidence realistically far too large to be handled in full by this
23 Tribunal in the time available for its consideration.
24 That observation may be made about many, if not all, of the
25 locations to which the Chamber will have to give consideration in this
Page 5707
1 part of the trial and, of course, in the Croatian and Bosnian parts as
2 well. So the issue that we face is one of general importance.
3 Racak itself is of significance not just because it features in
4 the indictment in the way it does, but because it was, of course, a
5 turning point around which NATO made its decision to bomb Kosovo. And
6 it's plainly significant to the Defence, in light of the cross-examination
7 and the issues that appear to be being raised about whether the bodies
8 were killed in the way their position would suggest or in some other way.
9 And thus it is that the possibility of the Chamber having access to a
10 summary of the evidence overall is important for this part of this case.
11 It's important for issues of timetable for this part of the case. In our
12 respectful submission, it's important for the integrity of a judgement to
13 be delivered in due course that should be able to point to consideration
14 of more rather than less material; and it's important for the Tribunal
15 generally, maybe, and for other cases where similar issues arise.
16 As I said earlier, this Tribunal, slightly differently
17 constituted, has explored this matter before, and I'm not going to repeat
18 the jurisprudence to which you referred there, but at the end of the
19 evidence that I want to call before concluding my submissions, I'll take
20 you to just a few other bits of jurisprudence that I've been helpfully
21 provided with and can turn you to which may assist. But of course, it's
22 under our Rules that the decision has to be made whether summarising
23 evidence can be available.
24 What I would now ask is that the witness comes in and gives the
25 evidence of geography, which he would probably have to give in any event,
Page 5708
1 identifying the various crime locations - and let me be quite clear that
2 the purpose of this evidence will be or include revelation to the Chamber
3 of the complexity of the Racak incident, which for the reasons I have
4 explained you're going to have to consider - and the difficulties, or it
5 may be impossibilities, of dealing with that evidence on the limited
6 number of witnesses that it's going to be possible for us to call.
7 I'm also going to draw an analogy between his evidence and the
8 material that is available to the Court already in the OSCE report As Seen
9 As Told. We'll have a short look at that with the witness.
10 The witness has some very large plans of which we already have
11 small copies. I think arrangements have been made for a blackboard to be
12 produced but we haven't got one yet. Oh, dear. If Ms. Graham could give
13 me the number of the same maps. 94 tab 73 is the small one, I believe.
14 If the witness can come in with his maps, we'll see if we can position
15 them somewhere, perhaps on a chair, for him to point to if necessary.
16 JUDGE MAY: There are some photographs which --
17 MR. NICE: There are lots of photographs in the album. I'll ask
18 him to refer to some of those although, again, to save time, it may be
19 less rather than more in number. And to some degree I will be guided by
20 the degree of detail that the Court perhaps is able to indicate it finds
21 helpful. But it is a complex story or complicated story and familiarity
22 with the geography will probably be, as so often with reconnaissance, time
23 well spent.
24 THE ACCUSED: [Microphone not activated]
25 THE INTERPRETER: Microphone, please.
Page 5709
1 JUDGE MAY: Microphone.
2 THE ACCUSED: [Interpretation] Before that, I would like you to
3 clarify something for me, please. Again we have officials from the Office
4 of the Prosecutor appearing here, and they're supposed to be some kind of
5 witnesses. This witness is supposed to testify now. He's an
6 investigator, and in his statement, he gives assessments that are
7 exclusively within the scope of the court.
8 Secondly, he testifies to the interviews he had with the witnesses
9 and that their statements are consistent in many aspects.
10 JUDGE MAY: I'm going to interrupt you. I'm going to interrupt
11 you to explain what is going to happen. The witness is going to give
12 evidence about geography and about the photographs which he took. He can
13 do that. He's entitled to do that. He was there and he knows about it.
14 As for the other matters, there will then be legal argument as to
15 whether he can give evidence about them or not. And before we make a
16 decision on that, we will hear you.
17 So let the witness be sworn.
18 [The witness entered court]
19 THE WITNESS: I solemnly declare that I will speak the truth, the
20 whole truth, and nothing but the truth.
21 WITNESS: BARNEY KELLY
22 MR. NICE: I wonder if the usher could very kindly bring in the
23 two large maps that are on the --
24 THE INTERPRETER: Microphone, please.
25 MR. NICE: The usher is very kindly bringing in the large maps.
Page 5710
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4
5
6
7
8
9
10
11
12 Blank page inserted to ensure pagination corresponds between the French and
13 English transcripts.
14
15
16
17
18
19
20
21
22
23
24
25
Page 5711
1 Has the smaller version of them been found? Thank you very much.
2 Examined by Mr. Nice:
3 Q. Full name, please.
4 A. Barney Kelly.
5 Q. Occupation and, in a sentence, your background experience?
6 A. I'm an investigator. I am a member of the Irish police force.
7 I've been in the investigative role for the last 18 years.
8 Q. You joined the OTP when?
9 A. I joined the OTP on the 15th of September, 2000.
10 Q. Were you charged with investigating and preparing a report or
11 reports on Racak?
12 A. I was.
13 Q. And is it your that the Chamber has, described as an assessment?
14 A. That's correct.
15 Q. As a result of your work, have you been able to mark on the large
16 overhead map which is to your right, and I think we're waiting for an
17 easel at the moment.
18 A. That's correct.
19 Q. We'll look at it in two parts.
20 MR. NICE: Sorry about this delay, Your Honour. No doubt my
21 mistake. I thought I'd made arrangements for an easel to come but it
22 hasn't arrived yet. Can we therefore lay on the ELMO until we have an
23 easel which will be capable of being captured by the cameras --
24 Q. To save time, Mr. Kelly, would you just turn round and get the
25 larger of those two maps for us. Turn it around so we can see it.
Page 5712
1 MR. NICE: I don't know if that's visible to the Court from there.
2 It looks as though Judge Robinson may not be able to see it from there.
3 Let's see if it turns up on the video. I wonder if the cameras could
4 focus on that and see if they can pick it up for us, please. Thank you
5 very much.
6 Q. Does this show Racak and its surrounding area?
7 A. It does.
8 Q. You're going to have your keep your mouth close enough to the
9 microphone. There's a pointer there which is extending. Thank you very
10 much. I hope this works.
11 The village is the village of Stimlje?
12 A. No. The village is the village of Racak.
13 Q. Right, the municipality is the municipality of Stimlje. Just
14 point that out to us.
15 A. In order to do that I would have to show you the other map.
16 Q. Sorry. We've got the wrong one first. Can you put the other one
17 on, please. All right. Thank you.
18 Right. The municipality is Stimlje. Just point that out.
19 A. This is the entire town and municipality of Stimlje.
20 Q. I wonder if the cameras could help us with that. If you wouldn't
21 mind just focusing and leaving it on there, thank you.
22 There is, I think, three routes into Racak, one of which is the
23 principal road. Please point that out for us.
24 A. That is this road here.
25 Q. It goes down --
Page 5713
1 A. It goes right down and then you must take a right-hand turn at
2 this point and then continue into the village.
3 Q. Right. We've heard about a hospital or a mental hospital that
4 features in some of the evidence. Just point out where that is, please.
5 A. Yes. That's at number 4, this area here.
6 Q. The other two routes into Racak which merge into a single lane,
7 point those out to us, please.
8 A. That is this road here, which if you follow it up through the sign
9 of Racak, it comes from the -- again the main road to Prizren and the main
10 road to Pristina which goes through the town of Stimlje.
11 MR. NICE: Put that first map on, please. Thank you very much.
12 Q. Focus on that, please. Again you have to have the microphone
13 sufficiently close.
14 MR. NICE: So, Usher, could you move the plan nearer to the
15 witness so that he can be heard while he's pointing to the map. Thank
16 you.
17 Q. Can you sit down, please, Mr. Kelly. The audio-visual booth would
18 be able to see it.
19 MR. NICE: If you could focus on that for us. Can the
20 audio-visual give us that, please?
21 Q. You've shown us the other road in, and that's marked -- they're
22 not marked, but they're more minor roads, I think, is that correct?
23 A. Yes. The second of these minor roads is this road here, which
24 again is further up heading towards Prizren, and it intersects then with
25 the other road which is nearer the mental institute. And they cross at
Page 5714
1 one point, but they both lead into the village of Racak and approximately
2 at the mosque.
3 Q. Now, you understand at this stage of your evidence I'm not asking
4 you for any account that other people gave you. Do you follow that?
5 A. I do.
6 Q. I just want geographical locations, although, of course, to some
7 degree they're built on other people's evidence, but nevertheless. What
8 you've marked here, and we'll look at it very swiftly and then turn to the
9 other map, you've marked number 1, which is the power station?
10 A. That's correct.
11 Q. Do you see that?
12 A. That's this area here.
13 Q. It's probably helpful if the audio-visual stays on the map for
14 this but it's a matter for them.
15 But number 1, the power station. Thank you.
16 Number 2, the municipal buildings. I'm not too troubled with
17 those.
18 Number 3, in the same general area, we have the MUP compound.
19 Have you been to the MUP compound?
20 A. I have, yes.
21 Q. Is it the only MUP compound in the area or is there more than one
22 such?
23 A. No. It is the only compound in the area.
24 Q. Do you know if that deals with the -- with both branches of the
25 MUP or don't you know?
Page 5715
1 A. I don't.
2 Q. Four, you've told us is the asylum. Just point that out again.
3 A. This large area here.
4 Q. Thank you. Now we're going to move to the left of the map a
5 little bit further to pick up 5, 6, 7, 8, and 9. If the booth could help
6 us with that.
7 A. This area here is number 5.
8 Q. Wait till we've got -- all right. Now, 5 is the house of Sadik
9 Osmani; is that correct?
10 A. Correct.
11 Q. It's just worth observing that the white line that's been drawn on
12 what is an aerial photograph is something that has been drawn on, it's not
13 a topographical feature, is it?
14 A. That's right; I drew it.
15 Q. You may or may not tell us in due course what it is but that's
16 something which has been drawn on. Six is the ravine in which the bodies
17 were found?
18 A. That's correct.
19 Q. Seven is something that has been identified as the KLA bunker, and
20 that is something you've seen?
21 A. That's correct, Judge.
22 Q. And we have photographs of the bunker in the Racak binder, and we
23 have photographs from the bunker, giving an idea of its view.
24 A. That's correct, Judge.
25 Q. The proper term of address is "Your Honour," I think, here, if you
Page 5716
1 don't mind.
2 And we've heard some evidence of another line of fortifications.
3 This bunker, did this show the signs of use; cigarette butts, things of
4 that sort?
5 A. Not at the time I inspected it.
6 Q. Nevertheless, did it have other appearances of use or not?
7 A. There is -- there are -- there is testimony to the fact that, yes,
8 it was in use.
9 Q. Right. Eight is the school, nine the mosque, and -- I'm not sure
10 I need trouble with ten, so I won't. No, I'm not going to trouble with 10
11 nor the arrows.
12 Going back, please, to 8 and 9, and then we'll turn to the other
13 map. Can we go back to 8 and 9, please? If the audio-visual booth could
14 take us back to 8 and 9, please. Thank you.
15 As you come into the village from the south road, the main road,
16 you pass the school and then you come to the mosque, and insofar as
17 there's a centre to the village, does either of these indicate the centre
18 or not or can you express a view?
19 A. They wouldn't indicate the geographical centre but they would
20 certainly indicate a pivotal centre, a religious centre, i.e., the mosque.
21 Q. If the audio-visual booth could help us just briefly by moving a
22 little bit up on the map. The area in orange marked as "B" is one hill,
23 and that's the hill of --?
24 A. That's the hill of Cesta.
25 Q. Further to the north, in a round orange marker, is the hill of?
Page 5717
1 A. Pisha.
2 Q. And marked on the map to the east is the hill of?
3 A. Geshtenja.
4 MR. NICE: That map, Your Honours, can be found in the Racak
5 binder at tab 4. It's already been separately exhibited as Exhibit 94,
6 tab 73.
7 Q. We can now look at the other map, which is of a smaller scale, a
8 more detailed map. And before we do, could you please just tell us this
9 about your investigation before we look at the map -- questions. In the
10 course of your investigation, how many witness statements did you review?
11 A. Sixty-two, Your Honour.
12 Q. And your statement, I think, refers to 60, 11 plus 49, but there
13 were two others, were there?
14 A. That's inclusive of those.
15 Q. At the initial stage of preparation of this case, how many were --
16 such statements were considered for presentation to court?
17 A. Approximately in the region of 30.
18 Q. Under further consideration by the lawyers then working in the
19 team, to what number was this first further reduced?
20 A. It was then reduced to 17.
21 Q. From 17 to?
22 A. Down to nine.
23 Q. And then, given the time constraints, from nine to what?
24 A. To five.
25 Q. That's five witnesses of the events in the village of Racak?
Page 5718
1 A. That's correct, Your Honour.
2 Q. There are, in addition to that, other witnesses, one of whom from
3 whom we've heard, General Drewienkiewicz, Ciaglinski, and people of that
4 sort.
5 A. That's correct, Your Honour.
6 Q. And other international observers. Your examination of the
7 material identifies various sites that need to be considered, and you've
8 described them on this map which is separately exhibited as 94, tab 73, I
9 think. Sorry, is this one tab 73? They're both tab 73.
10 You've identified six crime locations, but because some crime
11 locations have more than one discrete scene, there are about 13 different
12 scenes to be considered for an overall view of Racak?
13 A. That's correct, Your Honour.
14 MR. NICE: Your Honour, it may or may not be helpful to go through
15 the photographs at this stage, but I'm not intending to do so in any
16 degree slavishly, but I can at least identify where they are, or at least
17 I hope I can.
18 If the audio-visual booth would be good enough, please, to take us
19 to the map now, focusing on the figure 1 and the surrounding area. My
20 mistake.
21 Q. Right. If we can focus in on number 1. Thank you. It's worth
22 observing now that the reference markings you've used have changed,
23 because if we look not to 1 but just to the south and east of 1, we see a
24 different symbol for something we've seen before, don't we, Mr. Kelly?
25 A. We do indeed, yes.
Page 5719
1 Q. You've now, on this map, converted to using internationally
2 recognised conventional signs?
3 A. That's correct, Your Honour.
4 Q. The sign is?
5 A. This is the international symbol for mosque.
6 Q. And although it's slightly off the screen at the moment, it
7 doesn't matter, south of that we can see the international recognised sign
8 for a school?
9 A. That's correct, Your Honour.
10 Q. Thank you. And to the left, the "P" sign is the internationally
11 recognised sign for what?
12 A. For headquarters.
13 Q. And what headquarters did you identify that as?
14 A. This -- identified this as the Racak KLA headquarters.
15 Q. Right there in the centre part of town.
16 A. [Indicates]
17 Q. One other element of geography simply now before I simply forget
18 it. From a witness, General Drewienkiewicz, we heard evidence of and saw
19 a videotape of fortifications in a different position from those that you
20 described in the bunker, and we can see the bunker on the map, the bunker
21 you described, at the bottom left-hand -- well, slightly to the left of
22 the school sign, if the audio-visual booth would help.
23 A. This area here.
24 Q. That's the internationally recognised sign for what?
25 A. For a bunker.
Page 5720
1 Q. We can see the little squiggly lines above it. Are those the
2 bunker and other trenches that --
3 A. Yes, these lines, white on black, indicate the labyrinth of
4 trenches that were in that area.
5 Q. In addition to those, however, General Drewienkiewicz told us of
6 fortifications that he found although he told us they hadn't necessarily
7 been used. Did you see those yourself?
8 A. No, I did not.
9 Q. I mean at any stage, did you see them?
10 A. Not the ones he's talking about.
11 Q. Where do you understand them to be, just to remind us?
12 A. If you take a left from crime location 1 and you follow the little
13 track that's there, it will be directing you up towards crime location 5,
14 and approximately in this area here, that is where that general is
15 referring to those.
16 Q. Right. We've seen those on the video. Now, let's go to crime
17 location 1. Not for you to tell us anything that other people said, but
18 if this is the case where a single body without its head was found, just
19 tell us this: Within the 60 or 62 statements that you've reviewed, was
20 there any witness able to give any -- who might have been able to give any
21 firsthand account of that killing? Just yes or no.
22 A. Yes.
23 Q. Is that witness included in the five to which the 30 you had
24 originally chosen has now been reduced?
25 A. No.
Page 5721
1 Q. Let's move to crime location 2, which you have split up into --
2 and we can see it, 2, 2.3, 2.4, and 2.5. How many deaths are associated
3 with these four subdivided parts of crime location 2?
4 A. Crime location 2, scene 2, there are three bodies. Crime location
5 2, scene 3, there is one body. Crime location 2, scene 4, we have one
6 body. And at crime location 2, scene 5, one body.
7 Q. So that's six bodies altogether. Just -- just yes or no to this.
8 Within the statements you reviewed, were there live eyewitnesses to any
9 part of this incident?
10 A. Yes.
11 Q. One or more than one such witness?
12 A. More than one.
13 Q. Has it been possible to include any of those in the five witnesses
14 to come before court?
15 A. No.
16 Q. So if we now go up on the map to crime location 3, which you have
17 divided up, or has been divided up, into three sublocations --
18 A. Two.
19 Q. I beg your pardon, 3.6 and 3.7. Well, the legend speaks of 3.8,
20 but is that correct?
21 A. That's correct, there are three locations.
22 Q. Thank you. We can see the three locations. There's 6, there's 7,
23 and there's 8. Does this crime location or is this crime location spoken
24 of by one or more than one of the five witnesses coming to court?
25 A. Yes.
Page 5722
1 Q. One or more than one?
2 A. One.
3 Q. Is that witness able to deal just with one of these sublocations
4 or with more than one?
5 A. More than one.
6 Q. Namely?
7 A. Agim Mehmeti.
8 Q. No, namely which locations can the --
9 A. Beg your pardon. Namely crime location 3, scene 7, and one
10 part of crime location 3, scene 6.
11 Q. We move on from location 3 to location 4. I should have asked
12 you: How many deaths associated in those three crime locations, 3.6, 3.7,
13 3.8?
14 A. Five.
15 Q. Crime location 4, which you identify as a single scene, scene 9,
16 any deaths associated there?
17 A. Yes, Your Honour; three deaths.
18 Q. Is there any live witness coming to court capable of dealing with
19 that?
20 A. There is, Judge. There's one.
21 Q. "Your Honour."
22 A. Your Honour.
23 Q. Thank you.
24 A. I beg your pardon.
25 Q. There's one. And so that area is covered.
Page 5723
1 A. That's correct.
2 Q. And that's got through two of the five witnesses?
3 A. That's correct.
4 Q. We come to crime location 5, divided into scenes 10, 11, and 12
5 but certainly we can see -- well, we can see 10. Is this the central part
6 of what happened in Racak?
7 A. Yes. It is one -- it is one part -- one of the very serious parts
8 of Racak.
9 Q. This is the ravine?
10 A. It is, yes.
11 Q. How many witnesses of the five coming to court are able to deal
12 with that?
13 A. Two, Your Honour.
14 Q. How many deaths associated with that area?
15 A. Twenty-three in crime location 5, scene 10, and one in each of 11
16 and 12.
17 Q. So two witnesses for 5.10. Any witnesses amongst our five for
18 5.11 and 5.12?
19 A. No.
20 Q. So we've got through four of our witnesses.
21 A. That's correct.
22 Q. The fifth witness relates to what area? It may be you've
23 forgotten one along the way, actually. Take your time.
24 A. Okay.
25 Q. We'll come back to that. Let's just go across the map to number
Page 5724
1 6. And this is scene 13. How many deaths associated here?
2 A. One.
3 Q. Any of our five witnesses able to deal with that?
4 A. No, Your Honour.
5 Q. Was there included within the 60 witness statements you reviewed a
6 live witness who would be able to deal with that in part in any event?
7 A. Yes.
8 Q. Let's just go back to see which one you've missed. Take your
9 time. You've told us two at 5, one at 3, and I think one at 4. Which is
10 the missing one?
11 A. It's for this area here. We have a witness who is prepared to
12 give an overview.
13 Q. Thank you. And can also deal with some of the events in the
14 previous years?
15 A. That's correct.
16 Q. Now -- and I hope the Chamber will allow this question, although
17 -- from this witness. We'll have a look at the format your report in a
18 minute, not its content, but with five witnesses that you've selected or
19 we've selected, is there, in your judgement, enough material to give a
20 sequence of events overall happening in Racak?
21 A. No.
22 Q. Is there, from those five witnesses, enough material to cover
23 comprehensively the activity of the KLA over the period of time?
24 A. No.
25 Q. Is there, from the witnesses selected, material to give an account
Page 5725
1 of the involvement of such Serbian forces as may have been involved?
2 A. In part, yes.
3 Q. Thank you very much. If we consider very briefly the format of
4 your report described an assessment -- do you have a copy of it there with
5 you?
6 A. I do, Your Honour.
7 MR. NICE: If the Chamber could be good enough to turn, as an
8 example, to page 4 of 66 pages.
9 Q. Where you've been setting out the history as you were able to
10 conclude it may have been of events, you footnoted in each case the
11 witnesses who support the propositions that you're summarising.
12 A. That's correct, Your Honour.
13 Q. So that sometimes you can have one, two, three, four, five, six,
14 seven witnesses supporting a proposition, as in footnote 5, sometime it
15 can be a mere single witness, or potential witness, as in footnote number
16 8?
17 A. That's correct.
18 Q. And that pattern has been followed throughout in your report
19 although there are certain passages of narrative where you are summarising
20 events and you don't use footnotes, but by and large you use footnotes and
21 take everyone to the source of your conclusions?
22 A. That's correct, in most cases.
23 Q. We see that you've also been able to refer to other materials,
24 telegrams and other documents, matters of that sort?
25 A. That's correct.
Page 5726
1 MR. NICE: I wonder if the witness could now have before him the
2 -- or a copy of As Seen As Told, Volume I. And while that's coming to
3 you, we know that the OSCE prepared an extensive report which is now our
4 Exhibit 106, and I'd like simply the introduction, which is Roman numerals
5 XV, to be laid on the overhead projector, please, for people to follow.
6 Q. If we can take Roman numerals XV headed "Introduction" laid on the
7 projector. If you can't find it, I'll find it for you.
8 A. What page are you talking about?
9 Q. XV. Right at the beginning, the tenth page in.
10 A. Yes.
11 Q. While that's being laid on the overhead projector and being
12 focused on, tell us this: At the time that you prepared your report, had
13 you seen this document?
14 A. No.
15 Q. This document speaks of various OSCE documents that were made
16 available to the ICTY. Had you seen those documents at the time you made
17 your report?
18 A. I had seen some of them, yes.
19 Q. Some of them. Had they been, any of them, reviewed by any
20 colleague of yours?
21 A. Yes. They were reviewed by our analyst for the team -- one of the
22 analysts for the team.
23 Q. Let's just look at the methodology of this document and see how it
24 compares with the methodology you employed. If we pass our eyes down the
25 left-hand column of Roman page numbered XV, we can see that at the foot of
Page 5727
1 the paragraph headed "Methodology" is this quotation: "After the 20th of
2 March, the human rights division was engaged in taking victim and witness
3 st