1 1 NO. 13-212 FILED IN 4th COURT OF APPEALS 2 SAN ANTONIO, TEXAS 09/11/15 11:24:40 AM 3 ROBERTSON ELECTRIC, INC. ) IN THE KEITH DISTRICT E. HOTTLECOURT ) Clerk 4 ) VS. ) 216TH JUDICIAL DISTRICT 5 ) ) 6 SELECT BUILDING SYSTEMS, ) INC., TRI-BAR RANCH, LTD. ) 7 AND G&R LAND COMPANY, INC. ) KENDALL COUNTY, TEXAS 8 9 10 ------------------------------------------------------ 11 REPORTER'S RECORD VOLUME 2 OF 5 12 ------------------------------------------------------ 13 14 On the 16th day of March 2015, the 15 following proceedings came on to be heard in the 16 above-entitled and numbered cause before the Honorable 17 Bill Palmer, Judge presiding, held in Boerne, Kendall 18 County, Texas. 19 Proceedings reported by machine 20 stenographic method. 21 22 23 24 25 TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 2 1 A P P E A R A N C E S: 2 3 MR. JIMMIE L.J. BROWN, JR. Attorney at Law 4 3102 Cherry Creek Drive Missouri City, Texas 77459 5 Phone: (713) 419-1021 ATTORNEY FOR ROBERTSON ELECTRIC 6 7 - AND - 8 MR. TOM C. CLARK 9 DEALEY, ZIMMERMANN, CLARK, MALOUF & BLEND Attorneys at Law 10 3131 Turtle Creek Blvd., Suite 1201 Dallas, Texas 75219 11 Phone: (214) 559-4400 ATTORNEY FOR SELECT BUILDING SYSTEMS 12 13 - AND - 14 MR. JOHN W. SLATES 15 MS. COLBIE BRAZELL SLATES HARWELL 16 Attorneys at Law 1700 Pacific, Suite 3800 17 Dallas, Texas 75201 Phone: (469) 317-1000 18 ATTORNEYS FOR THE TRI-BAR RANCH COMPANY 19 - AND - 20 21 MR. FRED R. JONES GOODE, CASSEB, JONES, RIKLIN, CHOATE & WATSON 22 Attorneys at Law 2122 N. Main Avenue 23 San Antonio, Texas 78212 Phone: (210) 733-6030 24 ATTORNEY FOR TRI-BAR RANCH COMPANY 25 TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 3 1 INDEX 2 VOLUME 1 OF 3 (MARCH 16, 2015) 3 4 PAGE 5 OPENING STATEMENTS: MR. BROWN ......................... 5 6 MR. JONES ......................... 12 MR. SLATES ........................ 14 7 PLAINTIFF'S WITNESSES: 8 THOMAS PITTMAN 9 Direct Examination ................ 25 Cross-Examination by Mr. Clark .... 99 10 Cross-Examination by Mr. Slates ... 199 Redirect Examination .............. 262 11 12 COURT REPORTER'S CERTIFICATE ............... 275 13 14 15 16 17 18 19 20 21 22 23 24 25 TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 4 1 P R O C E E D I N G S 2 3 THE COURT: Y'all have a seat, please. 4 Cause number 13-212, Robertson Electric v. Select 5 Buildings, et al. Y'all make announcements for the 6 record, please. 7 MR. BROWN: Thank you, Your Honor. My 8 name is Jimmie Brown. I represent Robertson Electric. 9 We're present and ready to go. 10 THE COURT: Yes, sir. 11 MR. CLARK: Your Honor, Tom Clark and 12 Jonathan Cluck for Select Building Systems, and we're 13 ready to go. 14 MR. SLATES: John Slates, Fred Jones, and 15 Colbie Brazell for Tri-Bar; ready to go. 16 THE COURT: Okay. Anybody else? What 17 happened to Tom Valega? No more Tom? He signed some 18 pleadings in there for somebody. We don't know him? 19 MR. CLARK: He was an intervenor, Your 20 Honor. He just dropped out. 21 THE COURT: Okay. Let me tell you mode 22 of presentation. On your questioning, just direct, 23 cross, and redirect, and that's it. If something is 24 brought up on redirect that was not subject to cross, 25 object on those grounds, so we don't go back and TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 5 1 forth, back and forth. Everybody got that? 2 MR. BROWN: Yes, sir. 3 THE COURT: Okay. Plaintiff want to make 4 an opening statement? I remember basically, it's the 5 building of a hangar in Uvalde area and somebody 6 didn't pay a subcontractor. 7 MR. BROWN: Yes. 8 THE COURT: Everything from the podium, 9 too. 10 MR. BROWN: Not a problem. 11 THE COURT: As I told you in the past, it 12 makes you look smarter. 13 MR. BROWN: Not a problem, Your Honor. 14 We'd like to invoke the Rule. 15 THE COURT: Okay. 16 MR. BROWN: And -- 17 THE COURT: What about an opening 18 statement? 19 MR. BROWN: Yes. Basically, Your Honor, 20 the Plaintiff's case is really very, very simple. And 21 the evidence, for the most part, is pretty much 22 uncontroverted. My client had entered into a contract 23 with SBS. He's an electrical installer and basically 24 did that type of work. In the course of the endeavor, 25 he gets terminated on or about January 23rd of 2013. TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 6 1 The evidence will be uncontroverted that on or about 2 November 2nd, Tri-Bar, who is the -- basically the 3 owner and the main party on the SBS/Tri-Bar contract, 4 decided that they wanted to go with another 5 electrician. That decision is ultimately made on 6 January 14th when they, in fact, do so. On 7 January 23rd is when they terminate my client. 8 It's uncontroverted, there's not one 9 documented complaint against my client ever to this 10 date. They did not have grounds to terminate my 11 client for convenience or for cause. My client's 12 contract does not permit a for-convenience 13 termination. And so, they just had no basis to 14 terminate. 15 Since that time, the evidence will be 16 clear that there have been a myriad of reasons that 17 Tri-Bar has articulated for why they have done this, 18 and each reason has been debunked. So, I -- when the 19 Court hears from Mr. Pittman, which will be the first 20 witness to testify, we will get an opportunity to find 21 out ultimately what their real reason is. But the 22 termination of my client was without cause. My client 23 incurred significant damages as a result thereby. He 24 has suffered losses well in excess of the contract 25 value. TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 7 1 So, when the evidence fleshes out, this 2 is what the Court will see. From the onset until now, 3 there's never been a complaint against my client. 4 From the onset until now, the reasons that Tri-Bar has 5 offered for doing the actions that it undertook are 6 unsubstantiated. From there until now, their case has 7 been a farce. So, we'll be asking the Court basically 8 to find against Tri-Bar because they tortiously 9 interfered with the contract and they had no basis to 10 do so. The costs that they alleged to -- to avoid 11 when they, in fact, take on C&S, which was the 12 replacement for my client, they incurred well in 13 excess of a hundred thousand dollars more in costs. 14 Nothing of what they have said makes sense. 15 And so, we'll be asking for damages. 16 We'll be asking for damages of the contract value. 17 We'll be asking for damages for the loss that my 18 client has sustained. These damages are well in 19 excess of $800,000.00. That there are attorney's fees 20 that have been incurred, and we'll be asking for 21 those. And we believe that when the Court hears the 22 totality of the evidence, that it will be 23 uncontroverted that the conduct of Tri-Bar pretty much 24 has been unconscionable. 25 And you'll find that the request is quite TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 8 1 reasonable under the facts of this case. And we thank 2 the Court for its indulgence to this point. And 3 hopefully in the next three days we will be as brief 4 as I'm going to be right now. Thank you. 5 THE COURT: Select Building? 6 MR. CLARK: Your Honor, Tom Clark. 7 Pleasure to be here. Your Honor, eight months ago we 8 were here on a motion for summary judgment. And the 9 issue at the time under the AIA contract was whether 10 the owner had terminated for convenience or terminated 11 for cause. It only becomes a termination for cause if 12 there is a written notice under one of four conditions 13 that are in paragraph -- section 14 of the general 14 conditions of the standard AIA contract. 15 And at the time we argued that there was 16 no such notice. The Court made a very pointed inquiry 17 and said, "Was there a notice provided prior to the 18 termination?" Mr. Slates, who is back there behind 19 us, said, "We are still looking, Your Honor." Here we 20 are eight months later; they haven't found it. It 21 didn't exist then. It doesn't exist now. There was 22 no notice of any defects or any of the four reasons 23 why an owner can terminate for cause. 24 So, it's going to be undisputed at the 25 beginning of the day and at the end of the day that TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 9 1 this was a termination for convenience. The owner, 2 Tri-Bar, terminated SBS for convenience. Is that a 3 breach? No. The owner has every right to do so. 4 It's in the contract. It's 14.2 of the general 5 conditions. 14.2.2 of the general conditions says, if 6 there's a termination for convenience, the owner shall 7 pay the contractor any amount due for the work 8 performed to date, profit on the work not yet 9 performed, and that's it. That's the entirety of that 10 section. That's what we're here to prove today, Your 11 Honor. That's the section that's in play. The amount 12 that we're due is $304,926.88 plus $24,649.70 in the 13 profit on the work not yet performed. Plus attorney's 14 fees of -- I believe our attorney's fees testimony by 15 the end of this -- by the end of Wednesday will be 16 somewhere around $95,000.00, which I'll put on the 17 stand in appropriate testimony. 18 That's what we're telling you at the 19 beginning. That's what the issue is going to be at 20 the very end of the day. What you're going to hear in 21 the meantime from Tri-Bar is -- in other words, our 22 case is as simple as Mr. Robertson's is. There was a 23 termination. We got kicked out. It was for 24 convenience. We're done. Part of our 304,000 is the 25 money that Select Building Systems owes to Robertson. TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 10 1 At the time that we were instructed to terminate 2 Robertson by the owner, we owed Robertson $54,000.00 3 for material, work, everything that was done. We 4 never got paid by the owner. We didn't pay Mr. 5 Robertson. 6 That much is also going to be completely 7 undisputed throughout the entire case. We have the 8 pay with pay clause. And that's kind of why we're 9 sitting together over here, is we're both suing 10 Tri-Bar to get our money. The workmen have not been 11 paid. What you're going to hear over here is, it 12 should have, could have, would have. We could have 13 sent a notice. We would have sent a notice. And if 14 we'd done -- if we followed what we were going to be 15 doing, we should have sent a notice. But we didn't 16 send a notice. And what Mr. Brown was referring to 17 is, in November, you'll see it laid out flat out that 18 Mr. Pittman and others -- you'll see the evidence -- 19 talk about a plan to get rid of us. They just didn't 20 follow through with it. So, we end up with a 21 termination for convenience. 22 You're going to find that they want to 23 try to claim after the fact -- Tri-Bar wants to claim 24 after the fact that there were a bunch of defects and 25 problems with the project that they discovered after TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 11 1 the fact. These are all made up. And we'll go 2 through -- that's what Mr. Brown was talking about 3 with the -- the debunked part. They walk in and they 4 say, oh, we need to change the roof; a hundred 5 thousand dollars. There's nothing wrong with the 6 roof. And you'll hear testimony that -- from 7 disinterested witnesses to tell you that the stuff 8 that they -- that Tri-Bar ended up doing after the 9 fact did not need to be done. But more to the point 10 legally, there's no basis for an offset. In that 11 termination for convenience clause, there's nothing 12 that says, oh, and by the way, if you find out 13 something later on where you should have terminated 14 for convenience, you get to go back and do a do-over. 15 You'd have to add words to the contract to get there. 16 So, we have all these issues that were 17 added after the fact. They call them repairing 18 defects. Our clients are going to call them finishing 19 work; doing punch list items; doing that which a 20 person would ordinarily do to finish off a project. 21 What you're going to see, there are pictures of an 22 unfinished project without finished trim put on it to 23 make it look good. And that's all. And at the end of 24 the day, Select Building Systems was never given an 25 appropriate list of things that needed to be fixed and TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 12 1 an opportunity to go out and cure it. You can't fault 2 a man for not fixing something if he was never given a 3 chance to come in and cure it. That's again part of 4 the termination for convenience -- you can have 5 termination for cause if they wanted to try to get 6 there after the fact, but they still had to give us 7 the chance to come out and cure, fix, or finish. They 8 chose not to do that. 9 So, at the beginning of the day and at 10 the end of the day, we're going to end up with a 11 termination for convenience that Tri-Bar owes Select 12 Building Systems $304,926.00, of which we owe 13 Robertson $54,999.00. And the artisans need to be 14 paid. Thank you. 15 THE COURT: Okay. Mr. Slates, Mr. Jones? 16 MR. JONES: Your Honor, I'm going to make 17 a few brief remarks -- good morning, Your Honor -- a 18 few brief remarks and introduce John Slates, as lead 19 counsel, and Colbie Brazell, and also we have with us 20 Wes Sharples, who's in-house counsel for Tri-Bar. 21 We obviously disagree. We agree with 22 very little of what has been said so far. I believe 23 you can understand that. We at least agree this is an 24 airplane hangar project that went way bad. We chose 25 SBS because we thought they were nimble. They told us TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 13 1 that they were nimble. They told us they had 2 expertise in these type of pre-engineered metal 3 buildings for an airplane hangar. And the evidence 4 will show that both the Plaintiff and SBS just have 5 the facts wrong. And the evidence will show that. 6 They busted all the schedules; all the 7 time schedules. They knew from the beginning this was 8 a 173-day contract. You don't pick 173 days just out 9 of your hat. There was a reason for the urgency of 10 having this done on time. They promised it would be 11 done on time. So, we had less than six months to 12 construct this project. They said they could do it. 13 They tried to explain the delays based upon change 14 orders. Anybody who's been through a construction 15 project knows that there are going to be changes. 16 They did know -- have actual knowledge -- that there 17 were going to be changes from the plans and specs. 18 Our architect lost trust in the contractor. Our -- 19 this was just a loss of trust on the entire Tri-Bar 20 team based upon these lengthy delays and the 21 misrepresentations about when the product would be 22 finished; when it would be delivered. 23 So, that's what we're going to show. 24 There were a lot of defects that we discovered only 25 after termination and after our consultants and TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 14 1 experts got in there and found out what was going on; 2 found out that -- all the problems with what had been 3 done. And so, we're here to defend these claims. We 4 had no alternative but to terminate the contract. Did 5 we want to? No. Did we need to? Did we have to? 6 Yes. John, I'll turn it over to you if you have any 7 other. 8 MR. SLATES: Your Honor, just a couple 9 points on the nature of the termination as related by 10 Mr. Clark, and then I'll address some issues raised by 11 Mr. Brown. It was represented, I believe, during the 12 opening that it was undisputed that this was a 13 termination for convenience. That's not the case. I 14 told you that at the motion for summary judgment 15 hearing and I believe that's the reason you denied the 16 motion. It is clearly disputed, it is firmly 17 disputed, and it is disputed based on the facts of 18 this case. 19 When you terminate someone for cause, you 20 don't have to pay them until the project is finished. 21 When you terminate someone for convenience, you're 22 supposed to pay them at the time of termination. 23 During the meeting at which Tom Pittman, who is 24 sitting back here, terminated SBS, he made the direct 25 representation, we don't have to pay you right now TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 15 1 under the terms of the contract. That's a termination 2 for cause. He told them he was going to try to get 3 them paid because he wanted to part ways amicably and 4 try to get on down the road. So, he treated it as a 5 termination for cause and he considered it a 6 termination for cause. And the circumstances are 7 consistent with a termination for cause. There was 8 justification for a termination for cause. You will 9 hear the evidence that they busted the schedule again 10 and again and again. They made representations about 11 when the metal building would be delivered that were 12 not true. They even said that the metal building 13 would be delivered on dates before it had even been 14 put into production by the metal building 15 manufacturer. And the architect only found that out 16 after the fact. 17 This notice issue is a red herring. When 18 we look at the contract provision, the notice that's 19 required is not a notice and an opportunity to cure. 20 There's nothing that the contractor can do after 21 receiving that notice to avoid a termination. It's 22 just a notice that this is what we intend to do. So, 23 the fact that a notice wasn't sent has no substantive 24 impact on what happened on this project. 25 As I mentioned, the -- or as Fred TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 16 1 mentioned, there were defects discovered after the 2 termination. The metal building was 2 inches out of 3 plumb. It's -- it's leaning. The brick lug that 4 holds up 20 feet of masonry, which weighs I don't know 5 how much, was poured as just a lip on the edge of the 6 foundation. It wasn't on the grade beam. It wasn't 7 supported below grade. And there were countless 8 defects with the metal building itself. And you'll 9 see the evidence of those defects as we get into this 10 case. 11 The total cost that Tri-Bar incurred to 12 fix those defects was $317,000.00. So, whereas SBS 13 contends it's owed $304,000, we contend that we're 14 entitled to an offset of $317,000.00. There is a 15 difference, as we discussed at the motion for summary 16 judgment hearing, between a breach of warranty claim 17 and a breach of contract claim. They are myopically 18 focused on the breach of warranty issues. Yes, if you 19 want someone to come out and make a warranty repair, 20 you have to send them a notice and ask them to do 21 that. If you want to hold someone liable for breach 22 of contract, there is no such obligation. And we'll 23 see that in the language of the contract. 24 With respect to Mr. Robertson, I believe 25 Mr. Brown said it. There's two claims here, first of TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 17 1 all; a breach of contract claim and the tortious 2 interference claim, which he spent most of his time 3 talking about. He said the contract is with SBS. 4 That's undisputed. That is the one thing in this case 5 that I think everyone will have to agree is 6 undisputed. There is not a shred of evidence that 7 there was any contract between Robertson and Tri-Bar. 8 So, that claim goes away from the get-go. 9 And then we start talking about tortious 10 interference. And there was records to the real 11 reason that Robertson made a change. What you're 12 going to hear from Mr. Pittman is the real reason that 13 they made a change. And that is because there was a 14 change in scope for the electrical work. There were 15 some additions made to the scope of the electrical 16 work. Robertson submitted a bid to perform that work 17 that was $60,000.00. After the owner came back and 18 said, that's way too high, they started ratcheting it 19 down. I don't know how they did that. They must have 20 had some fluff in the bid. But they eventually got it 21 down to 32,000. But while all this is going on, Mr. 22 Pittman has gotten a competitive bid from C&S 23 Enterprises. That bid is $21,119.00; almost a third 24 of the original bid from Robertson. And Robertson is 25 still one and a half times higher than C&S even after TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 18 1 it backs all the fluff out of its bid. 2 An owner has a legitimate interest in the 3 cost of his project. It's reasonable for an owner to 4 want to manage the cost on the project. And their 5 interest is superior to that of both the general 6 contractor and the subcontractor. So, they were 7 justified in asking SBS to make a change to C&S, given 8 that they could -- the price that Robertson quoted was 9 50 percent higher than the price that C&S quoted. 10 Mr. Pittman will tell you that he 11 believed that he had the right to require SBS to make 12 a change in the contract. He'll tell you that he 13 believed that the contractor allowed it. And he'll 14 tell you that he did not believe that SBS doing so 15 would in any way be a breach of its subcontract with 16 Robertson. That's all I have at this point. And we 17 will attempt to be expeditious in the presentation of 18 our evidence as well. 19 THE COURT: Thank you. Your first 20 witness, Mr. Brown? 21 MR. BROWN: Yes, sir. We will call Mr. 22 Pittman to the stand. 23 MR. CLARK: Your Honor, I think we have 24 an extra witness that may be in the courtroom. 25 THE COURT: Okay. And somebody asked TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 19 1 that -- 2 MR. TREVINO: I'm not. 3 THE COURT: You're not? 4 MR. TREVINO: No. I'm general counsel 5 for Tri-Bar. 6 THE COURT: Okay. Come on up, Mr. 7 Pittman. 8 MR. CLARK: He's actually on our witness 9 list. 10 THE COURT: Come on up, sir. 11 MR. TREVINO: Excuse me? 12 MR. CLARK: You're actually on our 13 witness list. 14 THE COURT: I think somebody asked to 15 invoke the Rule, so any other witnesses around? Okay. 16 Come on up, sir, and tell me one more time your name 17 for the record. 18 MR. TREVINO: Yes. It's Anthony Trevino. 19 I'm general counsel for Tri-Bar. 20 THE COURT: Okay. Raise your right hand. 21 (At this time the 22 witness was sworn in.) 23 THE COURT: You understand the Rule has 24 been invoked, which means you cannot be in the 25 courtroom while other people testify, nor can you read TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 20 1 any written testimony while this case is going on or 2 discuss the testimony. Do you understand that, sir? 3 MR. TREVINO: I do. 4 THE COURT: Okay. You're excused until 5 we call you. Thank you. Mr. Pittman, raise your 6 right hand. 7 (At this time the 8 witness was sworn in.) 9 THE COURT: Have a seat, sir. 10 MR. BROWN: Your Honor -- 11 THE COURT: Anything else, sir? 12 MR. SLATES: I apologize. I don't recall 13 Mr. Trevino being on your witness list. He may be 14 identified as a person with relevant facts, but he's 15 not indicated that you were going to call him. 16 MR. CLARK: Well, we -- we may. It 17 depends on whether -- you know, Mr. Morgan obviously 18 had conversations with Mr. Trevino about the defects. 19 So, that may become an issue. He may be a witness and 20 I don't want to have the Rule violated and him be 21 sitting there listening to everything. 22 MR. SLATES: He's a lawyer for the 23 company. It seems like he would be -- 24 THE COURT: Well, if he's a witness, then 25 he would be disqualified as a lawyer. So, we can go TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 21 1 down that trail. I mean, you're going to call your 2 client, who's going to say something that Counsel told 3 him -- 4 MR. CLARK: Yes. 5 THE COURT: Why would you want him to 6 testify to -- controverting what your client says? 7 MR. CLARK: Well, I don't know that I 8 would want to. 9 THE COURT: Okay. 10 MR. CLARK: But if Mr. Slates wants to 11 call him later to say that Mr. -- I mean, I guess -- 12 THE COURT: Then he's sitting here under 13 the Rule, then he'd be excluded. 14 MR. SLATES: Your Honor, let me try to 15 solve this problem. 16 THE COURT: Or we can -- 17 MR. SLATES: We have no intention of 18 calling Mr. Trevino. And Mr. Morgan can give his 19 testimony as to what transpired in that conversation. 20 I'll cross-examine him and -- 21 THE COURT: Okay. You can have Mr. 22 Trevino stay here. But then again, if for some reason 23 you want to call him, you can't since the Rule has 24 been invoked. We understand that? 25 MR. SLATES: That's understood. TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 22 1 THE COURT: Okay. 2 MR. BROWN: The exhibits have been 3 previously agreed to. And we're asking, to the extent 4 that they are, Plaintiff's Exhibits 1 through 34 that 5 we've agreed to -- 6 THE COURT: Any objections to Plaintiff's 7 1 through 34, Counsel? 8 MR. SLATES: The only one that we've 9 raised an objection to, I believe, is Exhibit Number 10 10, which is the affidavit of Tom Pittman. 11 MR. BROWN: It's 10. And of the list, 12 10, which is the affidavit of Tom Pittman, and 21, the 13 deficiencies of C&S, have been pulled. 14 THE COURT: Okay. 1 through 34 with the 15 exception of 10 and 21. Any objection to those? 16 MR. SLATES: No objection. 17 THE COURT: Okay. Those are admitted. 18 MR. CLARK: And no objection from us 19 either. Your Honor, do you want all the exhibits now? 20 Because we've kind of -- 21 THE COURT: If y'all have got a book like 22 that, that would be nice. 23 MR. CLARK: We have a copy that you can 24 write on. These are just the Select Building Systems 25 exhibits that we've agreed on, all except Number -- TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 23 1 THE COURT: Well, what about the first -- 2 is there a binder for me? 3 MR. CLARK: All except Number 23 are 4 agreed as admitted in ours. They're like the 5 Defendant's Exhibits 1 through 117. 6 THE COURT: Okay. 7 MR. CLARK: That's your copy, so you can 8 write on it. I've got a separate copy for the -- 9 THE COURT: Okay. 10 MR. BROWN: You can have this one. 11 THE COURT: Counsel, as to Defendant's 1 12 through 117, any objections to Defendant, Select 13 Building's -- 14 MR. SLATES: Only as to 23, Your Honor. 15 THE COURT: 23. So, Select Building's 16 Exhibits 1 through 117 are admitted, except for 23? 17 MR. SLATES: Yes, Your Honor. 18 THE COURT: Okay. 19 MR. SLATES: Ours is a bit more 20 complicated. 21 THE COURT: Hold on. Okay. Go ahead, 22 sir. 23 MR. SLATES: Okay. There are some 24 objections that have been raised to some of our 25 exhibits. I don't know if you want us to take those TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 24 1 up at the time of introduction, but let me just -- 2 THE COURT: Let's go through the ones 3 y'all agreed upon. 4 MR. SLATES: Certainly. Okay. So, 5 stipulated as admitted by all parties of Defendant, 6 Tri-Bar's exhibits are Exhibits 1 through 13. 7 THE COURT: Okay. 8 MR. SLATES: 21 -- excuse me -- not 21. 9 Strike that. 28, 29 through 37, 39, 41, 42, 46 10 through 49. 11 THE COURT: 46 through 49? 12 MR. SLATES: Yes, Your Honor. 13 THE COURT: Okay. Thank you. 14 MR. SLATES: 51, 52, 54, 56, and 61. 15 THE COURT: Is that correct? 16 MR. BROWN: Yes, sir. 17 THE COURT: Counsel, is that correct? 18 MR. CLARK: Yes, Your Honor. 19 THE COURT: Okay. Defendant Tri-Bar's 1 20 through 13, 28, 29 through 37, 39, 41, 42, 46 through 21 49, 51, 52, 54, 56, and 61 are admitted. 22 MR. SLATES: I apologize, Your Honor. I 23 omitted -- 15 through 18, I believe, were also 24 stipulated to. 25 THE COURT: Is that correct, Counsel for TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 25 1 Plaintiff -- Counsel for Robertson? 15 through 18, 2 he's saying. 3 MR. BROWN: Yeah, that's correct. 4 MR. CLARK: Yes, Your Honor. 5 THE COURT: Okay. 15 through 18 are also 6 admitted for Defendant Tri-Bar. Go ahead, Mr. Brown. 7 MR. BROWN: Thank you. 8 THOMAS PITTMAN, 9 having been first duly sworn, testified as follows: 10 DIRECT EXAMINATION 11 BY MR. BROWN: 12 Q. Would you please state your name? 13 A. Thomas Pittman. 14 Q. And what is your relationship to Tri-Bar? 15 A. I used to work for Lewis Energy. 16 Q. And so -- 17 MR. SLATES: Mr. Brown, I apologize for 18 interrupting you. I was just going to let the Court 19 know, Mr. Pittman is a type I diabetic. He may need 20 to take a break and get a piece of candy or something 21 if he gets a little low. 22 THE COURT: Okay. So am I, so that's 23 okay. We can go together to the candy machine. Okay. 24 Go ahead, Mr. Brown. 25 MR. BROWN: All right. TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 26 1 Q. (BY MR. BROWN) Were you still working with 2 Tri-Bar on or about June 19th, 2012? 3 A. I believe so. 4 Q. Okay. And briefly, what are your 5 qualifications? 6 A. How far do you want to go back? 7 Q. Well, this century would be nice, but -- 8 A. Okay. Well, I started in the construction 9 industry probably around 1977. While I was going to 10 college, I worked for Ray Ellison. I was an 11 apprentice for Ray Ellison. I got a degree from 12 Trinity in building construction. I've been in the 13 construction business ever since; residential, 14 commercial, multifamily; probably close to $500 15 million worth of work. 16 Q. And do you hold any licenses? 17 A. No. You don't have to hold a license to be a 18 general contractor. I was certified as an FHA 19 inspector when I was going to college, but I never 20 used that. 21 Q. And you continued working with Tri-Bar or 22 your employer until when? 23 A. I don't remember. I want to say it was 24 probably March or April. 25 Q. Of what year? TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 27 1 A. '13. 2 Q. 2013? 3 A. Yeah, 2013. 4 Q. And did you quit or were you terminated? 5 A. No. I resigned. 6 Q. Under what basis? Why did you resign? 7 A. Well, at the time I was looking at starting 8 another business with an entrepreneur and investor. 9 Q. Now, there's a contract, I believe, that you 10 entered into with -- or for Tri-Bar with SBS Select 11 Building Systems; is that correct? 12 A. I didn't enter into a contract with them. I 13 mean, Lewis -- Rod Lewis personally did under Tri-Bar. 14 I mean, I don't know the specifics of it, but -- 15 Q. And you're identified in the contract as the 16 representative; is that correct? 17 A. Yes. I was the construction manager for 18 Lewis Energy. 19 Q. And in your capacity in this contract, what 20 is it that you would do? 21 A. Well, I was an owner's rep. 22 Q. So, what would you do? 23 A. Well, I would oversee construction projects. 24 I acted as the owner's rep with my eyes and ears on 25 the project in all aspects. TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 28 1 Q. So, does that mean that you're reviewing the 2 subcontracts that come in, meet with -- 3 A. No. I didn't review subcontracts. Our 4 contract was with SBS. 5 Q. So, you had nothing to do with any of the 6 subcontracts that came in? You didn't look at them, 7 didn't know anything about them? 8 A. No. 9 Q. And you're aware that my client entered into 10 his contract with SBS on or about June 9th, 2012; is 11 that correct? 12 A. I'm not sure when your client entered into a 13 contract with SBS. 14 Q. During your time with the contract -- because 15 you would have been there from June 9th of 2012 up 16 until the point when my client was terminated; 17 correct? 18 A. Correct. 19 Q. So, during that time, did you ever meet with 20 any representative of Robertson Electric? 21 A. I talked to people that were doing the work 22 out there periodically. 23 Q. Who? 24 A. I don't remember. You know, they had -- they 25 were electricians. I don't know if they were subs -- TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 29 1 subcontractors or direct employees of Robertson 2 Electric. 3 Q. Did you ever meet Mr. Robertson? 4 A. No. 5 Q. Never sent him any correspondence? 6 A. No. 7 Q. Ever call him on the phone? 8 A. No. 9 Q. So, it would be reasonable, then, for me to 10 state that during the time period from Mr. Robertson's 11 time on the contract until he was terminated -- or his 12 business terminated, that you never spoke to him? 13 A. Correct. 14 Q. Never wrote to him? 15 A. Correct. 16 Q. So, during that time span, then, it would be 17 reasonable for me to say that there was never a 18 complaint that you register with him? 19 A. I never registered a complaint with 20 Robertson. 21 Q. At all? 22 A. At all. 23 Q. Okay. Now, with regard to -- I want to go to 24 Plaintiff's Exhibit Number 5. Now, on January 2nd of 25 2012, my client made some inquiry about the status of TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 30 1 a change order. There was a change order that takes 2 place in December; isn't that correct? 3 A. I'm assuming. Yes, that's correct. There 4 was -- let me rephrase that. We didn't issue a change 5 order. 6 Q. No, you didn't. 7 A. No. 8 Q. In fact, as I understand it, there were 9 changes that were made to the underlying contract that 10 Mr. Robertson for REI indicated that weren't in the 11 original draft; isn't that correct? 12 A. I don't know that. 13 Q. And isn't it also correct that, based upon 14 those changes which were not in the original draft, he 15 then sends out a request for a change order based upon 16 those changes that are in the -- in the contract -- I 17 mean, in a draft he's now in possession of? 18 A. Well, that -- let me digress. I know that 19 there was a -- there was a proposed change. Okay. 20 There was a proposed change issued by the architect to 21 add some additional circuitry and add some additional 22 electrical work. I'm not sure I follow what you're 23 talking about as far as changes that were made. Those 24 -- that's the only specific change that was made and 25 at issue. TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 31 1 Q. But what I really want to make certain of is 2 that you were dealing with the representative for SBS; 3 isn't that correct? 4 A. Yes. 5 Q. And it indicates that on January 2nd, you're 6 out there at the site -- it indicates that you go to 7 the site on January 2nd; isn't that correct? 8 A. I don't see where it says that I'm on site. 9 Q. Go to the top. 10 A. Again, I don't see where it says that I'm on 11 -- on the site. 12 Q. Read up here, please. 13 A. (Witness complying.) "Jerrod, we're 14 scheduled to have a meeting with the client this 15 Friday to review all outstanding issues/change orders. 16 Hopefully we'll get something finalized during this 17 meeting because your change order will be discussed at 18 that time. At this time client rep was out late this 19 afternoon and, generally speaking, he's satisfied with 20 the conduit installation thus far. It doesn't mention 21 my name. 22 Q. Okay. You're the client's rep, aren't you? 23 A. I am one of them. 24 Q. Okay. The contract that you have with SBS, 25 you are the designated client rep? TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 32 1 A. Am I? 2 Q. Are you aware of that? 3 A. No. 4 Q. Okay. Let's go to that contract so that we 5 can remove any ambiguity. That should be Exhibit 15. 6 On Exhibit 15, subparagraph section 15.3, page 11, see 7 at the very bottom where it says, "owner's 8 representative"? 9 A. Yes. 10 Q. Who does it say it is? 11 A. That's me; Thomas Pittman. 12 Q. So, it would appear you're the rep that he's 13 talking about; right? 14 A. Yes. 15 Q. And you do recall having conversations with 16 -- is it Kieke? 17 A. Kyle. 18 Q. Kyle? 19 A. Yeah. 20 Q. Is it Kieke? 21 A. I don't know. 22 Q. Okay. And as a matter of fact, if you go to 23 Plaintiff's Exhibit 19-D, which are the SBS daily fuel 24 reports, where it indicates inspections and testing 25 visitors that date at the site. TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 33 1 A. Uh-huh. 2 Q. It shows you're there, doesn't it? 3 A. Yes. 4 Q. So, does that help refresh your memory as 5 to -- 6 A. Yeah. I see there's one electrician on the 7 site, too. 8 Q. So, that helps refresh your memory as to -- 9 A. Yeah. 10 Q. -- that you were there; correct? 11 A. Yeah. I was there. 12 Q. All right. And he accurately represents that 13 you had no problem with the conduit installation; 14 correct? 15 A. Well, I didn't go and physically, I mean, 16 examine the conduit. I mean, I saw them installing 17 conduit with one electrician. 18 Q. Now, on Exhibit 19-D, it indicates the work 19 that Robertson Electric was doing that day; correct? 20 A. Yes. 21 Q. It says pulling wires, conduit, those type of 22 things; correct? 23 A. "Pull wire for overhead lighting conduit. 24 Install conduit drops for emergency wall lighting, 25 continue CMU wall construction." TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 34 1 Q. That's what you saw going on; right? 2 A. I believe so. 3 Q. You didn't go up there and tell them to stop? 4 A. No. 5 Q. You're doing it wrong? 6 A. No. 7 Q. All right. On Exhibit 19-N, this is a weekly 8 report for SBS. Now, it indicates that there were no 9 project issues this week; right? Mr. Pittman? 10 A. I'm reading. 11 Q. Oh, okay. 12 A. Okay. I'm sorry. What was the question? 13 Q. There are no project issues indicated for 14 this week; correct? 15 A. On this report. 16 Q. That's correct. None indicated for my 17 client; correct? 18 A. Again, this is a weekly report submitted by 19 SBS. 20 Q. I understand. So, the purpose of these 21 reports is to communicate a history of what is going 22 on at the site; correct? 23 A. I would assume. 24 Q. Okay. And you're looking at this, and I 25 guess I'm trying to figure out, did you talk to TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 35 1 anybody at SBS saying that there was a problem that 2 week with my client? 3 A. I don't remember. I know that I did speak to 4 SBS about Robertson Electric. 5 Q. We'll talk about that in a few moments. 6 Let's go to week-ending -- let's go to 19-O. You 7 would agree with me again for this week, there are no 8 problems identified; correct? 9 A. Well, there's a paragraph here that says 10 "project issues." It says, "We'll address all 11 outstanding issues during the scheduled meeting of 7 12 of January." And outstanding issues -- we'll address 13 all outstanding issues. I don't know what those 14 outstanding issues could be. That's kind of an 15 open-ended question. 16 Q. And that is for January 6th of 2013; correct? 17 A. This -- yes. 18 Q. Okay. You know who John Grable is; correct? 19 A. Correct. 20 Q. And who was he? 21 A. Project architect. 22 Q. And in that capacity as a project architect, 23 it would be his responsibility to oversee -- if there 24 were problems, start with those problems; correct? 25 A. No, that's not correct. TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 36 1 Q. Okay. What would he do? 2 A. Well, it depends on what his contract is. 3 Q. Okay. Well, you're the one dealing with him. 4 What did he do for you? 5 A. What did he do for me? He's a project 6 architect. He also had -- at the time he was going to 7 act as the -- or assisting in construction management. 8 Q. Okay. So, he's assisting in project 9 management, so he's overseeing and making certain that 10 things are happening the way they're supposed to 11 happen; right? 12 A. I don't know that. 13 Q. Okay. Let's go to Exhibit 24-B. 14 A. Is there a tab that says "B" or just -- 15 Q. Go here. 16 A. Okay. 17 Q. That's Mr. Grable approving a draw 18 application; correct? 19 A. I believe so. I can't really see -- is that 20 for draw application number 6? 21 Q. That's correct. What he expressed and writes 22 is that the electrical rough-in is underway and real 23 progress is underway. Isn't that what he writes? 24 A. Yeah. He's referencing that because there 25 had been no progress prior to that time. TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 37 1 Q. And I want you to -- to note the exact daily 2 weekly report he addresses. It's 19-O; isn't that 3 correct? 4 A. I'm trying to read this. It -- the copy is 5 very blurred and smudged. 6 Q. Do you want me to help you? 7 A. No. I'm getting through it. 8 Q. All right. 9 A. Okay. What was the question? 10 Q. The exact report -- weekly report he's 11 referring to is Exhibit 19-O; isn't that correct? 12 A. Yes. 13 Q. And based off that, what he's saying is, 14 everything is underway. Everything appears to be 15 good; right? 16 A. Yeah. 17 Q. And if you look at the very bottom of that, 18 you get a CC? 19 A. Uh-huh. 20 Q. So, that would have been your time then to 21 say, well, that's not what I think is correct; right? 22 A. That -- yeah, I would assume. 23 Q. But you don't do that, do you? 24 A. No. 25 Q. Okay. TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 38 1 A. I mean, I don't know that I don't do that. A 2 lot of my communication and -- as the construction 3 manager for Rod Lewis would be ultimately to review 4 all the pay applications regardless of what the 5 architect said. 6 Q. Okay. A lot of your communication is oral; 7 right? 8 A. Some of it is. 9 Q. Well, a few moments ago you indicated that 10 you had a conversation with SBS; correct, about my 11 client? 12 A. I did. 13 Q. You didn't put it in writing, did you? 14 A. I don't believe to. 15 Q. Okay. So, you didn't write to them saying 16 whatever concern you allegedly had with Robertson 17 Electric; correct? 18 A. You know, that was a long time ago. I don't 19 remember. I'm sure I -- I had some correspondence via 20 e-mail. 21 Q. Well, you would agree with me that if you had 22 correspondence via e-mail; right -- 23 A. Right. 24 Q. -- it would exist; right? 25 A. Yes. TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 39 1 Q. And certainly your lawyers would have it; 2 right? 3 A. I assume. 4 Q. And if I represent to you that no such 5 communication has been turned over, then it would tend 6 to suggest that it doesn't exist; right? 7 A. Okay. 8 Q. So, if there is no e-mail from you at all to 9 SBS concerning Robertson Electric, then your earlier 10 representation that it could have been in -- via 11 e-mail would be incorrect, wouldn't it? 12 A. Well, like I said, I -- I haven't gone 13 through all this documentation. If you're saying that 14 there is no e-mails that exist between myself and SBS 15 regarding Robertson Electric, then I'm assuming that's 16 correct. 17 Q. Now, when I reviewed Mr. Grable's letters, 18 Exhibit 24-A and Exhibit 24-B concerning my client, he 19 expressly states electrical rough-in is underway and 20 real progress is underway. That's what he writes in 21 both instances; correct? 22 A. Correct. 23 Q. Now, on Exhibit 24-B, it has the date of 24 January 21st -- I mean, of December 21st, but that's 25 obviously incorrect, because it references the weekly TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 40 1 report of January 6th. So, it couldn't reference a 2 report on the 21st that didn't exist until after that 3 document was drafted; correct? 4 A. Assuming that it was issued on the 4th of 5 January. 6 Q. Now, Exhibits 19-A through 19-L include the 7 following dates: December 18th, 2012; December 19th, 8 2012, December 20th, 2012; January 2nd, 2013; 9 January 3rd, 2013; January 4th, 2013; January 7th, 10 2013; January 8th, 2013; January 15th, 2013; 11 January 21st, 2013; January 22nd, 2013; and 12 January 23rd of 2013. Those are the daily reports 13 from SBS. And in each and every one of those daily 14 reports, there is not one indicated problem with 15 Robertson Electric. Were you aware of that? 16 A. No, I wasn't. But after looking at these 17 daily reports, it's telling me that there's one 18 electrician on the site. 19 Q. Okay. 20 A. There's two electricians, at best. That's 21 problematic on a job this size. 22 Q. It's funny you should say that. Because as I 23 understand it, during this time frame, there is trench 24 work that's supposed to be done and -- 25 A. What kind of trench work? TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 41 1 Q. -- curbing that's supposed to be done. 2 A. What's that? Trench work? What kind of 3 trench work? 4 Q. We're going to get to that. We're going to 5 get to that. But those documents don't show any 6 complaint; correct? 7 A. I don't see anything. 8 Q. Okay. Now, Exhibits 19-M through 19-Q are 9 the weekly reports. And these are December 23rd, 10 December 30th, January 6th, January 13th, and 11 January 30th of 2013. And those likewise show 12 absolutely no complaint or problem? 13 A. Well, I find it highly unusual if a -- if a 14 general contractor is going to write all his 15 complaints on a weekly report. 16 Q. Maybe. 17 A. Yeah. I mean, I doubt if a general 18 contractor is going to put, I'm really having a 19 problem with the electrician or, I'm really having a 20 problem with my stone guy. You know, so, to say that 21 these project issues aren't identifying a problem with 22 Robertson Electric is kind of -- I don't know how 23 that's relevant. 24 Q. So, what you're saying is, they should have 25 been like you; right? Not have documentation, but say TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 42 1 there was a problem. Is that what you're saying? 2 A. No, that's not what I'm saying. 3 Q. Okay. Because I want to be certain. You're 4 contesting documentation and you're saying, well, 5 they're not going to document -- 6 A. I'm not consisting it. I'm just reading 7 what's here. 8 Q. Okay. 9 A. And there's very little here. There is -- 10 when you have project issues and you've got one 11 sentence that says, we'll address all outstanding 12 issues, what does that mean? 13 Q. Well, I believe when your architect goes 14 back and says everything is fine, then -- and 15 you indicated -- 16 A. And as an architect, he's not going to go, 17 boy, I'm really having a problem with the general 18 contractor. 19 Q. So, what you're saying, then, is that the 20 general architect -- 21 A. A general architect? What is that? 22 Q. I mean -- excuse me. The architect who was 23 on this site with Mr. Grable, he didn't indicate to 24 you that he had any problems with my client; correct? 25 A. Not that I remember. TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 43 1 Q. And so -- and he didn't put anything in 2 writing to you about any problems he was having; is 3 that correct? 4 A. That's correct. 5 Q. Okay. Now, did you take any pictures? 6 A. Did I take picture? 7 Q. Yes. 8 A. I don't believe so. 9 Q. Okay. So, the pictures that my client does 10 take would indicate what the site was like when he was 11 there; correct? 12 A. I don't know. I've never seen any pictures 13 that your client took. 14 Q. Okay. Have you seen Exhibit 27? 15 A. Okay. 16 Q. Did you examine them? 17 A. I've looked at the first page. I didn't know 18 there was more. Some of these are reproductions of 19 the same picture over and over again. 20 Q. Okay. These are pictures of the site; the 21 work, equipment, and supplies that are at that site. 22 Did you ever go to the site and see the wall? 23 A. See the wall? 24 Q. See the wall, where the electrical work was 25 being done. TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 44 1 A. Yeah. 2 Q. That's what it looked like, didn't it? 3 A. Yeah. 4 Q. Okay. 5 A. There was a whole bunch of walls. Are you 6 referring to one of the walls or all of the walls? 7 Q. Those pictures accurately represent what my 8 client did up until the 23rd of January -- 9 A. No. 10 Q. -- of 2013? 11 A. No, they don't. 12 Q. So, you're saying the camera is lying, too? 13 A. No. I'm saying you're taking one picture -- 14 two pictures -- a lot of these are duplicates of the 15 same thing. 16 Q. Okay. 17 A. But they don't accurately depict all of the 18 electrical work. 19 Q. And you -- 20 A. If that's what you're asking me. You're 21 asking me if one wall is indicative of all of the 22 work, and I'm saying, no, it's not. 23 Q. As a matter of fact, that's not what I said. 24 A. Okay. 25 Q. What I said was -- TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 45 1 A. You did say the wall -- 2 THE COURT: Wait. Y'all don't overtalk 3 each other. She can't type it down. 4 THE WITNESS: I'm sorry. 5 MR. BROWN: I'll stop. 6 Q. (BY MR. BROWN) What those -- I represented 7 those pictures were of the site that Mr. Robertson 8 did, and they were indicative of what Robertson 9 Electric did. Isn't that what I said? 10 A. I believe so. 11 Q. And that's what those pictures represent; 12 correct? 13 A. Yes. 14 Q. And you don't have any pictures of what you 15 took; correct? 16 A. No. 17 Q. Okay. So, again, your memory that you -- a 18 few moments ago was a little hazy, you were going back 19 and saying, well, that really wasn't it? Is that what 20 you're saying? 21 A. I'm sorry? 22 Q. A few moments ago when we were going -- you 23 know, I was asking you some questions, you appeared to 24 be having some problems with your memory. 25 A. No. TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 46 1 Q. Okay. 2 A. I wasn't. 3 Q. Now, Exhibit 19-Q is the weekly report from 4 SBS. And on the project issues, it says, the 5 electrical subcontractor status. That was an issue. 6 You see that? 7 A. Uh-huh. 8 Q. Is that because on January 14th, you told SBS 9 that you needed to make a change? 10 A. I don't remember the date, but yeah, I told 11 SBS we needed to make a change. 12 Q. And that occurs on the 14th of January of 13 2013; correct? 14 A. I don't recall. 15 Q. When -- the process for doing bids -- 16 A. What kind of -- doing bids? 17 Q. Electrical bids. 18 A. Yeah. 19 Q. Is the normal course to have somebody examine 20 the work that needs to be done and then they bid on 21 that work? 22 A. I'm sorry. I don't really follow you. The 23 standard course of action is to issue contract 24 documents to electricians, have them vet the 25 electrician, get a price from the electrician. TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 47 1 Q. Okay. 2 A. That's standard procedure. 3 Q. So, you would agree then that the providing 4 of documents is what you would provide to -- 5 A. I'm the owner's rep. I'm not the general 6 contractor. I would assume the general contractor 7 provides the electrical contractor with the necessary 8 documents. 9 Q. So, then, it would be the general contractor 10 that then does the vetting in looking for -- 11 A. Right. We don't -- as a construction manager 12 for the owner, I'm not managing the subcontractors. 13 Q. Okay. So, you're not going out there looking 14 to find subcontractors; correct? 15 A. I'm not sure I really understand you. 16 Q. Well -- 17 A. What do you mean, I'm not going out and 18 looking to find subcontractors? 19 Q. Uh-huh. 20 A. That -- that can happen. If I see a problem, 21 if I identify a certain trade as having a problem, I 22 can -- I can go in and say, hey, I want to price this 23 or I want to look at optional pricing. I don't have 24 to do that through a certain electrician. 25 Q. Okay. And the process for doing that would TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 48 1 be, then, that you then submit them the documents for 2 them to review first? 3 A. Who is them? 4 Q. Whoever you're going to consider. 5 A. Yeah. That's safe to say. 6 Q. Okay. So, you would then send out documents 7 first to whomever you're going to consider; correct? 8 A. I'd assume. 9 Q. And then that individual would then tender a 10 bid or a proposal based upon that; correct? 11 A. Correct. 12 Q. And then you would then act upon that? 13 A. Well, if I gave them notice of receipt or if 14 I issued them a contract. He's not going to act upon 15 it independent of giving -- without giving a notice to 16 proceed or a contract. 17 Q. Did you, in fact, provide C&S Enterprises a 18 copy of the work -- a packet, as you would say, for 19 them to consider before you recommended them? 20 A. I -- absolutely I did. 21 Q. Where is it? 22 A. The packet that you're referring to is -- was 23 a change order that was issued by the architect -- a 24 proposed change for additional work to the contract. 25 Not the subcontractor, Robertson Electric, but the TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 49 1 contract that SBS had. Okay. And most of -- the 2 majority of that was electrical work. And the only 3 reason I did that with C&S is because the price I got 4 back from Robertson Electric was extremely high. 5 Q. Well -- 6 A. And it was my -- it was under my prerogative 7 that I can take that and have another electrician look 8 at that. 9 Q. I want to be certain I understand what you're 10 saying. Because the only -- the only document you got 11 back from Robertson Electric addressed a change order; 12 correct? 13 A. Proposed change. 14 Q. Right. And that was it. And then based upon 15 that one little narrow area of change order, you then 16 recommended -- 17 A. It was almost -- it was -- it wasn't one 18 little narrow change order. The first change order I 19 got from Robertson Electric was $60,000.00. That was 20 almost -- that was a quarter -- more than a quarter of 21 the whole subcontract amount. 22 Q. Okay. 23 A. That was when I went, you know, there's a 24 problem here. 25 Q. Okay. Now, when you did that, okay, that was TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 50 1 on that one area of the change order; correct? 2 A. I think that was the area of the change 3 order. 4 Q. Okay. 5 A. Not one area. 6 Q. And based upon that -- based upon that 7 section, you then recommend the termination of an 8 entire contract? 9 A. No, that's not true. 10 Q. Let's go -- let's look at -- 11 A. After the review of C&S's number, I did. 12 Q. Let's look at Exhibit 29, please. 13 A. (Witness complying.) 14 Q. Now, Exhibit 29 is an e-mail. And on January 15 14th at 3:54, you send Jack Green -- Jack Green is 16 with SBS; correct? 17 A. Yes, sir. 18 Q. Okay. And you send him the following. It 19 says, "Give me a call about the electrician." 20 Correct? 21 A. Correct. 22 Q. He said, "I'm going into a meeting now and 23 should be out by 4:45 p.m." Correct? 24 A. Correct. 25 Q. Okay. Now, attached to that is the proposal. TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 51 1 A. There's nothing -- there's no attachment on 2 this e-mail. So, there's -- but that was not attached 3 to this. 4 Q. That's what I got. 5 A. Okay. It's just another proposal. It's not 6 attached -- there's no attachment. But yeah. Okay. 7 Q. And the entire contract for my client is 8 being bidded out; correct? 9 A. No. I sent over the plans and specifications 10 for the hangar for a comparable bid. 11 Q. Well, if all you sent over was a comparable 12 bid for the change order -- that's what you're saying? 13 A. No. No. I sent over all of the documents 14 for the electrical side. Because I'm getting a 15 comparable price. Okay. Now, here is -- for the same 16 work, $76,000.00. And then I also send over a 17 proposal for the change order. So, what I'm trying to 18 do is not just get the change order price. I'm trying 19 to get a full magnitude of what the original contract 20 is -- 21 Q. Correct. 22 A. -- and what the add is. 23 Q. And so, the original contract and the add on 24 the proposal that's provided was $72,000.00; correct? 25 A. No. This was $76,000.00. TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 52 1 Q. Okay. $76,486.75; correct? 2 A. For the first order of magnitude, which was 3 the first work. 4 Q. Okay. We're going to get back to this. Now, 5 going back to Exhibit Number 5, in my client's e-mail 6 on January 8th, he's talking about the easement and 7 underground matters; correct? 8 A. Well, I'm on the fourth page. You said the 9 third page. But this is January 8th? 10 Q. Uh-huh. 11 A. Okay. 12 Q. And he is being told by Mr. Kieke that the 13 owner foreman isn't going to allow the easement or 14 underground situation to continue and it's placed on 15 hold; right? Do you see that? 16 A. Yes. 17 Q. That's true; right? 18 A. I don't know. I don't know who the owner's 19 foreman is. 20 Q. Okay. 21 A. Because there's another owner's foreman out 22 there. 23 Q. There was an easement problem; correct? 24 A. I don't remember. The easement wasn't a 25 problem. What we were trying to do was to bring in TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 53 1 three-phase power. 2 Q. Uh-huh. 3 A. So, there was never a problem. I mean, the 4 site is a ranch that we can establish easement 5 wherever you want it. The easement -- the electrical 6 easement was for the feed coming in off the main 7 power. We always wanted to try to get three-phase 8 power. We had single-phase, so what we were trying to 9 do in this process was to get three-phase. We found 10 out from the electrical provider that three-phase was 11 too far down the road, so we were just going to go 12 with the single-phase. 13 Q. Right. But it hadn't been done; right? The 14 owner was withholding permission to do the work; 15 correct? 16 A. It says, "The owner's foreman isn't going to 17 start until his boss gives him the go-ahead." And was 18 the owner's -- was the easement part of Robertson's 19 scope of work? 20 Q. Sir, let's go to Exhibit 19-M. 21 A. "M"? 22 Q. "M." Look where it says on project issues. 23 It expressly reads, "Need status of electrical 24 easement to begin utility work." 25 A. Uh-huh. TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 54 1 Q. So, SBS is clearly indicating, in order for 2 things to continue going forward, that has to change; 3 right? 4 A. No. Let me -- let me -- 5 Q. Sir -- 6 A. -- qualify something. The electrical 7 easement isn't part of an critical path. 8 Q. And then right below there it says, "Need 9 status of electrical change approval." See that? 10 A. Yes. 11 Q. Both of these things are still up in the air, 12 and that's seven days earlier -- matter of fact, 13 almost a week earlier than the January 6th -- 14 A. The electrical easement wasn't part of a 15 critical path. 16 Q. Okay. 17 A. The electrical easement became an issue when 18 we decided that we would try to bring in three-phase, 19 which is a much more economical way to handle the 20 motors and things that -- that were going to be on 21 this project. 22 Q. Now, I want -- the date on that particular 23 weekly report is December 23rd, 2012; correct? 24 A. Yes. That's what it says. 25 Q. And the easement problem and/or excavation TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 55 1 issues are ongoing and continuing on the date that my 2 client is terminated, January 23rd of 2013; correct? 3 A. Yes. 4 Q. Okay. Now, on Exhibit 19-I, which is dated 5 January 15th of 2013, that's the day after C&S submits 6 its bid -- its proposal; correct? 7 A. I don't remember what day C&S submitted its 8 proposal. 9 Q. I'll represent to you that on the top of its 10 proposal, it's January 13th of 2013. 11 A. Okay. All right. 12 Q. The following day is when they do their 13 walk-through. 14 A. Who is they? 15 Q. C&S. 16 A. Okay. 17 Q. You see it there? 18 A. Yes. 19 Q. So, before they do a walk-through to examine 20 the site, they've already presented to you what 21 they're going to do the work for? 22 A. Correct. 23 Q. Okay. And again, we understand that price to 24 be $76,486.75; correct? 25 A. That was for a full scope of the work. TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 56 1 Q. Uh-huh. 2 A. Not the change order. 3 Q. Well, what you indicated then was that you 4 submitted all that was before you at that time. 5 Because at the time that you submitted your report and 6 your requests to Robertson for Robertson Electric, 7 their change order and their contract were before you; 8 correct? 9 A. I had seen their change order. The change 10 order was submitted to me. I never saw their 11 contract -- their contract with SBS. I may have 12 requested it. 13 Q. But you don't know? 14 A. I don't remember. 15 Q. Now, their proposal, again, is dated January 16 14th of 2013; right? 17 A. Yeah. 18 Q. And you -- 19 A. I'm assuming you're correct. 20 Q. Okay. You had it. It was in your hands. It 21 was in your e-mail; right? 22 A. Right. 23 Q. Do you understand why it takes almost about a 24 year, a year plus before that document is ever 25 produced in discovery? TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 57 1 A. I have no idea. 2 Q. Okay. Now, I want to go to Plaintiff's 3 Exhibit 22-A. And I want to make certain, do you need 4 any sugar or anything? 5 A. I'm good. 6 Q. All right. 7 A. Thanks. 8 Q. Now, on July 31st, 2013, the awarded contract 9 that was given to C&S wasn't 76,000; it was 10 $115,163.00. 11 A. Well, this was way after I'm gone. This was 12 July. I'd been gone since March. What transpired 13 after I left, I couldn't tell you. There may have 14 been a whole bunch of change orders. Who knows. 15 Q. You don't know? 16 A. I don't know. 17 Q. But they're clearly getting more than what 18 they said they'd do it for. 19 A. Well, we're assuming we're talking about the 20 same scope of work. 21 Q. Well, that would apply then as to Robertson, 22 too, that whatever you're submitting would be the same 23 scope of work. 24 A. No, it wouldn't. 25 Q. Oh, okay. TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 58 1 A. You're talking about something that could 2 evolve between when I left -- or when the original 3 project started. The only thing we had to compare was 4 the original scope of work. Okay. 5 Q. Which was changing. 6 A. Sure. 7 Q. Okay. 8 A. It's like every project. I mean, I don't 9 remember a single project not changing. 10 Q. You'd agree with me that the difference 11 between the proposed amount and the stated contract 12 amount would be approximately $39,000.00? 13 A. What -- I'm sorry. I don't follow you. 14 Q. The proposed amount is 76 -- 15 A. What proposed amount? 16 Q. The proposed -- 17 A. C&S's proposed amount -- 18 Q. Correct. January 14th -- 19 A. -- for the original scope of work? 20 Q. Correct. And the contract amount would 21 appear to be $39,000.00; correct? 22 A. Which contract amount? 23 Q. The contract amount that's referenced. 24 A. The contract amount you're referencing on 25 July 31st? TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 59 1 Q. Yes. 2 A. That's apples and oranges. 3 Q. Oh, is it? 4 A. Yes, it is. 5 Q. Okay. So, if it's apples and oranges, then 6 you would appear to be trying to hold my client, based 7 on your testimony, to oranges? 8 A. No, no. 9 Q. Oh, okay. 10 A. No. We're going back to the original scope 11 of work. 12 Q. Okay. 13 A. Months before this invoice, which has nothing 14 to do with Robertson Electric. They've been gone for 15 months. I've been gone for months. What -- how this 16 contract amount evolved is academic. Who knows what 17 changed. I want to go back to the original contract 18 amount that Robertson had and that C&S gave us a price 19 on. 20 Q. Uh-huh. Now, Mr. Pittman, you indicate that 21 you submitted to C&S a bid. Did that bid take into 22 consideration -- 23 A. I didn't submit to C&S a bid. I submitted -- 24 Q. Documents. 25 A. -- documents. TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 60 1 Q. Okay. Did those documents include the work 2 that my client had done? 3 A. No. 4 Q. Did it include the supplies they'd left 5 behind? 6 A. No. 7 Q. Did it include the gears and electrical 8 matters that were left behind? 9 A. No. 10 Q. So, if it doesn't, then if they include those 11 costs in items that were left behind and they have 12 been paid for them, but they were already there, then 13 somebody is -- 14 A. No. 15 Q. -- pocketing money; right? 16 A. No. That's -- that's a wild imagination. 17 What C&S gave us a price on prior to seeing the site 18 was the contract documents. The same contract 19 documents that Robertson gave us a price on -- or gave 20 SBS a price on. 21 Q. Well, as I understand it, you never saw what 22 Robertson did; right? 23 A. No. I saw part of what Robertson did. 24 Q. Well -- 25 A. I was on the site. I never said I never saw TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 61 1 what Robertson did. 2 Q. So, what you're really saying is, well, 3 there's some stuff I saw -- 4 A. What do you mean I'm really saying? I -- 5 have I changed my opinion? 6 Q. I don't know. 7 A. Have I said two things? Have I spoken out of 8 either side of my mouth? You're trying to say what I 9 really said. So, I'm not saying -- I've said exactly 10 what I said. 11 Q. What you said was that the information that 12 you submitted included Robertson's work. 13 A. No, I did not say that. 14 Q. So, it didn't include it at all? 15 A. Let me rephrase this, and hopefully you'll 16 understand it this time. 17 Q. Help me. 18 A. What they -- what we submitted to C&S was the 19 same contract documents that Robertson Electric had. 20 So -- 21 Q. That you never saw? 22 A. No. The plans and specifications that 23 Robertson gave us -- gave SBS a price is the same 24 documentation that C&S gave us a price to do. So, we 25 had apples and apples. We had the schedule of values TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 62 1 from Robertson Electric. We had a schedule of values 2 from C&S Enterprises. So, when I gave C&S Enterprises 3 a change order -- 4 Q. Uh-huh. 5 A. -- to give us a price on, they're working off 6 the same pieces of papers. They're working off the 7 same documents. 8 Q. Okay. 9 A. That was the whole purpose of giving them the 10 full scope of the work. 11 Q. So, again, when Robertson leaves, it leaves 12 its electrical supplies on-site; right? 13 A. They left some stuff on-site. Yeah. A lot 14 of it we couldn't use because it was wrong. 15 Q. Oh, okay. 16 A. But yeah. 17 Q. And those were the same electrical supplies 18 that had been approved by both you and Mr. Grable? 19 A. No. I did not approve any submittals. 20 Q. Now, you're indicating that, well, this was 21 wrong. Did you ever tell anybody with SBS that the 22 supplies were wrong? 23 A. I never said that the supplies were wrong 24 until after we reviewed them. 25 Q. And my question is, did you ever tell anybody TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 63 1 that they were wrong? 2 A. No. 3 Q. Okay. 4 A. Not until after we had terminated them. 5 Q. Now -- 6 A. We weren't out -- going out there checking -- 7 I mean, that's the general contractor's 8 responsibility, is to check that the submittals and 9 the -- and the documentation that's submitted is 10 correct per the contract documents. It's not my 11 responsibility. 12 Q. Okay. And I want to make certain -- because 13 I asked if you're licensed. You're not a journeyman, 14 you're not an electrician, you don't have those type 15 of -- 16 A. Oh, no. 17 Q. Okay. So, you wouldn't be putting your 18 training against someone who is certified and has the 19 requisite licenses; correct? 20 A. What do you mean putting it against? 21 Q. You know, putting your knowledge in what is 22 required on the site and what the specs require 23 against someone who has that training. 24 A. Oh, I do all the time. 25 Q. And you think you're on par with somebody who TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 64 1 has the requisite skills and training? 2 A. I'm on par with architects, engineers, 3 professional people from every aspect of this -- of 4 construction. 5 Q. Okay. Now, on or about December 14th, Mr. 6 Robertson is going through the plans that he has and 7 notes that the plans that he has are different than 8 the original plans that he was provided. Were you 9 aware of that? 10 A. No. 11 Q. And that the change-up in those plans 12 required a change order; correct? 13 A. Yes. 14 Q. Because if he's doing work that has -- off 15 the original plans that hasn't been approved, then 16 he's not going to get paid; right? 17 A. That's not -- that's not my responsibility. 18 That's SBS's responsibility. 19 Q. So, he then -- 20 A. What he was submitted by SBS, I don't know. 21 Q. Okay. Well, you just said you did know 22 because that's the same stuff you submitted -- 23 A. I mean, how could I say what was submitted to 24 Robertson Electric? Okay. I'm not overseeing every 25 piece of paper that's submitted to them. I mean, I TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 65 1 know that I have a certain set of documents that I'm 2 supposed to bill the project off of. What they're 3 issued, I don't know. How can I have control of that? 4 Q. So, Exhibit Number 4-A begins the movement 5 with regard to the change order. Now, that begins 6 December 14th of 2012; correct? 7 A. I'm getting there. 8 Q. That's the first document where you're 9 indicating that the proposed change order is 10 $60,276.00; correct? 11 A. We must be looking at a different thing. 12 This is -- okay. We are looking at different things. 13 This is price requests RFP number 1 for 60,000. 14 Q. Now, did you get that? 15 A. I saw a copy of this. Yeah. 16 Q. Did you respond to it? 17 A. No. 18 Q. So -- 19 A. It's not my duty to respond to this. I 20 respond to SBS. 21 Q. Okay. Did you respond to SBS? 22 A. Yes. 23 Q. In writing? 24 A. I don't know. 25 Q. Did you tell them -- first, did you just tell TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 66 1 them it's too high? 2 A. Oh, yeah. 3 Q. Did you tell them why it was too high? 4 A. No. I mean, I looked at the scope of work 5 here -- 6 Q. Sir, my question is, did you tell them why it 7 was too high? 8 A. No. 9 Q. Okay. So, you had said it's too high, but 10 you don't tell them why; correct? 11 A. I don't need to. I can look at it and tell 12 you it's too high. 13 Q. Okay. Then on January 8th at 4-B, Mr. 14 Robertson resubmits, indicating there was an error 15 and the price quoted is 56,611. 16 A. Uh-huh. 17 Q. Did you ever see that? 18 A. Yes. 19 Q. Did you speak with SBS? 20 A. I'm sure I did. 21 Q. My question is, do you know? You think you 22 did or you -- 23 A. I'm pretty sure I did. 24 Q. Okay. But you didn't in writing? 25 A. I don't know. TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 67 1 Q. Did you ever tell them what was wrong with 2 the alleged proposal or work that had to be done? 3 A. Yes, I did. 4 Q. Was it done in writing? 5 A. I don't know if it was or not. I know a lot 6 of times I'll pick up the phone. It's a lot quicker 7 than sending off an e-mail. 8 Q. And again -- 9 A. But I think that the fact that Robertson 10 continues to try to adjust this price down is evidence 11 that I spoke to SBS that I felt the price was too 12 high. 13 Q. Now -- 14 A. Why did they keep working this over and over? 15 Q. And now, my question to you was, did you ever 16 put your -- you say you sent an e-mail; right? 17 A. No, I didn't say I sent an e-mail. I said a 18 lot of times I'll pick up the phone. It's faster than 19 sending an e-mail. 20 Q. Okay. So, you didn't send an e-mail? 21 A. I kind of believe -- well, I don't know. Did 22 I? 23 Q. Sir, I can tell you that no e-mail has been 24 submitted to me from you. 25 A. Then I didn't send an e-mail. TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 68 1 Q. Okay. So, you spoke orally then? 2 A. Yes. 3 Q. Now, on January, I want to say, 21st, my 4 client submits the last of what he proposed that it be 5 done for. Did you ever speak to him about what needed 6 to be done and why? 7 A. Him, being Robertson Electric? 8 Q. Robertson. Yes. 9 A. No. 10 Q. Did you ever speak to SBS as to what needed 11 to be done and why? 12 A. Yes. 13 Q. You're sure? 14 A. Positive. 15 Q. You know that two days after this, Robertson 16 is terminated; right? 17 A. Yes. 18 Q. And you know that on January 14th, you've 19 already indicated that there's going to be a change in 20 the electrician; right? 21 A. Yes. 22 Q. So, you're telling me that with the decision 23 made that you're going to replace somebody, you have 24 this in-depth conversation about the work they were 25 going to do; is that right? TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 69 1 A. That's correct. 2 Q. Okay. 3 THE COURT: Mr. Brown, let's take our 4 morning 15-minute break; okay? 5 MR. BROWN: Yes, sir. 6 THE COURT: You can step down, Mr. 7 Pittman. Let's take 15 minutes. 8 (Recess taken.) 9 MR. SLATES: Your Honor, if we may 10 address an administrative issue before we resume. We 11 were talking during the break. Mr. Pittman is 12 obviously a key witness to all the parties. He's been 13 subpoenaed by SBS and we obviously intend to ask 14 questions of Mr. Pittman as well. 15 THE COURT: Sure. 16 MR. SLATES: The question we raised is 17 whether the Court would prefer us, in the course of 18 his examination today, to cover everything with him or 19 does he need to be re-called by SBS and then re-called 20 by us? 21 THE COURT: I was -- after Mr. Brown, 22 then SBS, and then you examining. If you can do 23 everything. 24 MR. SLATES: Can we cover -- obviously, 25 Mr. Brown is going to have topics that are specific to TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 70 1 Robertson. You had instructed only to cover on cross 2 things that are covered on direct and then redirect. 3 But we would -- I think -- 4 THE COURT: No. Cross is wide open. If 5 something is brought up on redirect is what I'm trying 6 to limit. 7 MR. SLATES: Okay. Okay. We just wanted 8 to get clarification that we can go ahead and go into 9 any topic with Mr. Pittman today. 10 THE COURT: Sure. 11 MR. SLATES: Okay. Thank you. 12 THE COURT: Sure. And somebody brought 13 up something about a computer or needing IT or 14 something like that? 15 MR. SLATES: We were just trying to 16 figure out how to throw an image up onto that 17 television. 18 THE COURT: I can -- well, normally you 19 can plug into that thing under the desk, which you've 20 tried already and it's not working? 21 MS. BRAZELL: Yes, Your Honor. We could 22 not get it to come up. 23 THE COURT: Okay. Maybe at lunch we can 24 bring another one over and then we can see if you can 25 get it running. If not, I can see if I can find TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 71 1 somebody that can get it running. 2 MS. BRAZELL: Thank you. 3 THE COURT: Did you turn on the TV? 4 MS. BRAZELL: Yes. 5 MR. SLATES: We cycled through the 6 different inputs, but we couldn't get it to come up. 7 THE COURT: Okay. And I'll get somebody 8 that uses it and we'll see if we can get y'all going. 9 But everybody, if they can, finish Mr. Pittman while 10 he's on the stand. Okay. Have a seat, Mr. Pittman. 11 Mr. Brown, you may proceed. 12 MR. BROWN: Thank you. 13 Q. (BY MR. BROWN) Now, Mr. Pittman, you 14 indicated in your direct in response to my questions 15 that the base contract would tend to flux; correct, it 16 would change? 17 A. I believe so. 18 Q. That's what you said; right? 19 A. (Witness nodding head up and down.) 20 Q. So, on July 25th in Exhibit 22-A, the base 21 contract represents $115,163.00; correct? In 22-B, 22 the base contract on November 11th, 2013 also 23 references 115,163. You see that? 24 A. What was that? I'm sorry. 22-B? 25 Q. 22-B. TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 72 1 A. Yes. 2 Q. What changes are the extras that occur; 3 right? 4 A. Yes. 5 Q. For example, in July you had extras at 6 $87,893.00; correct? 7 A. No. 8 Q. Don't you see it there? It says extras 9 $87,893.00. See? 10 A. I see extras to date 100,000. 11 Q. No, no, no. You're looking on 22-B. 12 A. Okay. Where am I supposed to be looking? 13 Q. 22-A. 14 A. I'm sorry. Okay. 15 Q. And in November, the extras represent the 16 $100,000.00 you indicated; right? 17 A. Again, I'm looking at a document that's dated 18 July 31st of '13. I'd been gone for several months. 19 Q. Sir, I can appreciate it, but you're on the 20 stand. 21 A. Okay. 22 Q. Thank you. Now, the extras -- 23 A. Is that 87 or 27? 24 Q. It's 87,893. 25 A. Okay. All right. I'm sorry, but this is not TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 73 1 clear. 2 Q. Now, we're at -- Exhibit 11-A an e-mail from 3 Mr. Sharples. And it indicates that you had Mr. 4 Robertson or Robertson Electric terminated; correct? 5 A. 11-A? 6 Q. Yes. It's an e-mail. 7 A. It's from Daniel Boddie. 8 Q. At the very top it says Daniel Boddie, then 9 next below that is Thomas Pittman, and then below that 10 is Weston Sharples. 11 A. Okay. 12 Q. Now, it accurately reflects that you had Mr. 13 Robertson -- or Robertson Electric terminated; right? 14 Sir? 15 A. I'm reading it. I'm assuming. It says I 16 need to get a fixture or device -- the value of the 17 fixtures that were left there for percentage complete 18 from C&S. 19 Q. So, back in, it appears to be, June 7th of 20 2013, you're still with Mr. Lewis. See that? 21 A. Yes. 22 Q. So, earlier when you were saying that you 23 were -- it was sometime in May, that obviously is not 24 true? 25 A. Well, I'm trying to get my dates straight TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 74 1 here, because I resigned in March. I still assisted 2 Mr. Lewis in certain things even though I was gone. 3 Q. Well -- 4 A. But -- 5 Q. -- I want you to look at where it says in 6 that second paragraph it starts off with the 60,000 7 that they're claiming in their scheduled values for 8 the entire project. It says, "Tom thinks that on the 9 date of termination, Robertson was no more than 10 25 percent done with their work." Isn't that what it 11 says? 12 A. Yes. 13 Q. It also says you're going to do an 14 investigation; right? 15 A. Correct. 16 Q. Did you do an investigation? 17 A. We did. 18 Q. Put it in writing? 19 A. Yes. 20 Q. So, there is an investigation that you 21 conducted in writing? 22 A. Yes. 23 Q. Where is it? 24 A. It's -- it's out there. 25 Q. Where is it? TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 75 1 A. You know, I don't know where it is. All I 2 know is I did a full forensic investigation of the 3 whole building; foundation, metal building, 4 structural, electrical, plumbing, the full gambit. We 5 did a full gambit and it's documented. 6 Q. And so, are you aware that as of this date, 7 no such investigation from you has been provided? 8 A. No. 9 Q. But you're claiming that it exists? 10 A. I know it exists. 11 Q. You're positive? 12 A. Positive. 13 Q. Absolutely positive? 14 A. Absolutely positive. 15 Q. And so, when you left the employ of Mr. 16 Lewis, you left them that report? 17 A. I did. 18 Q. Now, in the -- in Exhibit 29 you indicate 19 that, "We're going to make a change with the 20 electrician." That's on January 29th -- excuse me -- 21 on -- 22 A. 14th. 23 Q. Yes. And the e-mail consistent with that is 24 recognizing that whatever termination is being done is 25 being done by you at the behest of Tri-Bar. Is that TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 76 1 accurate? 2 A. Yes. 3 Q. And this was all oral; right? 4 A. I'm sorry? 5 Q. This was oral? 6 A. Yes. 7 Q. Okay. So, when you terminated Robertson 8 Electric -- 9 A. I didn't terminate them. SBS did. 10 Q. I understand. But you -- you told them to do 11 it; right? 12 A. Yes. 13 Q. Okay. Now, when you had it done, you hadn't 14 done your investigation; right? 15 A. Correct. 16 Q. So, you didn't know allegedly what reasons 17 you had; right? 18 A. Well, the reason I had was for 19 nonperformance. 20 Q. Well -- 21 A. We didn't discover discrepancies until 22 afterwards. 23 Q. Okay. So, what you're saying is, they were 24 being bad, but you didn't know how they were being 25 bad; right? TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 77 1 A. Well, I'm not sure I follow you. I -- I know 2 that the electricians were not manning the job 3 properly. 4 Q. Well, we understand that that's at least your 5 position; right? 6 A. Well, even your daily reports substantiate 7 that. 8 Q. What the daily reports reflect, sir, is that 9 there was work being done and we're going to address 10 what the reports show. 11 A. Okay. 12 Q. But what we do know is that at the time that 13 you made the termination suggestion/direction to SBS, 14 that all your supposed concerns were all oral; right? 15 A. Right. 16 Q. And we now know that there's some alleged 17 investigation that you did that existed sometime in 18 2013; right -- 19 A. Right. 20 Q. -- that we've never seen? 21 A. I don't know if you've seen it or not. We 22 did a report that identifies the discrepancies. 23 Q. Now, did you ever look at Robertson 24 Electric's contract with SBS? 25 A. I don't believe I have. TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 78 1 Q. Never? 2 A. Never. I know what their schedule of value 3 was. I know what the amount of contract was -- or let 4 me say, I assume I knew the amount of the contract 5 because it was in the scheduled values that was 6 submitted for weekly -- or for monthly draws. 7 Q. So, we're talking about from the date of 8 incident, which was January 23rd, 2013 until today, 9 you've never looked at it? 10 A. Yes. 11 Q. So, at Plaintiff's Exhibit 1, page 9 through 12 10, there is a subparagraph section 8.06. And 13 Robertson's contract expressly requires that any work 14 that it's going to do on work that it's submitted that 15 is not contained within the original plans has to be 16 submitted in a change order and has to be approved. 17 Did you know that? 18 A. Well -- 19 Q. My first question is, did you know it? 20 A. No. 21 Q. Okay. So, anything else you're going to say 22 after that is your suspicion; right? 23 A. No. 24 Q. Okay. So, at least as between SBS and 25 Robertson Electric, they're sending you information TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 79 1 trying to get you to identify what it is that is 2 relevant that needs to be done with regard to this 3 change order, and the best you ever do is respond 4 orally. Isn't that correct? 5 A. I have no responsibility to respond to 6 Robertson Electric. 7 Q. The best you ever do -- 8 A. That's not -- my contract is not with 9 Robertson Electric. It's with SBS. 10 Q. But you could terminate them; right? 11 A. Yes, I can. 12 Q. Okay. Now, have you ever looked at SBS's 13 contract with Tri-Bar? 14 A. Yes. 15 Q. Have you looked at section 7.1.1? 16 A. I'm not familiar with that paragraph. 17 Q. Let's go to Plaintiff's Exhibit 17, page 21. 18 A. (Witness complying.) 19 Q. Section 7.1.1 expressly reads this. "Changes 20 in work may be accomplished after execution of the 21 contract and without invalidating the contract." You 22 see that? 23 A. Yes, sir. 24 Q. It would appear to me that this section 25 contemplates that there would be additional work, and TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 80 1 whatever concerns about that additional work would 2 need to be doesn't destroy, invalidate, or give reason 3 to terminate the underlying contract. Right? 4 Correct? 5 A. No. It's not correct. I mean, termination 6 -- this, to me, doesn't say anything about terminating 7 anybody. This is talking about construction change 8 and construction directly. 9 Q. So, invalidate, to you, means what? 10 A. Well, I mean -- 11 Q. What does invalidate mean to you, sir? 12 A. I'm trying to answer that question. You 13 know, that's -- that's not a yes or no answer. 14 Q. I agree with -- 15 A. Invalidating a contract could be a number of 16 things. 17 Q. I'm sure inquiring minds want to know. 18 A. Well, you could invalidate a contract by not 19 manning the project. 20 Q. Uh-huh. 21 A. Not properly meeting the schedules. 22 Q. Uh-huh. 23 A. Those are big ones. 24 Q. Oh, I suppose they are. But my question to 25 you is, when a contract is invalidated, I think this TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 81 1 section deals expressly with changes in work, doesn't 2 it? 3 A. It's part of it. 4 Q. Sir, article 7, which leads that section, 5 says "changes in work." Isn't that what it says? 6 A. Yes, sir. 7 Q. So, a change order deals with changes in 8 work; right? 9 A. Correct. 10 Q. Okay. So, your other concerns that you 11 allege to be concerns would be within other sections 12 of the contract that address terminations for cause; 13 correct? 14 A. Correct. 15 Q. So, we're not talking about right now 16 termination for cause, are we? 17 A. I don't know. 18 Q. No. I expressly said section 7. So, let's 19 stay a little focussed. Now, your position that 20 you've stated a few moments ago that the additional 21 work that you wanted someone else to do -- that being 22 C&S -- would not serve as a basis or reason to 23 terminate Robertson Electric for a change order; 24 correct? 25 MR. SLATES: Objection, that TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 82 1 mischaracterizes the record. 2 THE COURT: Sustained. Next question. 3 Q. (BY MR. BROWN) Now, let's go to 14.2, which 4 is on page 35. 5 A. 14 -- I'm sorry? My pages aren't marked. 6 I'm sorry. 7 Q. Now, this exact -- this section deals with 8 terminations for cause. See it? 9 A. Yes, sir. 10 Q. It says that, "The owner may terminate for 11 cause if the contractor, one, repeatedly refuses or 12 fails to supply enough properly skilled workers or 13 proper materials." Right? 14 A. Correct. 15 Q. Okay. "Fails to make payment to 16 subcontractors." Correct? 17 A. Correct. 18 Q. "Repeatedly disregards applicable laws, 19 statutes, et cetera." Correct? 20 A. Correct. 21 Q. "And otherwise is guilty of substantial 22 breach of provisions of contract documents." Right? 23 A. Correct. 24 Q. So, that's a for-cause termination; right? 25 A. Correct. TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 83 1 Q. Correct? 2 A. Yes, sir. 3 Q. Now, that would seem to suggest that there 4 have to be repeated statements and concerns; right? 5 A. Yes. 6 Q. Now, your statement is that my client 7 supposedly didn't man it correctly; correct? 8 A. Correct. 9 Q. When? 10 A. Throughout the job. 11 Q. When? 12 A. From day one. 13 Q. When? 14 A. From the beginning of the job. 15 Q. When? 16 A. They were notified several times -- SBS was 17 notified several times -- not only -- not only did 18 they not man the job -- 19 MR. BROWN: Objection, nonresponsive. 20 THE COURT: He's asking if you know 21 specific dates that you remember when they were -- 22 THE WITNESS: Every day. Your Honor, 23 every date that I went there, every date that I saw 24 people from Robertson Electric, they never had a 25 hardhat on -- TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 84 1 MR. BROWN: Mr. Pittman -- 2 THE WITNESS: I'm trying to answer the 3 question. 4 MR. BROWN: Nonresponsive. 5 THE COURT: You're asking him when and 6 he's telling you the dates. 7 MR. BROWN: I'm asking him what date -- 8 THE WITNESS: I would have to look 9 through my whole logs. I mean, there was GPS on my 10 truck. You could pull up when I was at that job, 11 which was several times every time I was there. 12 Q. (BY MR. BROWN) So, your testimony is 13 this -- 14 A. And again, my -- 15 Q. Your testimony -- I'm trying to understand 16 your testimony -- is that there were these numerous 17 offenses that took place that you were orally making 18 these statements to SBS? 19 A. Correct. 20 Q. Correct? That you don't independently have 21 any recollection of; right? 22 A. I don't remember the exact dates. You're 23 asking for dates. I don't remember the exact dates. 24 Q. Would those have been contained in your 25 report -- your investigation? TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 85 1 A. No. 2 Q. So, they weren't important enough to be put 3 in your investigation? 4 A. No. 5 Q. Okay. 6 A. The investigation was after the fact. 7 Q. Now, let's go to section 14.2.2. 8 A. From 17 to 14? 9 Q. It's on -- 10 A. Or section 14 -- 11 Q. It's on page 35. 12 A. Okay. I'm sorry. Okay. 13 Q. Section 14.2.2. 14 A. Okay. 15 Q. And it reads, "When any of the above reasons 16 exist, the owner, upon certification by the initial 17 decision maker that sufficient cause exists to justify 18 such action, may, without prejudice to any other 19 rights or remedies, after giving the contractor and 20 the contractor surety, if any, seven days written 21 notice terminating employment." Right? 22 A. Correct. 23 Q. Now, the initial decision maker under this 24 contract is John Grable; isn't that correct? 25 A. If we're looking at the same document that we TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 86 1 were referring to earlier, yes, sir. 2 Q. Okay. So, John Grable would have been the 3 individual who would have first been required to make 4 a certification; correct? 5 A. Yes. 6 Q. That didn't happen, did it? 7 A. Not to my knowledge. 8 Q. Okay. Then the next thing that has to happen 9 is there must be seven written days notice; right? 10 A. Yes, sir. 11 Q. That didn't happen either, did it? 12 A. No. 13 Q. So, section 14.2.2 that expressly governs the 14 section you're dealing with as relates to my client, 15 and for that matter SBS, you are telling this Court 16 was not complied with? 17 A. Correct. 18 Q. Thank you. As a matter of fact, there is 19 never any documented complaint against my client at 20 all in compliance with this section. Isn't that 21 correct? 22 A. That's correct. 23 Q. But it would have been very easy for you to 24 do it, wouldn't it? Wouldn't it? 25 A. To do what? TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 87 1 Q. To have gotten the certification. It would 2 have been very easy. 3 A. Yes. 4 Q. Now, so that we know, section 1.1.8 of page 9 5 of this document expressly designates and defines the 6 initial decision maker; correct? 7 A. Yes. 8 Q. And then section 15.2.1 on page 37 expressly 9 states the architect will serve as the initial 10 decision maker; correct? 11 A. Which section? I'm sorry. 12 Q. Section 15.2.1 on page 37. Correct? 13 A. Yes. 14 Q. So, your alleged reason that would be a 15 for-cause alleged termination of my client that you 16 want to serve as some basis that he did whatever would 17 have to have been contained within a letter and 18 certification done by Mr. Grable; right? 19 A. Yes. 20 Q. Which does not exist; correct? 21 A. To my knowledge, it does not. 22 Q. So, the letters that we do have from Mr. 23 Grable say that Robertson Electric is performing the 24 way it's supposed to be performing; correct? 25 A. No. TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 88 1 Q. Okay. 2 A. It says they're finally getting on track. If 3 that's what you're saying performing as -- you know, 4 that's -- 5 Q. Now -- so, amid all your conversations, all 6 your alleged concerns, as relates to any contractual 7 basis that you have to have my client terminated for 8 cause does not exist; correct? 9 A. No. Not correct. 10 Q. The contract specifically requires that it be 11 done by the initial decision maker, seven days notice. 12 You've already stated it doesn't exist. So, you're 13 saying that you don't have to comply with the 14 contract? 15 A. That's not what I'm saying. 16 Q. Well, if the contract requires you to do 17 something, and you're saying that you don't have to do 18 it, then you're saying that you're above the contract. 19 A. No. 20 Q. Okay. So, you agree you have to follow the 21 contract? 22 A. Yes. 23 Q. Okay. Now, I want you to go to section -- of 24 Exhibit 17, page 9. Because I must admit, my reading 25 of this has always been -- has always put me in a TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 89 1 quandary. And it says this. And it's Bates stamped 2 00245. So, I want to make sure you're on that page. 3 You there? 4 A. You said page 9? 5 Q. It is Exhibit 17, page 9. 6 A. I'm on Exhibit 17, page 9. 7 Q. Okay. You see on the bottom -- or you see 8 the section that says, "The contract document shall 9 not be construed to create a contractual relation of 10 any kind"? See that? 11 A. No. Which section is it? 12 Q. That would be -- it should be section 1.1.2 13 of the contract. 14 A. Okay. I see that. 15 Q. You see that? 16 A. Yes, sir. 17 Q. And it says that the Tri-Bar contract will 18 not create a contractual relationship of any kind with 19 a subcontractor. Do you see that? 20 A. No. I'm trying to read it. Yes, sir. 21 Q. So -- 22 A. It just says between the owner and a 23 subcontractor or a sub-subcontractor. 24 Q. And my client is a subcontractor; correct? 25 A. Correct. TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 90 1 Q. So, you asserted a right against my client 2 that you contractually did not have; right? 3 A. No. 4 Q. Okay. 5 A. That's not -- go ahead. 6 Q. Now, you would agree with me that whatever 7 concerns you may have had, you never voiced with my 8 client and you only orally tell SBS. So, assuming SBS 9 says that didn't happen, then my client never knows of 10 any alleged concern you have; right? 11 A. Correct. 12 Q. But if this was such a big problem and you 13 have -- you're going to the site, you say, almost 14 daily; right? 15 A. I went there several times. 16 Q. Oh, okay. And if you could terminate them, 17 certainly you could go up to them and say, what's the 18 problem; right? 19 A. Well, contractually, I'm not supposed to 20 carry on any kind of conversation with them. And my 21 direct contact with them is through SBS. And I'm not 22 going to contact Robertson Electric. 23 Q. So, you could terminate them, but you can't 24 talk to them? 25 A. Correct. TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 91 1 Q. Okay. Now, you then proceeded on behalf of 2 Tri-Bar to obtain a substitute subcontractor to do the 3 work; correct? 4 A. Correct. 5 Q. Now, let's go to section 2.4 of the owner's 6 right to carry out work. 7 A. What page is that? 8 Q. I believe -- 9 THE COURT: 11. 10 Q. (BY MR. BROWN) It would appear to me that in 11 the very middle, it says, "If a contractor defaults 12 and neglects to carry out work," which is what you're 13 claiming happened; right? 14 A. Which section? I'm sorry. 15 Q. 2.4. Owner's right to carry out the work. 16 A. All right. 17 Q. That if that is what is going to happen, and 18 that's what you're claiming happened; right? 19 A. Yes, sir. 20 Q. Okay. Then it says, "Written notice from the 21 owner to commence and continue correction of such 22 default or neglect has to be done." Right? That's 23 what this section requires. 24 A. Well, I think this section is between the 25 owner and the contractor; not the subcontractor. TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 92 1 Q. So, you stepped in, had my client 2 terminated -- you, on behalf of the owner; right, 3 obtained a subcontractor; right? 4 A. Correct. 5 Q. That means you are carrying out the work 6 because you're the one doing it. SBS didn't do it; 7 right? 8 A. Correct. 9 Q. And this requires that there be written 10 notice. Do you see that? 11 A. Yeah. 12 Q. You didn't do it, did you? 13 A. No. 14 Q. John Grable didn't do it, did he? 15 A. No. 16 Q. Mr. Lewis didn't do it, did he? 17 A. No. 18 Q. All right. But there's no question that you 19 then assumed the control over my client's contract 20 when you had him terminated? 21 A. Yes, sir. 22 Q. And when you do that, at paragraph 5.4.2, 23 this is what your SBS/Tri-Bar contract says. It says, 24 "When the owner accepts the assignment of a 25 subcontract agreement, the owner assumes the TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 93 1 contractor's rights and obligations under the 2 contract." Do you see that? 3 A. I'm trying to get there. Is that page 20 -- 4 5.4.2? 5 Q. Yes. Do you see that? 6 A. Yes, sir. 7 Q. So, at that point when you did what you did 8 and you assumed control over the contract, you stepped 9 into the shoes of SBS for my client. Did you 10 understand that? 11 MR. SLATES: Objection. That assumes 12 evidence not in the record. There's no record that 13 Tri-Bar ever took assignment of Robertson's contract. 14 THE COURT: Legal objection? 15 MR. SLATES: Assumes facts not in 16 evidence. 17 THE COURT: Okay. Overruled. 18 Q. (BY MR. BROWN) You see that, don't you? 19 A. Uh-huh. 20 Q. That's what happened, didn't it? 21 A. No, that's not what happened. 22 Q. Okay. Now, it appears to me that the 23 proposal from C&S was written for basically 76,000; 24 that it's written as a contract for basically 115,000. 25 Right? TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 94 1 A. No. 2 Q. That is the proposal? 3 A. That was the proposal. 4 Q. Okay. And the contract is written for 5 115,000? 6 A. No, it's not. Where is the contract written 7 for 115,000? 8 Q. Let's go back to 22-A. See where it says the 9 total contract amount? 10 A. Yes. 115,163. 11 Q. That's the total contract amount; right? 12 A. That's the total contract amount on July the 13 31st. 14 Q. Okay. 15 A. That proposal that was submitted was for a 16 different scope of work. Even after that, they're not 17 even close to what Robertson's original contract 18 amount was. 19 Q. Now, in the draw section -- and it includes 20 the gear. You see that; draw number 3 on page -- on 21 Exhibit 22-A? 22 A. Yes. 23 Q. And that gear packet, even borrowing the 24 loose numbers that you guys provided, is approximately 25 10 to $15,000.00. TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 95 1 A. You're -- you know, I remember this. This 2 gear package has nothing to do with the original scope 3 of work. This gear package -- their records is for a 4 totally new section of the hangar in support -- in 5 ancillary structure. It has nothing to do with the 6 original scope. So, you can't take this draw package 7 for gear that's done on a totally different aspect of 8 the building. 9 Q. So, then, the gear and information that you 10 submitted to C&S upon which they based their contract 11 and/or proposal was not exactly the same as what was 12 submitted by Robertson; could it be? 13 A. I don't know how you're getting there. I 14 really don't. 15 THE WITNESS: I'm sorry, Your Honor. 16 A. But you're -- I've directly said that this is 17 apples and oranges. What this references has nothing 18 to do with what the original scope of work was. So, 19 why do you think that this was part of the original 20 scope of work? 21 Q. (BY MR. BROWN) Now, did you have opportunity 22 to review any documents for today's testimony? 23 A. Yes. 24 Q. What did you see? 25 A. I didn't foresee anything. TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 96 1 Q. What did you see? What did you -- 2 A. Oh, what did I see? 3 Q. Uh-huh. 4 A. Basically, we didn't look at anything. Very, 5 very little of Robinson Electric. Mainly what I 6 looked at was old documentation from SBS, our reports, 7 whatnot. 8 Q. Didn't happen to see your report? 9 A. Yes. I saw part of my report. 10 Q. Not the complete report? 11 A. I don't know. I saw part of my report. 12 Q. Now, Exhibit 32 -- 13 A. I don't have 32. I got 31. 14 Q. It's 32. 15 A. Okay. 16 Q. On November 28th -- I want to go to Tri-Bar 17 Exhibit TR-01833. At the very bottom of that -- do 18 you see it? Let me get you there. Right here. 19 There's an e-mail from Mr. Lewis. And this is what he 20 says. "Looks like they're making progress. Thanks 21 for the pics." That is what he writes; right? 22 A. Yes, sir. 23 Q. Right above there, Mr. Grable -- I know he 24 tells them thanks for the pictures; right? 25 A. Uh-huh. Yes, sir. TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 97 1 Q. So, he sees them. Right above it, Mr. Grable 2 writes, "Rod, on another note, hangar is beautiful and 3 fits well with the land. Want this project to be fun 4 and exciting for you; not the way it has progressed 5 thus far with the P&B building delay." You see that? 6 A. Yes, sir. 7 Q. One, nothing about my client at all; right? 8 A. Right. 9 Q. And it seems like everybody is happy about 10 the building; right? 11 A. Well, yes. 12 Q. Okay. 13 A. That one sentence. 14 Q. But when we go to 32 -- Exhibit 32 -- 15 A. Okay. 16 Q. -- it says, "I'll go visit the project 17 myself." This is Mr. Weigand. "And I'll get with Tom 18 and John for a thorough review. And we'll get a 19 handle on what's going on, and I'll get back to you." 20 That's November 25th; right? 21 A. I'm sorry. You referenced 32, but which -- 22 Q. Tri-Bar Bates stamped TR-01835. 23 A. Okay. I'm sorry. Okay. 24 Q. Now, did they go into this e-mail with you? 25 A. No. TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 98 1 Q. Okay. So, on the 25th as well as on the 2nd 2 of November, there appear to be concerns that y'all 3 have; right? Correct? 4 A. Yes, sir. 5 Q. You never put it in writing; right? 6 A. To who? 7 Q. You don't go in writing by Mr. Grable. He 8 never does the certification he's required to do. 9 Right? 10 A. Right. 11 Q. Never sends anything to SBS saying, you're 12 doing this, in writing to them, you're being bad, 13 you're not complying with the contract. Right? 14 A. Right. 15 Q. Never put anything in writing saying my 16 client is doing anything that he's not supposed to do; 17 right? 18 A. Right. 19 Q. But you claim that this has been going on for 20 no less than three months, and yet you never do 21 anything; right? 22 A. In writing. 23 Q. At all with my client; right? 24 A. Correct. 25 MR. BROWN: I pass the witness. TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 99 1 THE COURT: Select Building, your 2 witness. 3 CROSS-EXAMINATION 4 BY MR. CLARK: 5 Q. Now, Mr. Pittman, I want to clear up just a 6 few things before I get into my examination. You said 7 that you resigned in March of 2013; is that correct? 8 A. I want to say it was March. 9 Q. Okay. You're testifying under oath. Is it 10 March or is it not March? 11 A. I believe it's March. It may have been -- it 12 may have been April. I don't remember exactly what 13 day it was. 14 Q. Do you remember receiving a subpoena from my 15 office? 16 A. No. 17 Q. Do you remember signing a -- an affidavit 18 under oath regarding documents that you may or may not 19 have in your possession? 20 A. No. 21 Q. Let me hand you what I've marked as 22 Defendant's Exhibit 118. And I'll ask you to turn to 23 the last page. 24 A. Well, I just can't remember. I'm looking at 25 it. TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 100 1 Q. Is that your signature on the last page? 2 A. Yes, sir. Yes, sir, it is. 3 Q. Is that your signature on the last page? 4 A. Yes, sir. 5 Q. And you signed it before a notary? 6 A. Yes. 7 MR. CLARK: Your Honor, at this time we 8 would offer Defendant's Exhibit Number 118. 9 THE COURT: Any objections to 118? 10 MR. BROWN: I have no objection. 11 MR. SLATES: No objection, Your Honor. 12 THE COURT: 118 is admitted. SBS's 118 13 is admitted. 14 Q. (BY MR. CLARK) Whose handwriting is on 15 Exhibit 118? 16 A. It's mine. 17 Q. So, you filled this out and you just didn't 18 remember it? 19 A. Yeah. I just didn't remember it. 20 Q. Okay. Who was your attorney at the time? 21 A. Actually, Mark Luitjen assisted me with that. 22 Q. Okay. And you know that I spoke with Mr. 23 Luitjen about this document as well; right? 24 A. I'm assuming you did. 25 Q. Okay. Let's look at the answer to question TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 101 1 number 14. Because I really just want to establish 2 the timeline. Can you tell me at that time when you 3 said that you resigned? 4 A. Oh, it was May. 5 Q. May 21st? 6 A. Yes, sir. 7 Q. Okay. So, your earlier testimony about March 8 was -- 9 A. That was incorrect. It was May. 10 Q. Okay. 11 A. I just didn't remember the exact date. 12 Q. Okay. Now, the document that Mr. Brown 13 showed you a few minutes ago had an e-mail from you 14 that was dated in June and it came from 15 thomaspittman@lewisenergy.com -- 16 A. Correct. 17 Q. -- in June. How long did you continue to use 18 that e-mail address? 19 A. It couldn't have been very long at all. 20 Q. After you -- after you resigned in May -- 21 May 21st, how much longer was it? Was it -- 22 A. I'm surprised that -- well, because when I 23 left Lewis Energy, I left. I turned in my badges. I 24 turned everything in. 25 Q. In fact, you turned in your -- your laptop, TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 102 1 your computer, and your Blackberry? 2 A. Yes, sir. Well, I didn't have a Blackberry. 3 It was an iPhone. 4 Q. An iPhone. And every bit of that stayed with 5 Lewis Energy; right? 6 A. Yes, sir. 7 Q. And all the e-mails that were on Lewis 8 Energy's server is still Lewis Energy; right? 9 A. Right. 10 Q. The report that you referenced is still at 11 Lewis Energy; right? 12 A. Correct. 13 Q. And so, in answer to that subpoena when I 14 asked if you had any documents related to this 15 project, you said that you had none; right? 16 A. Correct. 17 Q. Now, a minute ago you said -- you started 18 into an answer with Mr. Brown and you said it was -- 19 how long -- how many times did I go out there? And 20 you said you'd have to check your log. 21 A. Well, when I said I'd have to check my log is 22 that -- because I had a GPS on my truck, Lewis could 23 physically go back and say, okay, Pittman was at 24 Uvalde hangar on this date. My log was maybe not the 25 right nomenclature. But it was, you know, semantics. TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 103 1 What I meant was, we could physically go and see how 2 many days I was there. 3 Q. Okay. We could do that a different way. If 4 you could, turn in this volume right here to Exhibit 5 Number 104. 6 A. Yes, sir. 7 Q. These are the weekly -- these are the daily 8 job reports; correct? 9 A. Yes. 10 Q. Okay. If you would, look at page 2 of that 11 document -- or that very first page. You see a list 12 of persons that were out there on the project? 13 A. Yes, sir. 14 Q. Okay. And on this particular date, which was 15 December 6th of 2012, I see Martin Rojas, Luis 16 Fuentes, Fidel Montanyes, Alejandro Baldovino, and 17 Julio Barriaga. Right? 18 A. Correct. 19 Q. What's behind Exhibit Number 104 are the 20 daily logs for all of December. I don't see your name 21 as being out there any day in December. Is that 22 accurate? 23 A. Is this all the reports you have for 24 December? 25 Q. For December, yes. TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 104 1 A. And it's not a full month's report. Is it 2 supposed to be? 3 Q. Do you see -- do you -- do you recall being 4 out there in December? 5 A. I don't recall not being there. 6 Q. Okay. Well, let's look at the next one, 105. 7 A. (Witness complying.) 8 Q. And I'll just save you the trouble, just for 9 the sake of time. Do you see the little TR numbers at 10 the bottom? 11 A. Yes. 12 Q. Just go to TR-00120. 13 A. (Witness complying.) 14 Q. Do you see your name on there? 15 A. Yes, sir. 16 Q. Along with Rod Lewis and Jack Green? 17 A. Right. 18 Q. All right. And if you'll turn the page over 19 to 00130. 20 A. (Witness complying.) 21 Q. I'm sorry. And that date was January 16th; 22 right? 23 A. Yes. 24 Q. The next one is going to be January 22nd. 25 A. Okay. TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 105 1 Q. Do you see your name there? 2 A. Yes, sir. 3 Q. So, according to the daily job reports, you 4 were out there twice in January; is that correct? 5 A. Correct. 6 Q. Do you have any recollection that it's 7 different than that? 8 A. No. 9 Q. Okay. So, in your testimony to Mr. Brown, he 10 asked you how often were you out there representing 11 the owner, and you said, "I went out there several 12 times." In December and January, it looks like you 13 were out there twice. Is that consistent with how 14 often you were out there; your recollection? 15 A. Well, that's assuming these reports are -- 16 Q. I didn't ask you if the report was accurate. 17 I'm asking -- well, actually, I am asking you if the 18 -- does that report -- 19 A. I think it is. I think I was out there more 20 than two times in December and January. 21 Q. How many times were you out there? 22 A. I don't know. 23 Q. But the logs only show twice; right? 24 A. These daily logs. 25 Q. Twice? TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 106 1 A. Twice. 2 Q. Do you have any documents -- any logs that 3 would show different? 4 A. No. 5 Q. Okay. And in November, I see -- the logs 6 show that you were out there three times. Do you have 7 any recollection that it's different than that? 8 A. No. 9 Q. In August, I show you were out there twice. 10 Do you have any recollection that it's different than 11 that? 12 A. No. 13 Q. In fact, you went out there and inspected the 14 pour before it happened on the foundation, didn't 15 you? 16 A. I did. 17 Q. Okay. So, when you say several times, is it 18 more accurate to say a couple of times a month that 19 you were out there? 20 A. No. I was in Encinal once a week. And when 21 I made my trip to Encinal, I went to Uvalde, then 22 Encinal, and back. And a lot of times I went from 23 Encinal, Uvalde, and back. Several of those times, 24 there was nobody from SBS out there. 25 Q. Okay. TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 107 1 A. So, that's what I'm saying, that these -- I'm 2 saying that these reports may not be accurate. 3 Q. Okay. And what you just testified to was 4 that you went out there four times a month; correct? 5 A. According to this document. 6 Q. No. What you just said. You said you went 7 out there once a week on your way out to Encinal. So, 8 that's four times a month; right? 9 A. No, that's not correct. I said a lot of 10 times I would go to Uvalde, Encinal, Encinal, back to 11 Uvalde, and back to San Antonio. So, there's twice 12 every week. You know, I did that all the time. 13 Q. It's just not reflected in any of the records 14 that have been produced? 15 A. No. 16 Q. Okay. But you're saying there are logs 17 somewhere where that information would be? 18 A. I'm saying if you went and looked at my GPS, 19 it would show how many times I went there. Whether or 20 not Lewis has that GPS log, I don't know. 21 Q. Okay. Now I need to hand you a whole 22 different volume, if I may. If you would, turn to 23 Exhibit 48. 24 A. Yes. 25 Q. Do you recall a meeting on February 5th of TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 108 1 2013 when you terminated Select Building Systems? 2 A. Yes. 3 Q. And did you know that there was a person 4 there taking stenographic-type notes? 5 A. Yes. 6 Q. Who was that? 7 A. Jane Reeves. 8 Q. And who does she work for? 9 A. She worked for us. She worked -- actually, 10 she's an independent contractor that worked for us. 11 Q. For us, being whom? 12 A. Lewis Energy. 13 Q. Okay. And have you had a chance to review 14 these notes? 15 A. Yes, I have. 16 Q. When was the last time you reviewed these 17 notes? 18 A. Last week. 19 Q. Okay. And when was -- when had you -- had 20 you reviewed them prior to that? 21 A. Yes. 22 Q. When? 23 A. A long time ago. I don't remember the exact 24 date. 25 Q. Was it at the direction of Mr. Slates, or was TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 109 1 it before Mr. Slates got involved? 2 A. No. At the direction of Mr. Slates. 3 Q. Did you see them -- did you see these notes 4 shortly after they were prepared in February of 2013? 5 A. I did. 6 Q. Did you have a chance to make any corrections 7 that you wanted to make as to what you thought 8 happened? 9 A. I didn't think I made any corrections. 10 Q. Is that because this Exhibit 48 fairly and 11 accurately represents who said what during that 12 meeting? 13 A. Yes. 14 Q. Okay. Let's go through it then, if you don't 15 mind. Let's just start with the first line. "T.P." 16 that refers to you; correct? 17 A. Correct. 18 Q. Okay. "Briefly met with Rod. He wants to 19 terminate the contract." Did I read that correctly? 20 A. Yes. 21 Q. Did you state a reason in that sentence? 22 A. Sir? 23 Q. Did you state a reason in that sentence? 24 A. Yeah, I believe I did. 25 Q. That Rod wants to terminate the contract; TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 110 1 right? 2 A. Right. Did I state a reason? I mean, we had 3 beat that reason up for months prior to it. It wasn't 4 a surprise to anybody. 5 Q. Okay. I don't see any reference in this 6 agreement to lack of manpower; failure to man the job 7 anywhere in this transcript. Do you? 8 A. No. 9 Q. I don't see any reference to a lack of 10 manpower. Do you? 11 A. No. 12 Q. I don't see the word "breach" anywhere in 13 this entire transcript. Do you? 14 A. No. 15 Q. I don't see the word "defect" anywhere in 16 this entire transcript. Do you? 17 A. No. 18 Q. I don't see any reference to "notices, 19 written or oral," in here. Do you? 20 A. No. 21 Q. In fact, the only statement that's in here as 22 to why the contract is being terminated is that very 23 first line that says, "He wants to terminate the 24 contract," isn't it? 25 A. Yes. TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 111 1 Q. And in this entire transcript you never 2 attribute the termination to anything that SBS did; 3 just what Rod Lewis wants. Correct? 4 A. Correct. 5 Q. All right. Now, let's look at the next -- 6 well, skip a sentence. "So, he wants to find out 7 where you're at and make it as amicable as possible." 8 Forget that part. Let's read the next part. "I know 9 you have additional material needed to be paid for. 10 Will pay your fee that you are due as soon as 11 possible." Do you see that? 12 A. Yes, sir. 13 Q. And you were committing, as the owner's 14 representative, you knew that there was material that 15 needed to be paid for that was unpaid for; right? 16 A. Correct. 17 Q. And you knew that the contractor, SBS, had 18 fees that were owed at that point in time, and you 19 agreed to pay them as soon as possible. Correct? 20 A. Correct. 21 Q. Okay. Now, let's move down -- well, skip 22 down about two-thirds of the way where it says, 23 "Steve, have to ask" and then it says "Tom would have 24 asked the same thing." Do you see where I am, just a 25 little bit below the middle of page? TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 112 1 A. Yes. 2 Q. Okay. The next sentence, "No uncertain terms 3 this morning with Rod. If we can, let's find out 4 where we are with anything else and all bills that 5 you're owed, all payments that you're owed." That's 6 what you asked them to find out; correct? 7 A. Correct. 8 Q. Okay. And then -- I'm sorry. And then Jack 9 -- who is Jack? 10 A. Jack Green was the project manager. 11 Q. He's one of SBS's employees; correct? 12 A. Yes, sir. 13 Q. Jack says, "Some issue with what we've done 14 not in the contract. Change orders." Do you recall 15 there being an issue with change orders not being 16 signed? 17 A. Yes. 18 Q. And what did you respond? 19 A. I put, "Not a problem. Want to protect you 20 on this." 21 Q. Okay. And, "Mr. Steve" -- that would be who? 22 A. Steve Schiffman. 23 Q. The owner of Select Building Systems? 24 A. Yes. 25 Q. An owner of Select Building Systems. Okay. TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 113 1 "We want to be fair, too." And then Tony; who is Tony 2 that's referred to there? 3 A. Tony Weigand. 4 Q. Who is he? 5 A. He was the global construction manager for 6 Rod Lewis. 7 Q. Okay. And apparently he showed up late? 8 A. Yes. 9 Q. And in the next line, you catch him up. 10 "Tom, just informed SBS that we're terminating and 11 that we're going to be fair." Did I read that 12 correctly? 13 A. Yes, sir. 14 Q. "Two outstanding draws and change orders not 15 processed. Will get those processed and paid." Did I 16 read that correctly? 17 A. Yes, sir. 18 Q. And if you would, turn the page. 19 A. (Witness complying.) 20 Q. Okay. And if you'll go down, there's kind of 21 a grayish area. Right below that grayish area, it 22 says, "Tom, we are, too." Do you see that? 23 A. Yes, sir. 24 Q. Okay. And it says, "Not a win-win scenario 25 for anyone." Let's go down to the last sentence of TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 114 1 that where you state, "Will get payment done as soon 2 as possible." Did I read that correctly? 3 A. Yes, sir. 4 Q. Okay. And then Steve says, "Can we sign 5 releases?" You say, "Absolutely." And then you say, 6 "Contractually, we don't have to pay until the project 7 is finished. We aren't going to do that." Isn't that 8 what you said? 9 A. Yes, sir. 10 Q. And then the next sentence in that section, 11 that you want to finish it in a businesslike manner. 12 Did I read that correctly? 13 A. Yes, sir, you did. 14 Q. Okay. Now, in point of fact, you didn't pay 15 Select Building Systems after this, did you? 16 A. No. 17 Q. Not a dime? 18 A. No. 19 Q. Right? 20 A. Correct. 21 Q. And you didn't process the change orders, did 22 you? 23 A. No. 24 Q. They were never processed; correct? 25 A. Correct. TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 115 1 Q. Were you making these statements on the 2 owner's behalf? 3 A. Yes. 4 Q. Now, did you ever inform SBS in this meeting 5 or thereafter that any of their payments were 6 contingent upon an inspection by you? 7 A. No. 8 Q. Did you ever -- did you ever alert SBS to any 9 deficiencies or problems with the work? 10 A. No. 11 Q. Did you ever ask SBS to come back out and 12 explain something, finish something, correct 13 something, or do anything with respect to any work 14 after February 5th, 2013? 15 A. No. 16 Q. Did anybody on the owner's behalf request 17 that Select Building Systems come out and explain why 18 something was done, correct an error, cure a problem, 19 change something, pour something, straighten 20 something, anything after February 5th, 2013? 21 A. I don't know if they did, but I did not. 22 Q. Okay. Okay. If you would, I want you to go 23 back and look at -- in that same exhibit book -- are 24 you in Tri-Bar's exhibit book? Yes. Okay. Tri-Bar's 25 Exhibit Number 46. TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 116 1 A. Yes. 2 Q. Okay. Now, this e-mail is dated six days 3 before the termination meeting; correct? 4 A. That's correct. 5 Q. And it says -- it's from you to Mr. Grable; 6 right? 7 A. Correct. 8 Q. And it's not copied to Select Building 9 Systems or anybody else. It's just between you and 10 Mr. Grable, right? 11 A. Correct. 12 Q. And you say, "I continue to be underwhelmed 13 with performance with SBS. I went yesterday and they 14 had only four masons working. After repeated requests 15 and threats for that matter, SBS has yet to man the 16 project properly in my opinion. Consequently, I want 17 you to issue a 72-hour request to SBS in writing 18 stating that we are giving you a 72-hour notice that 19 you man the project or we will terminate the contract 20 for cause." Did I read that correctly? 21 A. Yes, sir. 22 Q. Okay. Now, we can go back and look at it 23 again if you want to. But I think Mr. Brown read all 24 of that paragraph 14.2 in the AIA contract. Is there 25 any reference to a 72-hour notice in that AIA TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 117 1 contract? 2 A. No. 3 Q. You've been a general contractor before; 4 right? 5 A. Yes, sir. 6 Q. Where is that 72-hour notice found? 7 A. It's not in the contract. 8 Q. It's in subcontracts; right? 9 A. I don't know. 10 Q. You don't -- you're not familiar with 11 subcontracts? 12 A. Oh, I'm real familiar with subcontracts. 13 Q. Isn't that a common provision to put in a 14 subcontract? 15 A. It's a common provision in general contracts, 16 too. 72 hours. I've written 72-hour letters before. 17 Q. Okay. It's not in the standard AIA contract? 18 A. It's not in the standard AIA contract. 19 Q. Okay. 20 A. And I'm not referencing any AIA contract. 21 I'm just saying write a 72-hour notice. 22 Q. Pursuant to what? 23 A. To activity. 24 Q. But I mean, under what? 25 A. I mean, I'm not making this up. We keep TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 118 1 going out there, keep asking SBS to man the job. They 2 don't do it. 3 Q. And did Mr. Grable ever send that letter? 4 A. Not to my knowledge. 5 Q. In fact, you know he didn't do it; right? 6 A. Yes. 7 Q. Okay. And we have an e-mail confirmation 8 from the summer. It's Exhibit 110. 9 A. This one. 10 Q. There's an e-mail confirmation from Matt 11 Martinez that says that that 72-hour notice was never 12 sent; right? 13 A. Okay. Yeah. 14 Q. Were you still part of -- were you still 15 working for Lewis Energy when that revelation was 16 made? 17 A. No. 18 Q. That was after your time with them? 19 A. Yes, sir. June 27th. 20 Q. Now, you said that as the -- as the project 21 manager for Mr. Lewis, you were to protect his 22 interests; correct? 23 A. Correct. 24 Q. And how many projects did you have going on 25 at once? TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 119 1 A. Well, at that time we had the hangar, we had 2 an office project going on, we had several projects 3 going on in Encinal. 4 Q. So, I want to say it's seven that were going 5 on at that time. Does that sound right? 6 A. At least. 7 Q. Okay. And -- that you were in charge of? 8 A. Yes. 9 Q. Is that right? 10 A. Yes. 11 Q. And this one was a million dollar project; 12 right? 13 A. Correct. 14 Q. Or at least, it started as a million dollar 15 project. It got up to about 2, didn't it? 16 A. I don't know what the final cost was. 17 Q. But you know the costs kept increasing; 18 right? 19 A. Yes, sir. 20 Q. And there were continual changes in the 21 project as well; right? 22 A. Correct. 23 Q. In fact, there were almost $800,000.00 worth 24 of changes after SBS was terminated; correct? 25 A. I don't know. TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 120 1 Q. Well, how many changes -- there were a 2 significant amount of changes at the time SBS was 3 being terminated; correct? 4 A. There was -- there was a few changes. Yeah. 5 Q. I mean, like the entire interior. 6 A. I don't know. 7 Q. Do you remember they changed the entire floor 8 structure? 9 A. I know we had to tear out all the framing, so 10 yeah. We had to -- all the framing was done 11 improperly. 12 Q. Okay. I know -- I know that you're trying to 13 get that out there. But the -- everything in the 14 interior was coming out anyway because they changed 15 the entire -- 16 A. No. 17 Q. -- interior, didn't they? 18 A. No. All they did was add floors on top of 19 existing rooms. 20 Q. Which required new plumbing, it required new 21 electricity -- 22 A. Well, sure it did. You extend the plumbing 23 up -- it's not like we had -- I mean, it was just an 24 extension of plumbing -- 25 Q. Well -- TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 121 1 A. -- to add a second floor. 2 Q. Actually, they had to cut some of the floor, 3 didn't they, to move the plumbing over to where Mr. 4 Grable wanted it? 5 A. I don't -- I don't know. 6 Q. Okay. You weren't involved in that part? 7 A. I don't believe so. 8 Q. Okay. Now, if I understood you correctly, it 9 was your testimony with Mr. Brown that you did not 10 decide to replace the electrical contractor or seek 11 bids for a new electrical contractor until you got 12 this outrageous proposal in early January of 2013 for 13 the change order. Is that correct? 14 A. Well, that was just the icing on the cake. 15 Q. Okay. Did you not understand my question? 16 A. I understood your question. But you're 17 asking me to go back over a year and a half and tell 18 you what I was doing in January. I can't do that. 19 Q. Okay. Was that the issue; the change order? 20 A. Part of the issue. And the other part was 21 that they -- they didn't man the job. That was the 22 initial part, is they never -- and you can go through 23 their daily reports. One electrician. One 24 electrician. Two electricians. That was lucky. One 25 electrician. That's not manning the job properly. TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 122 1 Q. In your opinion. 2 A. In anybody's opinion. 3 Q. Not in my opinion, but -- 4 A. How could an electrician pull wire with one 5 electrician? You can't do it. 6 Q. Let's get the timeline established, though, 7 as to when you started. If you would, look in that 8 same exhibit book and go to Exhibit 65. 9 A. (Witness complying.) 10 Q. Are you there? 11 A. Yes, sir. 12 Q. Okay. Look at the second e-mail. Do you see 13 that one in the middle of the page? 14 A. Right. 15 Q. Do you see the date on that in the middle 16 e-mail? 17 A. February 12th, 2013. 18 Q. In the middle e-mail. It's a chain. 19 A. Yes. 20 Q. The middle one is from you and it's dated 21 October 31st, 2012? 22 A. Yeah. 23 Q. Is that a yes? 24 A. Yes, sir. 25 Q. And who is Bob Carnwath? Who is he employed TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 123 1 with? 2 A. C&S. 3 Q. And this is an e-mail from you and it says, 4 "We may be taking over this project and finish it 5 in-house." Did I read that correctly? 6 A. Yes, sir. 7 Q. "The foundation is poured and the PEMB" -- 8 and what does PEMB stand for -- 9 A. Pre-engineered metal building. 10 Q. -- "should be delivered in two weeks. Can 11 you give me a price for the balance of the project? 12 We would like the numbers as soon as possible. 13 Thanks." And then you enclosed the MEP and 14 structural; correct? 15 A. Correct. 16 Q. So, as early as October 31st of 2012, two and 17 a half months before Robertson was terminated, you 18 were already soliciting bids from C&S to finish this 19 work; correct? 20 A. Yes. 21 Q. If you would, flip back to Exhibit 63. 22 A. (Witness complying.) Okay. 23 Q. Okay. I want to look at the e-mail starting 24 at the bottom of the page. It's from you; is that 25 correct? Do you see the November 2nd e-mail at the TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 124 1 bottom of the page? 2 A. Yes, sir. 3 Q. Okay. And it's addressed to Mr. Lewis; 4 correct; that's who Rod is? 5 A. Yes, sir. 6 Q. "Rod, upon delivery, they need to give us 7 erection drawings and certification that the building 8 meets the specs. We will verify the gauge, et 9 cetera." And then the next part, "I think we need to 10 terminate the contract with them." You're referring 11 to SBS; correct? 12 A. Correct. 13 Q. "I have Neena working on it. They have 14 breached, as far as I'm concerned. We can finish this 15 ourselves." Did I read that correctly? 16 A. Yes, sir. 17 Q. This was never sent to SBS, was it? 18 A. No. 19 Q. There's not going to be a single e-mail or 20 document that we look at in the entirety of this trial 21 from you to SBS where it uses the word breach, is 22 there? 23 A. Not that I know of. 24 Q. But you used it with Mr. Lewis; right? 25 A. (Witness nodding head up and down.) TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 125 1 Q. Who is Neena? 2 A. Neena is counsel for Rod Lewis. 3 Q. So, you were -- you had enough authority to 4 go deal directly with Rod Lewis' attorneys? 5 A. I did. 6 Q. Okay. And Neena was one of those attorneys? 7 A. Right. 8 Q. And she was the attorney that helped draft 9 the contract; right? 10 A. Correct. 11 Q. The -- the first part -- the owner contract 12 of the AIA contract; right? 13 A. (Witness nodding head up and down.) 14 Q. What were you having to work on? 15 A. Termination. 16 Q. The proper steps? 17 A. (Witness nodding head up and down.) 18 Q. Is that -- 19 A. Yes, sir. 20 Q. Okay. Did she tell you that you had to have 21 a certification from the architect; that there was 22 a -- 23 A. No, she did not. In fact, further down the 24 road when I discussed termination, Rod said he didn't 25 want to terminate yet. TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 126 1 Q. Okay. 2 A. Give SBS -- 3 Q. Well, let's look and see what Rod did say. 4 Let's look up at the top of the page. You see where 5 Rod Lewis is writing back to the entire group? It 6 says -- it's directed to Tony W; and that would be 7 Weigand? 8 A. Weigand. 9 Q. "Let's take care of this ASAP. Give me your 10 opinion and let's make a quick decision. Garrett" -- 11 who is Garrett? 12 A. He's the chief financial officer -- one of 13 the financial people with the company. 14 Q. What's the direction to Garrett? 15 A. I'm sorry? 16 Q. What's the direction that Rod Lewis gives to 17 Garrett? "Hold all payments to this company until 18 further notice. Thanks." Did I read that correctly? 19 A. Yeah. I'm trying -- I'm sorry. I'm trying 20 to find out where that is to Garrett. I'm sorry. 21 Okay. 22 Q. First page. 23 A. Yes, sir. 24 Q. "Garrett, hold all payments to this company." 25 Do you know how long the owner has to make payments TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 127 1 after a draw request is made under the contract? 2 A. Well, they vary. 3 Q. With this contract, do you know how long it 4 was? 5 A. I -- I don't. 6 Q. Would it -- 7 A. I know the -- 8 Q. -- surprise you to know it was 30 days? 9 A. No, that wouldn't surprise me. 10 Q. Is that fairly average? 11 A. Yes, sir. 12 Q. Do you know what the law is on it? 13 A. No. 14 Q. Would you be surprised to learn the law says 15 that an owner must pay within 35 days? Would that 16 surprise you? 17 A. No. 18 Q. 30 days is pretty standard, isn't it? 19 A. Yes, sir. 20 Q. Is it unusual for an owner to say, "Hold all 21 payments to this company until further notice"? 22 A. No. 23 Q. How long were the payments held? 24 A. I don't know. 25 Q. The previous payment -- I'm just telling you, TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 128 1 the previous payment had been made in October. Do you 2 know when the next payment was made? 3 A. No, sir. 4 Q. Okay. Now, why is it important that the 5 contractor be paid? Who does he pay? 6 A. Subcontractors. 7 Q. The -- if the contractor is not being paid, 8 is he paying the subcontractors? 9 A. No. 10 Q. Does that create problems? 11 A. Sure, it does. 12 Q. Okay. So, in other words, if you're telling 13 Morrell Masonry, "I want five guys out there," and 14 Morrell looks back at you and says, "We haven't been 15 paid in two months; we'll put one guy out there." 16 Isn't that what happens? 17 A. Theoretically. 18 Q. Okay. In this case, would you be surprised 19 to learn that it was 87 days before the payments were 20 made? 21 A. Yes. 22 Q. That would surprise you? 23 A. Yes. 24 Q. Okay. But you were being told all along, 25 weren't you, that nonpayment was causing problems; TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 129 1 right? 2 A. I was told that the payments were slow and we 3 tried to speed it up. 4 Q. And that it was causing problems; right? 5 A. Maybe verbally. I'm sure I was told more 6 than once. 7 Q. Let's just turn back a page to 62. An e-mail 8 from Jack Green to you? 9 A. Yes. 10 Q. About this same time, October 23rd; correct? 11 A. Correct. 12 Q. If you would, let's go down to -- let's just 13 go through -- well, never mind. Let's just go down to 14 the bottom. See where it says, "The delay in 15 payment"? 16 A. Yes, sir. 17 Q. "The delay in payment on draw number 2 has 18 caused problems in regards to maintaining a project 19 schedule, mostly with pouring the remainder of the 20 concrete. We only have one supplier to work with, and 21 now they have requested all payments COD." Did I read 22 that correctly? 23 A. Yes, sir. 24 Q. So, you were advised that the concrete guy 25 was now demanding cash on delivery; correct? TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 130 1 A. Correct. 2 Q. And that's what COD stands for. "I'm still 3 trying to negotiate this with the supplier and will 4 keep you informed of my progress. The outcome of 5 these negotiations will determine a pour date." Isn't 6 it true that that payment to that particular -- for 7 that particular concrete pour was not made until 8 January 17th? 9 A. I -- I don't remember the exact date, but I'm 10 assuming that's when it was made if you're referencing 11 it. 12 Q. Well, let's do this. Let's switch over and 13 look at Exhibit Number 4 in the same book. 14 A. (Witness complying.) Okay. 15 Q. All right. This is an e-mail from John 16 Maywald. And who is John Maywald? 17 A. He's SBS financial. 18 Q. Okay. And it's addressed to you; correct? 19 A. Yes, sir. 20 Q. And this attaches a copy of draw number 6, 21 and it talks about the originals being delivered. And 22 this references, "Still have not received the executed 23 change orders -- which, you know, we will talk about 24 in a minute; those were change orders from July; 25 right -- TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 131 1 A. Yes. 2 Q. -- "and the following payments or draws." 3 And there are three draws listed there; correct? 4 A. Yes, sir. 5 Q. And the November draw is pretty substantial, 6 isn't it? 7 A. Yes, sir. 8 Q. So, at this point in time, Jack Green is 9 telling you, we're having problems; we can't get 10 concrete without getting payments. And as of 11 December 28th, you know that there's three payments 12 that have -- three draws that have not been paid that 13 are holding up the project; correct? 14 A. Yes, sir. 15 Q. And $271,00.00; that's holding up almost 16 every single trade, isn't it? Do you want to look 17 through that draw request? 18 A. Yeah. I'd like to look at it. (Witness 19 complying.) Yeah. This is -- actually, this draw is 20 for the metal -- pre-engineered metal building. 21 Q. That would be Schulte; right? 22 A. Correct. 23 Q. But the prior draws, 4 and 3, involved 24 concrete and electrical; right? 25 A. I'm surprised there would be a monthly draw TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 132 1 for $3500.00 or for 28,000, for that matter. Are 2 those the full draws? 3 Q. Did I ask you -- did I ask you whether you 4 were surprised about the draw or whether it was paid? 5 A. I'm sorry. 6 Q. Was it paid? 7 A. I don't know. I'd have to see. 8 Q. All right. Let's look at the next exhibit, 9 number 5. 10 A. (Witness complying.) 11 Q. We've now gone from -- we've gone from 12 October 23rd, when -- the first exhibit that we looked 13 at where Jack Green was complaining about lack of 14 payment, to December 23rd, where Mr. Maywald was 15 asking you about payment. And now, in this e-mail, if 16 there's actually -- you'll see in the middle of the 17 page, "Was finally able to get the Los Cerritos checks 18 just before lunch." Do you see that? 19 A. Excuse me. Yes. 20 Q. Okay. What's the date of that e-mail? 21 A. January 17th. 22 Q. Okay. Is that when -- I'm sorry. If you 23 would -- I skipped ahead of where I meant to be. If 24 you look down at the very bottom there, do you see the 25 bottom e-mail -- TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 133 1 A. Yes, sir. 2 Q. -- on that same page, January 9th? Do you 3 see that one? 4 A. Yes, sir. 5 Q. Okay. And that's from Dave Morgan. Who is 6 Dave Morgan? 7 A. He's with SBS. 8 Q. And that's directed to you. And it says, 9 "Appreciate the opportunity to meet on Monday." 10 Starting about this point in time, did SBS have 11 regular meetings with you? 12 A. Yes. 13 Q. They set them up; correct? 14 A. Correct. 15 Q. Okay. In this particular meeting they had 16 been asking you about those three checks for those 17 three draws and the change orders. Remember? 18 A. Yes, sir. 19 Q. And Mr. Morgan is, in essence, asking you if 20 there's a problem, above here. And if you read 21 through the e-mail, it says, "Would it be beneficial 22 for me to contact anyone in your organization to see 23 what is holding up payment and processing of these 24 documents? I'm getting pressure on my end to get this 25 stuff done." Was there somebody above you that was TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 134 1 holding payments? 2 A. Yes. 3 Q. Who was that? 4 A. Tony Weigand. 5 Q. And was there somebody above you that was 6 holding the change orders and not signing those? 7 A. You know, I remember that the -- well, yes. 8 Q. Who was that? 9 A. Tony. 10 Q. Okay. Now, if you'll turn back to the first 11 page, we already read the middle one, but now look at 12 the top. You got the payment, but now Mr. Morgan is 13 asking you on the 18th," any chance we can get the 14 change orders?" 15 A. Where is -- 16 Q. At the top on page 1. 17 A. Yeah. "Any chance we can get change orders?" 18 I'm sorry. At the same time. 19 Q. Did you ever tell anyone at SBS that the 20 change orders had actually been signed by the owner? 21 A. No. 22 Q. Did you ever tell them that they would be 23 forthcoming? 24 A. No. 25 Q. If you would, turn to Exhibit Number 6. TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 135 1 A. (Witness complying.) 2 Q. And you see that one is dated January 31st? 3 A. Yes. 4 Q. Okay. And again, let's assume 30 days 5 because that's what's in the contract. It's an e-mail 6 from David Morgan to you, and it says, "Can you update 7 SBS on the status of payment on our December 8 application for payment that was sent to you on 9 December 28th, 2012?" Did I read that correctly? 10 A. Yes. 11 Q. And at that point in time, it would be three 12 days late, assuming a 30-day deadline; right? 13 A. Yes. 14 Q. Do you know if that draw was ever paid? 15 A. I don't know. 16 Q. You know it wasn't paid, because you fired 17 SBS six days later. 18 A. Okay. Well, then -- 19 Q. That's why we're here, is because that draw 20 wasn't paid. 21 A. Okay. 22 Q. Okay. And then again, Mr. Morgan asks you, 23 "Can you also update SBS on the status of the 24 execution of change orders one and two that have been 25 in your possession since -- July and October -- "for TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 136 1 several months," is what it says. "SBS has been 2 informed in the past that these change orders have 3 been signed, but to date we have never received a 4 signed copy." Did you ever respond to this and say, 5 oh, they haven't been signed? 6 A. No, I don't remember. 7 Q. Well, if you had an e-mail, it would have 8 been on the Lewis server; correct? 9 A. Correct. 10 Q. And we didn't get it. So, if we didn't get 11 it, -- 12 A. Well, then I didn't respond to it. 13 Q. -- you didn't respond to it. You didn't 14 correct his information that we have been told that 15 they're signed? You knew they weren't signed; right? 16 A. I -- I don't remember. I don't even remember 17 what change order 1 and 2 are. 18 Q. Change order number 1 is when they changed 19 the size of the hangar. That's the big one of 20 $44,000.00. You don't remember that one? 21 A. I remember that now that you mention it. 22 What's change order number 2? 23 Q. Change order number 2 had to do with framing 24 -- with the exterior siding. 25 A. Okay. TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 137 1 Q. But we can -- if you want to look at the 2 change orders, they're actually -- as long as we're in 3 this section of the book, they're Exhibits Number 1 4 and 2. 5 A. Okay. 6 Q. Do you see Defendant's Exhibit Number 1? 7 A. Yes, sir. 8 Q. And that's got John Grable's signature on it. 9 It's got Dave Morgan's signature on it from SBS. And 10 it's dated in July of 2012; right? 11 A. Correct. 12 Q. And this is the additional cost associated 13 with the larger airplane; right? 14 A. Correct. 15 Q. And that's $44,600.00? 16 A. Yes. 17 Q. And what was that change; do you remember? 18 A. I believe we raised the -- in fact, I did -- 19 we raised the height of the door going into the hangar 20 to accommodate a 2000LX Falcon Dassault. 21 Q. Okay. And that was a change that was made 22 after the contract was signed, but before they 23 actually poured the foundation; right? 24 A. Yes. 25 Q. Now, when it comes to raising something like TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 138 1 that, is that something that SBS can just do on its 2 own; oh, no dig deal; we'll just raise it up 6 feet? 3 A. Oh, no. No. It's quite complicated. 4 Q. Yeah. Because the architect has to design 5 what it's going to look like; right? 6 A. Correct. 7 Q. And then the engineer has to tell them 8 whether or not it's going to stand up if he builds it 9 at that height? 10 A. Absolutely. 11 Q. And then you have to worry about the other 12 things that go into it; the electrical, and you have 13 other issues; right? 14 A. Correct. 15 Q. So, SBS has to receive architectural drawings 16 and then they have to receive structural drawings from 17 the engineer? 18 A. And they have to modify the pre-engineered 19 metal building. 20 Q. Correct. 21 A. Which they told us they could do, no problem. 22 Q. Right. So -- and those things all have to 23 happen before SBS can actually get out and pour the 24 concrete or do whatever they need to do? 25 A. Yes, sir. Absolutely. TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 139 1 Q. So, SBS is at the mercy of Victor de Anda, 2 who was the structural engineer? 3 A. Yes, sir. 4 Q. And at the mercy of John Grable and Matt 5 Martinez, who were the -- 6 A. Yes. 7 Q. -- architects; right? 8 A. Yes. 9 Q. If you would, book at Exhibit Number 3. 10 A. (Witness complying.) 11 Q. And this was from October 2012; this change 12 order. So, this has to do with the windows and the 13 panels and columns and whatnot; correct? 14 A. Correct. 15 Q. This is the interior -- some of the interior 16 stuff? 17 A. Yes. 18 Q. And this is a change for $27,544.00? 19 A. Yes, sir. 20 Q. Okay. Now, when it came to that first change 21 order, did you allow SBS to sit back and wait on the 22 change order to be signed? 23 A. No. 24 Q. In fact, you insisted that SBS get out there 25 and pour the foundation and begin erecting that metal TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 140 1 building and order all the parts before that change 2 order was signed? 3 A. Yes. 4 Q. If you don't have a change order signed by 5 the owner, can the owner come back and say, I didn't 6 sign that; I'm not paying for it? 7 A. Theoretically. 8 Q. Isn't that what they're doing in this case? 9 A. I don't know what they're doing. 10 Q. Would it surprise you to learn that's the 11 position they're taking in this case? 12 A. Yes. 13 THE COURT: Counsel, let's break for 14 lunch; okay? 15 MR. CLARK: Okay. I'm stopping, Your 16 Honor. 17 THE COURT: Okay. 1:40. Mr. Pittman, 18 you can step down. 1:40, please. 19 (Recess taken.) 20 THE COURT: Mr. Pittman, come on back up, 21 sir. 22 MR. SLATES: Your Honor, one admission on 23 preadmitted exhibits. 63 through 69 of Tri-Bar's, I 24 believe, are admitted by agreement. 25 THE COURT: 63 through 69? TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 141 1 MR. SLATES: Yes, Your Honor. 2 THE COURT: Okay. Tri-Bar 63 to 69 are 3 admitted. Go ahead, sir. 4 Q. (BY MR. CLARK) Mr. Pittman, before we leave 5 Exhibit 63 -- that's the one that says, "Garrett, hold 6 all payments to this company until further notice. 7 Thanks" -- did you ever tell anyone at SBS -- or you 8 didn't tell anyone at SBS that Tri-Bar was holding 9 payments, did you? 10 A. No. 11 Q. Did Mr. Grable know that? 12 A. I don't know. 13 Q. I see he's copied on -- 14 A. I think -- I think he did. Yeah. 15 Q. Do you know if he ever told anyone at SBS 16 that their payments were being held? 17 A. No, I don't know. 18 Q. So, in response to the e-mail inquiries from 19 Mr. Morgan about, "Is there somebody that I should 20 talk to or somebody over your head that I can go to to 21 get payment facilitated," you never bothered to 22 mention to Mr. Morgan that the payments were being 23 held at the direction of Bob Lewis, did you? 24 A. No. 25 Q. Okay. Now, we talked about some of the TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 142 1 issues related to the lack of payment and what that 2 does to the subcontractors. If you would, your book 3 is open to Exhibit Number 14 -- it's SBS Exhibit 14. 4 It's open to that. You're there. 5 A. Oh, I'm sorry. 6 Q. You were on the page I wanted you to be right 7 there. That's SBS at the bottom right-hand corner. 8 It says, "SBS-1962." 9 A. That's right. 10 Q. This -- if we can describe for the Court what 11 we're looking at here. This is a picture from up in 12 the top front corner of the hangar; right? 13 A. Oh, yes. 14 Q. Yes. And so, you're looking across what 15 would be the big front doors for the airplane to pull 16 into the hangar; right? 17 A. Correct. 18 Q. Okay. And what's this big area out here to 19 the front that has no concrete in it? 20 A. That's the -- that's basically a taxi area 21 where the planes -- 22 Q. Can I call it an apron? 23 A. Yes, sir. 24 Q. Is that what they called it out there on -- 25 A. Yeah, I believe so. TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 143 1 Q. Okay. And that apron sat there unpoured just 2 like that for how long? 3 A. I don't know. Quite awhile. 4 Q. Three months; right? And that was the 5 concrete that they were waiting to pour that Jack 6 Green referenced in the October 23rd e-mail to you 7 where he said, "I can't get the concrete guys to get 8 back out there because they're now on COD." And 9 that's what he's waiting on; right? 10 A. Right. 11 Q. And that concrete supplier did not get paid 12 until January 17th. We saw that right before lunch; 13 correct? 14 A. Correct. 15 Q. Isn't it also true that Mr. Schiffman had a 16 direct conversation with you about getting concrete 17 for this apron? 18 A. I'm sure he did. I don't remember it. 19 Q. Didn't he offer to pay for the concrete out 20 of his own pocket if you would personally guarantee 21 it? 22 A. I don't remember that. 23 Q. Are you saying it didn't happen or are you 24 saying you just don't remember? 25 A. I don't remember it. TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 144 1 Q. Now, did this -- 2 A. Actually, I do remember that. 3 Q. You do remember him saying that? 4 A. Yes. 5 Q. And you -- you said no; right? 6 A. Right. 7 Q. Okay. And you wouldn't put it on your own 8 credit card, would you? 9 A. No. 10 Q. Now, how does one manufacture doors and stand 11 them up from the outside without that concrete being 12 there? 13 A. Well, this apron had nothing to do with the 14 doors. 15 Q. Well, what I'm saying is that if you're the 16 door manufacturer and you're trying to access where 17 those doors go in those tracks, which is the only side 18 that you can access them from -- 19 A. Right. 20 Q. -- inside? 21 A. Well, yes and no. But I mean, there's more 22 than one way to get those doors in there. 23 Q. Would the easy way be to just walk across -- 24 A. Yes, sir. 25 Q. -- what should be an apron? TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 145 1 A. Yes, sir. 2 Q. Yeah. Okay. If you would, turn to Exhibit 8 3 of that same book. 4 A. (Witness complying.) 5 Q. If you would, turn to page 2 of that. 6 A. (Witness complying.) 7 Q. Are you on page 2 of Exhibit 8? 8 A. Yes, sir. 9 Q. Okay. Let's start at the bottom. Do you see 10 your e-mail dated May 19th? 11 A. Right. 12 Q. And that one is to John Grable? 13 A. Right. 14 Q. And it begins, "Every project Rod has is 15 micromanaged." Did I read that correctly? 16 A. No, you didn't. Is macro micromanaged. 17 Q. Oh, I'm sorry. You're right. Macro 18 micromanaged. And then you said, "He needs to find 19 someone he trusts to let him make all this" -- 20 expletive -- "happen. That's not me and damn sure not 21 Tiny." Who is Tiny? 22 A. Tony. 23 Q. Tony. Okay. "Hope you find someone in his 24 future." And then Grable responds, "He always second 25 guesses everyone. So sad." Right? TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 146 1 A. Uh-huh. 2 Q. And then your response is, "Ironically, crews 3 are pulling off because I can't get them paid." This 4 is May 19th; right? 5 A. Right. 6 Q. This is -- remember SBS was terminated 7 February 5th of 2013. This is three months after the 8 termination of SBS. You're now the general 9 contractor; right? 10 A. Yes. 11 Q. And you can't get people paid; right? 12 A. Yes. 13 Q. In fact, it was United Erectors that pulled 14 off the project, wasn't it? 15 A. I don't know. I mean, United Erectors 16 finished the job. 17 Q. But they pulled off the project and left one 18 guy there and then came back once they got paid. Do 19 you remember that? 20 A. I don't. But -- 21 Q. Okay. Then you go on. "The cheapest best 22 guys have to be paid every other week. Steve Mower" 23 -- and who is he? 24 A. He's in accounting. 25 Q. With? TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 147 1 A. Lewis. 2 Q. Okay. "Steve Mower in accounting told me 3 that that's not going to happen because Tiny has to 4 approve everything and he sits on all the invoices 5 until the cows come home." You meant that; right? 6 A. Yes. 7 Q. And that's exactly what he did, was they sat 8 on these payments forever; right? 9 A. Right. 10 Q. And now turn back to the first page. When 11 you had proposed -- the e-mail down at the bottom, 12 also dated May 19th when you proposed that somebody 13 needs to take over this stuff from -- or Grable said 14 somebody needs to take this over. You responded, "No, 15 he doesn't. Let's earn our keep and keep him out of 16 the daily" -- expletive -- "we need to do. He doesn't 17 need to know about the crap we do every day." Did I 18 read that correctly? 19 A. Yeah. 20 Q. And then Mr. Grable responds back, "Seems 21 like we are back in an SBS grind with us pushing the 22 unpaid." Right? 23 A. Right. 24 Q. And that's exactly what it was in May when -- 25 when you wrote this, you were pushing unpaid people to TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 148 1 do more work; right? 2 A. Right. 3 Q. And Mr. Grable writes back, "Not right in my 4 mind to tool around with the working man's paycheck." 5 Oh, I'm sorry. I skipped a word. "Nothing to worry 6 about, my friend." That is in there as well? 7 A. Right. 8 Q. And Mr. Grable writes back, "Not right in my 9 mind to tool around with the working man's paycheck." 10 Now, Mr. Pittman, it was only four days after this 11 that you resigned from Lewis Energy. Was -- you 12 mentioned that one of the reasons that you resigned 13 from Lewis Energy was because you had a potential 14 project with some investor? 15 A. Right. 16 Q. There were other reasons why you left Lewis 17 Energy; right? 18 A. That was the primary reason I left. 19 Q. But you also left because this project wasn't 20 going according to plan; right? 21 A. No. That didn't have anything to do with me 22 leaving. 23 Q. Well, you -- one of the other reasons that 24 you left was because of the other legal problems that 25 you were having at the time; correct? TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 149 1 A. No. 2 Q. Okay. So, if your attorney told me that you 3 -- that you left -- that you were actually terminated, 4 then he falsely represented that to me? 5 A. My attorney told you that? 6 Q. Yeah. 7 A. Who said that? 8 Q. Luitjen. 9 A. Luitjen? 10 Q. Yes. 11 A. Mark Luitjen? 12 Q. Yes. 13 A. Judge Mark Luitjen? No, he didn't say that, 14 because it's not true. I didn't -- I wasn't 15 terminated. I resigned. 16 Q. He said that you resigned -- 17 MR. SLATES: Objection, Your Honor. 18 That's hearsay. 19 THE COURT: Sustained. Rephrase it. 20 MR. CLARK: I'll move on, Your Honor. 21 Q. (BY MR. CLARK) Now, were you aware that at 22 some point in time, to keep people on the project, 23 that -- that the people that were involved in the 24 project were required to put stuff on their credit 25 cards? TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 150 1 A. Yes. I put things on my credit card. 2 Q. Okay. And that was to keep the project 3 moving; right? 4 A. Right. 5 Q. And that's because you couldn't get payments 6 from the owner? 7 A. Well, it was easier for me to -- instead of 8 setting up accounts with suppliers, that I just put it 9 on my American Express. 10 Q. Okay. So, if you would, move over to Exhibit 11 Number 9. 12 A. (Witness complying.) 13 Q. And I just don't know when in June you 14 stopped providing services to Mr. Lewis. So, this 15 doesn't actually copy you, but I'll ask if you're 16 aware of it. The one down at the bottom is from 17 June 26th. It's from Daniel Boddie. Who is Mr. 18 Boddie? 19 A. He's the guy that we pulled in to finish the 20 job. 21 Q. Okay. It says, "Tony" -- and that's Tony 22 Weigand that he's talking about? 23 A. Yes. 24 Q. "Citing nonpayment, United Erectors has left 25 this project for other jobs to make payroll for the TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 151 1 remainder of this week." Did I read that correctly? 2 A. Uh-huh. 3 Q. Do you remember that happening? 4 A. No. I wasn't there. 5 Q. Would this have been after you left then? 6 A. Yes. 7 Q. This was not atypical, was it? 8 A. It wasn't what? 9 Q. Atypical. 10 A. Well, United Erectors I've use on a lot of 11 projects, and they tend to be problematic. You have 12 to pay them not on 30 days, but sometimes every other 13 week. 14 Q. Okay. Now, did you ever propose to Mr. Lewis 15 that -- that you would continue to push the unpaid at 16 his -- for his benefit? 17 A. I don't remember that particular -- 18 Q. Do you recall telling him that you were going 19 to let SBS work through the erection of the building 20 and then look for an excuse to fire them? 21 A. No. 22 Q. Okay. If you would, turn to Exhibit Number 23 66. 24 A. (Witness complying.) 25 Q. Okay. First of all, let's look down at the TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 152 1 very bottom of Exhibit 66, where it's an e-mail from 2 John Grable. And I'll just ask you if you -- if you 3 agree with the statement down -- where it says, 4 "Material selection deadlines are now, as material 5 needs to be ordered and there are lead times on stone 6 that require four to six weeks for delivery." Did I 7 read that correctly? 8 A. Yes. 9 Q. This is November 4th of 2013. And at least 10 some of the stone has not been ordered yet; is that 11 correct? 12 MR. SLATES: For the record, it's 13 November 2012. 14 MR. CLARK: '12. Yes. Sorry. '12. 15 Q. (BY MR. CLARK) Is that correct that some of 16 the stone has not even been ordered yet? 17 A. Yes. 18 Q. And they were waiting on Mr. Lewis to make a 19 decision on what kind of stone would be ordered; 20 right? 21 A. Well, that's not entirely correct. We were 22 waiting on a mockup to be made. 23 Q. Okay. 24 A. The stone mockup to be made that was never 25 made. TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 153 1 Q. And the material deadline -- the materials 2 needed to be ordered, and he was asking for the 3 material selections from Mr. Lewis; right? 4 A. Well, yeah. But we couldn't do that until 5 after the mockup was done. Because the mockup had, 6 like, three or four different types of stone in it. 7 And we wanted to see what that was going to look like 8 before we ordered all the stone. 9 Q. And that caused delays, didn't it? 10 A. Well, it caused delays because we couldn't 11 get the -- couldn't get the mockup done. 12 Q. Right. Okay. If you would, look at the 13 e-mail right above that. And it says from Rod, "I'm 14 ready to move forward with selections now, John. 15 Let's proceed as we have discussed and you have 16 identified." And the next paragraph, "What I don't 17 understand right now, and we should hold for 18 discussion, is how we move forward with this project. 19 So, before ordering the material, I will have to 20 discuss with Tony W. and Tom how we plan to proceed. 21 This can be done in the next 48 hours." He's 22 referring to your proposal to terminate SBS, isn't 23 he? 24 A. Let me see here. I think it's referring to 25 the mockup, but -- TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 154 1 Q. Well, looking at your response to this, it 2 certainly looks like it's addressing SBS, doesn't it? 3 A. Yes. 4 Q. And your response was, "Rod, best case, we 5 get the building in full, they get it and erect it. 6 If they "F" up the erection, we hammer them, we take 7 over the project, we're golden." 8 A. Right. 9 Q. And so, at that point in time, this was just 10 two weeks after the directive to hold all payments. 11 You knew that you were holding their payments. You 12 knew they were having problems with their trade. You 13 knew they couldn't get the concrete out there that 14 they needed to pour the apron so they could work on 15 the door. You knew that they were waiting on a stone 16 selection material that was deliberately being held 17 back here. You weren't telling any of this to SBS and 18 you were just going to sit back and wait and see if it 19 was a problem with the erection and then you were 20 going to terminate SBS; right? 21 MR. SLATES: Objection, compound. 22 THE COURT: Overruled. You can answer, 23 sir. 24 THE WITNESS: Oh, okay. 25 A. Well, that's -- that's not a one-sentence TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 155 1 answer. 2 Q. (BY MR. CLARK) Well, they were set up to 3 fail, weren't they? 4 A. They set themselves up to fail. 5 Q. When you -- when Mr. Lewis holds payment for 6 three months and they can't pay their trade, that's 7 setting the general contractor up to fail, isn't it? 8 A. Granted, it's not the best situation. 9 Q. Well, you were getting payments monthly, I 10 assume, in May; right, from Mr. Lewis when you were 11 acting as the general contractor? 12 A. I -- I wasn't there. 13 Q. In May. The e-mail we were just looking at 14 where you were talking about people wanting to get 15 paid and pushing the unpaid. 16 A. Oh, yeah. Yeah. 17 Q. You were having to push the unpaid and you 18 couldn't get money out of Mr. Lewis, could you? 19 A. It was slow. 20 Q. So, February 5th comes along when you have 21 this meeting. And then we've already established that 22 after that meeting on February 5th, when you 23 terminated SBS, it's my understanding that you had no 24 more communications with SBS at all; correct? 25 A. I think we had one or two phone TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 156 1 conversations, but not -- not many. 2 Q. And none of them about the work; right? 3 A. Right. 4 Q. They were all about, like, administrative 5 matters? 6 A. Yes, sir. 7 Q. All right. If you would, go back to Exhibit 8 Number 14; the actual letter that is Exhibit 14. 9 A. (Witness complying.) 10 Q. Do you remember this letter? 11 A. Yes, sir. 12 Q. Okay. The first paragraph deals with 13 administrative stuff; right? 14 A. Yes. 15 Q. And that -- you said you had a conversation 16 with somebody maybe about some of that stuff. The 17 second one really doesn't mention much except about 18 Schulte. The third paragraph says, "Jack, you may not 19 be aware, but we have discovered several defects in 20 work delivered by SBS. Glacier Cap has hired an 21 independent consultant to test and review all as-built 22 conditions. This effort continues and is still under 23 way to complete a detailed list that outlines these 24 defects and how they will be resolved." Are you aware 25 of any detailed list that was ever sent to SBS that TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 157 1 those -- as said in this letter? 2 A. No. 3 Q. "Today it was determined the building is a 4 minimum of 2 inches out of plumb towards the west." 5 What is -- did you -- were you involved in determining 6 that? 7 A. Yes. 8 Q. Did you get out there with a level and shoot 9 it yourself? 10 A. Actually, I did. 11 Q. And you determined that it was 2 inches out 12 of plumb? 13 A. No. I didn't determine it was 2 inches out 14 of plumb. When we had the erector come out and do the 15 -- actually, when Speedway came out and did the 16 initial inspection, they were the ones that said that 17 this building is racked 2 inches out. 18 Q. Okay. And did Speedway -- I mean, did you 19 contact Schulte at that point, the building's 20 manufacturer, to find out what the tolerances were? 21 A. Yes, we did contact him and ask for 22 tolerances. 23 Q. And 2 inches is within tolerance, isn't it? 24 A. Oh, no, it's not. 25 Q. Oh, you don't think so? TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 158 1 A. No, I don't think so. 2 Q. Okay. We'll get to that one in a minute. 3 Today -- "And the double roof lock seam roof panels 4 are not contiguous as specified." How many of the 5 roof panels were not contiguous? 6 A. I don't remember. 7 Q. Wasn't it only two? 8 A. I don't remember. I know that -- well -- 9 Q. "The diaphragm function of the roof element 10 will be compromised when the building is plumb and 11 will have to be completely removed and replaced." 12 What engineer provided you with that information? 13 A. I didn't write this letter. 14 Q. Did you have a hand in editing the letter? 15 A. No. 16 Q. Who in your office did? 17 A. I don't know. I might have -- I might have 18 edited this, but I don't remember. 19 Q. I'll tell you what. Let's look at 20 Exhibit 111. 21 A. (Witness complying.) Sorry. I'm having a 22 hard time. 23 Q. I know -- that notebook. I'm going to do 24 something with that tonight. 25 A. Okay. TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 159 1 Q. So, that's from Jennie Briggs to you. And it 2 encloses that letter with revisions on there. So, 3 whose revisions are they? 4 A. Those are Jennie Briggs'. 5 Q. Okay. But you saw the letter before it went 6 out? 7 A. Yes. 8 Q. And you -- and you approved it? 9 A. I didn't -- not approve it. Yes, sir. 10 Q. Okay. At that point in time, did you know 11 what the tolerances were for the building? 12 A. I don't remember. 13 Q. Why would Mr. Grable say in his letter that 14 it was -- that it violated the quality industry 15 standards if you can't even remember whether you had 16 the tolerances at that point or not? 17 A. Well, I know that when you physically look at 18 a building and you've got a masonry wall that's here 19 and a metal structure that's like this, you can -- you 20 can look at it and see that it's out of plumb. 21 Regardless -- if the tolerance -- are you telling me 22 that 2 inches out of plumb is within building industry 23 standards? I disagree. 24 Q. How many of those columns were out of plumb? 25 A. Well, the whole building was racked. TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 160 1 Q. The information I've seen shows two columns 2 out of plumb. 3 A. So? 4 Q. Was it more than two; do you know? 5 A. I'm saying the whole building was racked. 6 Q. So, it's your testimony that all the columns 7 were out of plumb? 8 A. No. All the columns don't have to be out of 9 plumb for the building to be racked. 10 Q. Okay. If you -- 11 A. That's more of the mainframe that's -- 12 Q. -- would, let's turn to Exhibit Number 73. 13 A. (Witness complying.) 14 Q. Okay. Exhibit Number 73 is an e-mail from 15 you to John Grable that says, "Looks like we're going 16 to have to take the roof off before we can rack the 17 building to plumb." Did I read that correctly? 18 A. Yes. 19 Q. At that point in time, did you have the 20 tolerances for the building? 21 A. No. 22 Q. If you would, turn to the next page -- turn 23 to the next Exhibit 74. 24 A. 74? 25 Q. 74. TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 161 1 A. (Witness complying.) 2 Q. In fact, your prior e-mail was dated 3 February 28th, the same day as the letter. And here 4 on March 4th, it's an e-mail from you to Mr. Pittman 5 saying, "Let's check with the PEMB standard to see 6 what the tolerances are as far as the building being 7 plumb." Correct? 8 A. Correct. 9 Q. But at the time you wrote the letter and made 10 the conclusion that the roof needed to come off, you 11 didn't know what the tolerances were as far as the 12 building being plumb, did you? 13 A. Correct. 14 Q. And if you look at Exhibit 82 -- do you see 15 Exhibit 82? 16 A. Yes, sir. 17 Q. That's an e-mail from Erick Key. And who is 18 Erick Key? 19 A. Schulte Building representative. 20 Q. Okay. And they're the -- Schulte is the one 21 that actually manufactured the building -- the 22 structure? 23 A. Yes. 24 Q. And Exhibit 82 provides some of the 25 tolerances for the material that they work with; TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 162 1 correct? 2 A. Correct. 3 Q. And then Exhibit 83 provides the rest of the 4 tolerances -- the erection tolerances; correct? 5 A. Correct. 6 Q. So, it wasn't until March 7th that you got 7 the erection tolerances for this building; right? 8 A. Right. This is dated August 10th. 9 Q. Which one are you looking at? 10 A. I'm sorry. The -- yeah, this is March 7th. 11 Q. Right. March 7th of 2013. Now, you've not 12 been designated as an expert in this case, have you, 13 by any party? 14 A. No. 15 Q. And so, you're not here to provide any expert 16 testimony on any issues here today, are you? 17 A. No. 18 Q. Then I won't ask you about the tolerances. 19 Do you know if SBS provided a response to Mr. 20 Pittman's letter; the one on February 28th? Do you 21 know if SBS gave a response to Mr. -- I'm sorry -- Mr. 22 Grable? 23 A. Oh, I don't know. 24 Q. If you would, look at Exhibit 17. 25 A. (Witness complying.) TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 163 1 Q. Do you see the e-mail transmittal on the 2 first page and then you see the letter dated 3 March 19th on the next page? 4 A. Yes. 5 Q. Do you see that? 6 A. (Witness nodding head up and down.) 7 Q. Okay. Let's go through -- and you've seen 8 this letter before? 9 A. Yes. 10 Q. Okay. In fact, you received it from Mr. 11 Grable on or about March 19th; right? Then you 12 received it again from Mr. Schiffman on the 20th? 13 A. Right. 14 Q. Okay. Let's go through that -- that letter 15 from Mr. Schiffman. In it, the second paragraph, 16 smack dab in the middle, it says, "Without prior 17 verbal or written communication of any sort, SBS was 18 summarily informed they we would no longer be 19 associated with this project." Did I read that 20 correctly? 21 A. Yes. 22 Q. And if I understood your testimony earlier 23 this morning, that's a fairly accurate statement, 24 isn't it? 25 A. Yes. TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 164 1 Q. Okay. And then if you'll look down there 2 where the numbers are 1, 2, and 3; do you see that? 3 A. Uh-huh. Yes. 4 Q. Number 2 is the allegation in that 5 February 28th letter that the building was out of 6 plumb, which is contrary to measurements by SBS, the 7 metal building erector, and the metal building 8 supplier, Schulte." Did I read that correctly? 9 A. Yes. 10 Q. And you're saying at that point in time, 11 somebody -- that you -- you or somebody had 12 measurements that differed; correct? 13 A. Correct. 14 Q. Those measurements were never supplied back 15 to SBS, were they? 16 A. No. 17 Q. There was never any -- in fact, there was 18 never any reply to this letter from you at all, was 19 there? 20 A. That's correct. 21 Q. Okay. And number 3, "The diaphragm function 22 of the roof element will be compromised." That was a 23 statement Mr. Grable made in his letter. "And that's 24 contrary" -- this is what Mr. Schiffman wrote -- "is 25 contrary to the improved metal building engineering TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 165 1 which is not dependent upon the roof diaphragm." Were 2 you aware of that? 3 A. Oh, yeah. Well, all roofs provide some form 4 of diaphragm. A diaphragm design on a metal building 5 is -- is established by several things. 6 Q. The roof is just one of those components; 7 right? 8 A. Just one of those components. 9 Q. Okay. So, the fact that the diaphragm 10 element is compromised is -- doesn't take away any of 11 the other diaphragm elements of the rest of the 12 building, does it? 13 A. No. 14 Q. Okay. The next sentence says, "Both Jack and 15 I intended to communicate with you on the substance of 16 that letter, but did not receive any phone calls." 17 They did try to communicate with you, didn't they? 18 A. Yes. 19 Q. They left you numerous messages, didn't they? 20 A. Yes. 21 Q. Both of them; both Jack and Steve. And you 22 saw the messages coming in -- the calls coming in on 23 your cell phone, didn't you? 24 A. Yes. 25 Q. You saw that it was -- you knew that it was TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 166 1 Steve Schiffman that was calling you; right? 2 A. Yes. 3 Q. And you didn't answer? 4 A. Correct. 5 Q. You knew it was Jack Green that was calling 6 you and you didn't answer? 7 A. Correct. 8 Q. You let it go to voicemail? 9 A. Right. 10 Q. You listened to the voicemails; right? 11 A. Most of them. 12 Q. And they said, call me, what's this about; 13 stuff like that? 14 A. Yeah. 15 Q. And you never called back? 16 A. I never did. 17 Q. You never wrote back? 18 A. Never. 19 Q. Was this at the instruction of somebody? 20 A. No. I just felt that at that point in the 21 development of this thing that it wasn't beneficial. 22 Q. Okay. In fact, when you read Mr. Schiffman's 23 letter, it goes through and talks about -- you know, 24 it refutes the three things that are in Mr. Grable's 25 letter. It says, hey, we made phone calls. On the TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 167 1 next page it goes through and talks about offering 2 assistance. It talks about receiving the package. It 3 talks about how we were supposed to get payment; we 4 haven't gotten paid. No calls have been returned. No 5 exchange of information has been accomplished with 6 you. And it goes through and raises a bunch of other 7 issues, doesn't it? 8 A. (Witness nodding head up and down.) 9 Q. And none of that you saw fit to respond to; 10 correct? 11 A. Correct. 12 Q. Okay. Including the statement that, "We take 13 Grable's letter seriously. We continue to be willing 14 to meet with you to achieve your initial goal of 15 amicably settling all matters associated with your 16 desire to close out this project." That didn't spur 17 you to pick up the phone and say, hey, got a -- we 18 need you to come out and rerack this building? 19 A. Yeah. This was -- this was -- 20 Q. After the termination; right? 21 A. Right. 22 Q. No need to? 23 A. No need. 24 Q. Okay. In fact, if you look at Exhibit Number 25 20, right there in the middle, that's where Mr. Grable TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 168 1 sends you this -- Mr. Grable sends you his copy of the 2 March 19th letter because he got it first; right? 3 A. Right. 4 Q. "I wanted you to see this." And you wrote 5 back to Mr. Grable, "Huge. Want to keep you out of 6 the impending fight. It's going to happen and it 7 makes my life easier taking you out of the mix. 8 Unfortunate, but Schiffman has put me in a position. 9 I have no other recourse. I have to crush him and I 10 will." That's what you wrote; right? 11 A. That's what I wrote. 12 Q. You weren't going to let him come back and do 13 anything with that project. You were just going to 14 make sure that you changed -- you fixed everything 15 that you could and stuck it against his bill; right? 16 A. Well -- but you have to understand. This is 17 after several months of telling them to fix things -- 18 telling them counted times to fix things. 19 Q. We'll get to those in a second. Because 20 there's not a single instance that you can tell me 21 right now where they did not agree to fix something; 22 correct? 23 A. Well, I disagree with that. 24 Q. All right. 25 A. We'll get to that. TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 169 1 Q. I'll let you bring that up with -- let me 2 finish this exhibit. I'm trying to move along. Mr. 3 Grable writes back and says, "I'll stand there with 4 you, my friend"; right? 5 A. Uh-huh. 6 Q. Two of you were going to be against SBS; 7 right? 8 A. Right. 9 Q. Because you knew there was going to be an 10 impending fight coming up over -- 11 A. Right. And we're going to protect the owner, 12 who is my client, or who I worked for. 13 Q. Okay. And then I think I already know the 14 answer to this. But if you'll look very quickly at 15 Exhibits 12 and 13. 16 A. Yes. 17 Q. 12 is a letter from Mr. Schiffman to you a 18 week after -- no, ten days after the termination; 19 correct? 20 A. Correct. 21 Q. Smack dab in the middle, "As Jack and I 22 expressed, SBS will cooperate throughout the final 23 stage of this process. We have called upon our 24 relationship with the various subcontractors and 25 suppliers to amicably close out their contracts on TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 170 1 this project with minimal additional costs. This was 2 in no small part accomplished but for your 3 representation everyone would be fairly compensated in 4 a timely manner." You didn't see fit to respond to 5 this letter at all, did you? 6 A. No. 7 Q. Okay. And Exhibit Number 13 was an e-mail 8 that Mr. Schiffman sent to you right before that 9 February 28th letter comes back. And it says, "Dear 10 Tom, in the meeting you talked about getting SBS a 11 closeout check quickly. I called yesterday to inquire 12 about the status. I know you contacted some of the 13 subcontractors to continue with the project, but we 14 still need to close out SBS's subcontracts 15 financially. Please give me an update. Steve." And 16 you never called him back on that either; right? 17 A. Because I wasn't done with doing the forensic 18 studies. 19 Q. Okay. And then Mr. Schiffman continued to 20 call you during the entire month of March, didn't he? 21 A. I don't remember. 22 Q. Well, you recall it lasting for quite awhile, 23 don't you? 24 A. Yeah. 25 Q. And eventually he became a pest and you TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 171 1 decided to tell him, don't call me anymore? 2 A. I think that's what happened. 3 Q. Okay. If you'll look at Defendant's 4 Exhibit 19, this is March 26th. 5 A. Yeah. 6 Q. Do you see the e-mail right there in the 7 middle? 8 A. Yes, sir. 9 Q. "Hello Steve and Jack. Per the advice of our 10 in-house counsel, Tony Trevino, we are not permitted 11 to discuss the Los Cerritos project with you or anyone 12 from SBS Construction in any manner to include text 13 messages, voicemail, in-person discussion, e-mail, or 14 other written correspondence." Did I read that 15 correctly? 16 A. Correct. 17 Q. And then you say, "Any inquiries, requests, 18 or comments directed to us will not be answered, but 19 will be forwarded to Tony Trevino to be answered by 20 him. You can reach Tony Trevino at" -- and his e-mail 21 address with Lewis Energy. Correct? 22 A. Correct. 23 Q. And after -- well, after February 5th, you 24 had no more substantive communication about any of the 25 defective issues that you were claiming with SBS; TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 172 1 right? 2 A. Right. 3 Q. You never shared this report with them, did 4 you? 5 A. No. 6 Q. Who worked with you on this report? 7 A. We had -- Speedway did the majority of the 8 work on the erection, roof, inspection of the metal 9 building. Then we did a lot of it with different 10 contractors. 11 Q. Okay. So, you -- did you actually get out 12 there and do any of it or were you relying on others? 13 A. No. We actually -- some of it was developed 14 as it went on. Like when we were checking dimensions 15 for brick lugs and noticed that there was improper 16 brick lug poured, that's when we dug some of that dirt 17 out to -- to make access for their -- so, it wasn't 18 just, this guy did this, this guy did that. So, it 19 was an ongoing discovery. 20 Q. Okay. As long as you brought up the brick 21 lug, the brick lug was something that was not on the 22 structural engineered plans at the time of the pour; 23 right? 24 A. I don't know. 25 Q. Well, you know it wasn't. You know the brick TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 173 1 lug was added right before the pour. 2 A. I don't remember. 3 Q. You don't -- you remember going out and 4 inspecting it; right? 5 A. Yeah. Well, it became apparent when we 6 started to do the CMU that there was no brick lug for 7 the -- the brick -- 8 Q. But you can see -- 9 A. -- and the stone. 10 Q. -- you can see on that brick lug that it was 11 not part of the original pour; right? 12 A. Right. You're right. 13 Q. It was added. And you -- that was added at 14 the last minute and you went out there and inspected 15 it before it was poured; right? 16 A. Negative. 17 Q. Let's look at Exhibit 98. 18 A. I inspected the pour. 19 Q. When you say you inspected the pour, what do 20 you mean? 21 A. I inspected prior to them pouring. 22 Q. Well, you inspected it during the pour, 23 didn't you? 24 A. No. I didn't come out there until after they 25 were done pouring. TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 174 1 Q. And then you saw everything that was out 2 there? 3 A. Uh-huh. 4 Q. And you saw where the forms were, and you 5 didn't see any problems with the way the forms were 6 set? 7 A. It looked good at that point. 8 Q. Okay. And did the structural engineer also 9 go out there? 10 A. Yes. 11 Q. And in fact, he provided a report, didn't he? 12 A. Yes, sir. 13 Q. And he didn't come up with any problems 14 with -- 15 A. No. 16 Q. -- the foundation, and he approved it? 17 A. Right. 18 Q. Okay. I want to switch just for a second 19 just because I'm -- I'm trying not to overlap what Mr. 20 Robertson went over with you -- or Mr. Brown went over 21 with you about Robertson. But I want to talk about 22 Robertson for just a second. Who did you tell at SBS 23 to terminate Jerrod Robertson from this project? 24 A. I told Jack Green and I told Kyle. 25 Q. Kyle Kieke? TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 175 1 A. Yeah. 2 Q. Do you know which one of them actually 3 terminated -- 4 A. No. 5 Q. -- Mr. Robertson? 6 A. They never gave me a report. 7 Q. If you would, let's look at Exhibit Number 8 25 -- I'm sorry, not 25. That is it. I'm sorry. 9 A. Okay. 10 Q. Okay. Let's start down at the bottom where 11 there's actually a communication from Jerrod Robertson 12 to Jack Green at SBS. "Jack, please advise on payment 13 status for payout number 2 in the amount of 16,628 for 14 the hangar. Late lien notices will be sent either 15 tomorrow -- today or tomorrow by ourself and our 16 vendors if payment hasn't been received. I'm trying 17 to avoid this if possible. Please advise." You were 18 sent a copy of this e-mail; right? 19 A. I don't see that I'm copied on there. 20 Q. Look at the top. Jack Green forwarded it to 21 you with his comment. 22 A. Yes. 23 Q. Jack Green forwarded to you and says, "Tom, 24 see below. Please advise on how you would like me to 25 handle this type of situation. I'm sure other TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 176 1 vendor/suppliers will be sending in notices as well." 2 Correct? 3 A. Correct. 4 Q. And at this point in time, the last payment 5 was in early October, three months before; right? 6 A. I don't remember. 7 Q. Do you remember anything to the contrary? 8 A. No. 9 Q. Okay. And then your response is on the next 10 page to Jack's e-mail, Number 26. From you back to 11 Jack Green. "Give me a call to talk about the 12 electrician. I'm going into a meeting now and should 13 be out by 4:45. We want to make change." 14 A. Yes. 15 Q. So, you have an e-mail from -- 16 THE WITNESS: Can I use the restroom? 17 THE COURT: Let's take a five-minute 18 recess. Okay. 19 THE WITNESS: I'm sorry. 20 THE COURT: Yes, sir. That's fine. 21 (Recess taken.) 22 THE COURT: Go ahead, Mr. Clark. 23 Q. (BY MR. CLARK) Just to finish up on 24 Robertson right quick. That letter that we looked at 25 from February 28th from Mr. Grable to talk about the TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 177 1 building being out of plumb; I didn't notice any 2 reference to any problems with electrical in there. 3 Did you? 4 A. No. 5 Q. In the correspondence that Mr. Grable sends 6 on March 15th, I don't -- and we'll get to that one in 7 a little while, but there's no reference to electrical 8 in there either, is there? 9 A. No. 10 Q. Are you aware of any communication that was 11 sent to Jerrod Robertson before Mr. Robertson filed 12 suit where there's a complaint made about any work 13 with his electricity? 14 A. No. 15 Q. Was there an inventory done of Mr. 16 Robertson's stuff? 17 A. Yes. 18 Q. Who did the inventory? 19 A. Electricians. 20 Q. What happened to the inventory? 21 A. Most of it we couldn't use. 22 Q. No, no. What happened to the list; the 23 inventory list? 24 A. Oh, I don't know. I seem to remember seeing 25 something to that effect. In the last -- in the last TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 178 1 bit of correspondence reviewing this, there was a -- 2 Q. Robertson's stuff or in Tri-Bar's stuff? 3 A. Tri-Bar's. 4 Q. Okay. Do you know if -- have you ever seen a 5 schedule of values against what was on the inventory? 6 A. Yes. 7 Q. Has that -- do you know if that's been 8 produced in this case? 9 A. It was my understanding it had. 10 Q. Okay. All right. Now I want to talk about 11 the door; the hangar door. And for this, I think 12 we'll just have to kind of give a concept that the -- 13 just correct me if I'm wrong when I get into this. 14 The hangar front door has pockets that sit off to the 15 side; wings, if you will? 16 A. Yes, sir. 17 Q. And the doors retract into those walls? 18 A. Yes. 19 Q. Is that a fair description of it? 20 A. Yes. 21 Q. And there was a problem that eventually 22 manifested itself in November where it was -- somebody 23 discovered that the foundation, as poured, was going 24 to accommodate a 75-foot door. The structural 25 building that Mr. Grable designed was for an 80-foot TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 179 1 door. Do you recall that? 2 A. Yes. 3 Q. It was a big issue, wasn't it? 4 A. Big. 5 Q. Did you delve into how it happened? 6 A. Yes. 7 Q. Okay. In Exhibit 30, do you see where it 8 says in red -- or it's a red stamp, but it's, 9 "Architect to verify dimensions." 10 A. I can see that. Yes. 11 Q. You see this on there? So, again, this is 12 going to be Victor de Anda, the structural engineer; 13 right? 14 A. Right. 15 Q. And that's his comment back to the architect 16 to verify dimensions. The original date was 7/20 of 17 '12; right? 18 A. Yes. 19 Q. And these are the structural plans; right? 20 A. Can I see them, please? 21 Q. Sure. 22 A. When you said those are structural plans, 23 those are actually shop drawings from the 24 pre-engineered metal building manufacturer. They're 25 not structurals. TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 180 1 Q. Okay. But these are the shop drawings that 2 Schulte was going to be working off of; right? 3 A. Yes. 4 Q. And the dimensions that they're referring to 5 are all on this page 3; right? 6 A. Right. 7 Q. The door dimensions. Those were the ones 8 that were in question. And they were -- they were 9 bubbled and highlighted on the copy and they said, 10 verify these dimensions; right? 11 A. Correct. 12 Q. Do you know if Mr. Grable -- Mr. Grable is 13 the architect; right? 14 A. Yes, sir. 15 Q. Do you know if Mr. Grable ever went out and 16 verified -- ever verified the dimensions? 17 A. I don't know if he verified those dimensions 18 on those shop drawings. 19 Q. Do you know if Mr. Grable ever got back with 20 the structural engineer, Synergy, to say, I've 21 designed a building that's bigger; you need to go back 22 and redo the foundation drawing so it's bigger? 23 A. I don't know if he did or not. 24 Q. I thought you investigated this issue. 25 A. I did, but -- TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 181 1 Q. Did you ever see a foundation that was 2 different than the one that was poured? 3 A. No. 4 Q. No structural engineered foundation? 5 A. No. 6 Q. Okay. So, SBS poured the foundation that the 7 structural engineer designed and specced; right? 8 A. I -- I believe that's correct. 9 Q. Every report that I've seen says if you go 10 out there with a tape measure and you lay it out, that 11 you're going to find that SBS poured it exactly the 12 way that the engineer drew it. Correct? 13 A. Correct. 14 Q. The problem is, is that what Mr. Grable 15 specced didn't fit on that slab. 16 A. No. I think it's more complicated than that. 17 Q. But that is an issue is that these dimensions 18 for the doors were off; right? 19 A. It was always supposed to be an 80-foot 20 opening. Who had the dimension wrong, I don't know. 21 But from the very first day that we talked with Rod 22 and SBS, that hangar door -- Rod brought the -- the 23 problem -- he goes, "Well, where did you -- what is 24 the opening on this -- this hangar?" And he said, 25 "Oh, it's 70" -- whatever feet it is. He goes, TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 182 1 "That's not big enough. We need to enlarge this 2 building for an 80-foot door." That was before we 3 even broke ground. 4 Q. Okay. But isn't it also true that the issue 5 between -- the conflict between the one and the other 6 didn't come up until late November, early December? 7 A. Actually, we never found out that there was 8 not -- that that door wasn't going to be big enough. 9 It wasn't until we -- that Rod and I and a few other 10 people were out there, we said, "Open up the doors. 11 How -- what's the opening?" And the opening turned 12 out to be 76 feet and 5 inches. 13 Q. Okay. If you would, turn to Exhibit 57 for 14 me. 15 A. (Witness complying.) 16 Q. That meeting that you're referring to would 17 have taken place on November 28th? 18 A. Yes. Probably. 19 Q. And that's referenced in the -- 20 A. Actually, this says December 3rd. 21 Q. Look in the -- see where it says "attachment" 22 below "subject"? 23 A. Yes. 24 Q. And it says, "Attachment, Los Cerritos site 25 visit 11/28/12 PDF? TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 183 1 A. Uh-huh. 2 Q. So, that's when the site visit was, was 3 November 28th; right? 4 A. Okay. 5 Q. All right. So, go back to that first page. 6 And it's from John Grable. It says, "Attached please 7 find my report for your Uvalde hangar site visit. 8 Please note the smaller hangar door size as originally 9 requested by Don Wilson but reviewed and not 10 identified as a problem by Bo Cardin" -- who is Bo 11 Cardin? 12 A. Well, that should be Bob Cardin. Bob Cardin 13 is one of the people that works for Lewis Energy that 14 handles planes. 15 Q. Is he a pilot? 16 A. Yes. 17 Q. TP; that would be you? 18 A. Right. 19 Q. And JGA; that's John Grable & Associates; 20 correct? 21 A. Correct. 22 Q. "Based on the actual aircraft dimensions." 23 So, apparently, at some point in time, it was supposed 24 to be a smaller door size, wasn't it? 25 A. No. It was supposed to be a larger door. TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 184 1 And what they're referring to is the fact that the 2 door that is there is smaller than was intended. 3 Q. Okay. And he says, "See highlighted in 4 yellow on the attached report." And so, if you flip 5 over to the attached report, the first page of the 6 attached report, Los Cerritos site visit 11/28/12, 7 attending" -- and that's Bob Cardin LEG, for Lewis 8 Energy Group; Tom Pittman, that's you; right? 9 A. Right. 10 Q. And for the Glacier Capital Construction, 11 Jack Green, and Kyle, superintendant at SBS, Victor de 12 Anda, who is the structural engineer; right? 13 A. Right. 14 Q. John Grable and Matt Martinez; right? 15 A. Right. 16 Q. Okay. Now, if you would, turn the page to 17 the second page of that and look under the section 18 called, "Rigid Frame Erection." Do you see that? 19 A. Uh-huh. Yes, sir. 20 Q. And there's a highlighted part -- in some 21 it's highlighted, some of it comes out a little bit 22 fuzzy. Yours is highlighted, isn't it? 23 A. Yes, sir. 24 Q. Okay. And that's the way it was in the 25 original -- the way Mr. Grable had it. And it says, TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 185 1 "When originally designed, former GCC Don Wilson 2 directed that hangar door to open 80 clear. The PEMB 3 has configured the door to open at 75 feet. SBS 4 stated they would provide hangar door pocket 5 extensions of 2 feet 6 inches at each end per the 6 structural -- per Synergy Structural Engineering 7 supplemental drawings. Hangar door was raised from 8 22 feet to 26 feet when the building height was raised 9 4 feet in height to house the newly purchased 2000LXS 10 with a wingspan of 70 feet. 2 and a half feet cleared 11 at each wing end is satisfactory per BC" -- that's Bob 12 Cardin -- "and sees no need to change 75-foot wide 13 opening to 80 feet." Did I read that correctly? 14 A. Yes, sir. Can I ask you, what is SSEI 15 supplemental drawing? 16 Q. This is SSEI, but I don't have a supplemental 17 drawing. 18 A. Well, SSEI stands for what? 19 Q. That's the -- the Synergy Structure 20 Engineering Incorporated. 21 A. Oh, okay. 22 Q. That's -- 23 A. I'm sorry. 24 Q. That's okay. And then the very last 25 paragraph down there is not highlighted and it says, TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 186 1 "The hangar will not accommodate the Falcon 7X, as the 2 wingspan is above 83 feet in length and the tail is 3 26'1. The hangar door as roughed-in is 75 and 26 feet 4 tall. So, adjusting the functional width dimension 5 serves no function." Did I read that correctly? 6 A. Yes. 7 Q. Okay. And this was sent to Mr. Lewis on 8 December 3rd; correct? 9 A. Correct. 10 Q. And you were copied on that as well, weren't 11 you? 12 A. Yes. 13 Q. And the way I'm reading that, it says leave 14 it at 75 feet. Am I reading it wrong? 15 A. Well, no. I don't think you're reading that 16 particular thing wrong. But the bottom line is that 17 Rod Lewis wanted an 80 foot opening. He's parking a 18 $40 million plane in there. And we didn't want to be 19 compromised by a few inches on either side of the 20 wings. 21 Q. Okay. A month and a half later, 22 January 23rd, the issue of the 80-foot door came up 23 again. This is seven weeks later. For seven weeks 24 the door has sat there in construction being built at 25 75 feet; correct? TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 187 1 A. No. It wasn't until weeks after that we 2 found out that it wasn't 80 feet. 3 Q. That just says it was at 75 feet on 4 December 3rd. 5 A. No. Okay. It's not saying that it's 75 -- 6 let me read this again because -- yeah, it says that 7 the change should be from 75-foot wide opening to 8 80-foot. It's the last sentence in that paragraph. 9 Q. No. It says -- it says that the wing span is 10 satisfactory per BC and sees no need to change 75 wide 11 opening to 80 feet. 12 A. Well, that's right. Bob Cardin said, well, 13 you know what, let's make -- let's just go ahead and 14 keep it at 75 feet. 15 Q. Right. And that's what I said. 16 A. But Rod Lewis didn't say that. Rod Lewis 17 wanted his 80-foot opening. 18 Q. Were you the owner's rep out there? 19 A. At that time. 20 Q. Did you agree with this? 21 A. No. 22 Q. Did you -- 23 A. In fact, there's another e-mail out there 24 that I sent to Rod where it says that we're going to 25 make it 80-foot. They agreed to make it 80-foot. And TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 188 1 we'll make the modifications necessary. 2 Q. The next day? 3 A. No. 4 Q. The next week? 5 A. I don't know. But I know it's out there. 6 Q. All right. Let's get to it. That would be 7 Exhibit 59. So, the first e-mail was December 3rd 8 that you got that said, we're leaving it at 75 feet. 9 A. Right. 10 Q. This is January 23rd, eight weeks later; 11 eight weeks of construction later. And your e-mail is 12 down at the bottom, and it says, "After further review 13 on the hangar door, I have found the following: On 14 December 3rd a site report was prepared -- a site 15 report by JGA highlighted the fact that the opening 16 was 75 feet when the original intent was to have an 17 80-foot opening." Okay. How come you didn't mention 18 in there that the pilot said there's no need to move 19 the thing back out to 80 feet? 20 A. Because Rod Lewis didn't -- I mean, Bob 21 Cardin didn't buy that $40 million plane. Rod Lewis 22 bought it. 23 Q. Why didn't you feel it necessary to inform 24 Mr. Lewis -- 25 A. We gave -- we exhausted every option to keep TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 189 1 that door at 76 feet. 2 Q. These are the only two e-mails I got. They 3 were eight weeks apart. One of them says keep it at 4 75 feet and the other one says -- 5 A. We went through almost a month of trying to 6 say, can we justify this; can we justify this. 7 Q. This is your report to Mr. Lewis; right? 8 A. Correct. 9 Q. January 23rd. And you neglect to mention 10 what the pilot said about the 75-foot opening; right? 11 A. No. He -- he knew what Bob Cardin said about 12 that. He told me. 13 Q. You were there? 14 A. Yeah -- well, I know it because Rod talked to 15 me about it. And he goes, "I want my 80 feet." And 16 we went through every option and the bottom line 17 was -- 18 Q. So, Rod knew it was 75 feet on December 3rd 19 and he waited until January 23rd before he told you he 20 wanted 80 feet? 21 A. I -- I don't know what -- 22 Q. That's his -- 23 A. -- I don't know what the actual dates are. 24 But you know, we exhausted every -- every option to 25 try to justify keeping it at a 76-foot 2-inch opening TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 190 1 versus an 80-foot. 2 Q. Well, just the -- part of what you've been 3 talking about is there were just delays and delays and 4 delays. Well, this is one where the door is done 5 December 3rd and you wait -- the owner waited eight 6 weeks before they said, no, I don't want 75; go back 7 and redo the whole thing and change it to 80. 8 A. I don't -- 9 Q. That could have been much sooner, couldn't 10 it? 11 A. Yes, it could have been. 12 Q. Now, in this particular e-mail, you then go 13 back and say, "SBS said they could modify to give us 14 the 80-foot opening." Right? 15 A. Right. 16 Q. And then you -- the last sentence says, 17 "Regardless, you were told you would have an 80-foot 18 opening and you will." Okay. Now, SBS actually did 19 agree to put in that 80-foot opening, didn't they? 20 A. I believe they did. 21 Q. All right. If you want to look at Exhibit 22 60. 23 A. (Witness complying.) 24 Q. That's actually where Kyle Kieke pitches the 25 proposal to say, we're going to pour two slabs that TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 191 1 extend further out into those door pockets for the 2 door track extensions; right? 3 A. Uh-huh. 4 Q. Install two additional heavy steel columns 5 for the end walls. And it goes through and describes 6 how they're going to take off the roof at that point, 7 the 13 sheet panels that cover that little wing wall 8 area, and redo those door panels; right? 9 A. Right. 10 Q. Okay. So, this was -- SBS poured the 11 foundation it was supposed to pour. 12 A. You think that? 13 Q. Yeah. And Synergy poured the foundation that 14 Synergy drew. Schulte made the building that Grable 15 told them to build manufactured out of metal. Right? 16 A. Right. 17 Q. The two didn't match; right? 18 A. Oh, how did they not match? 19 Q. The doors didn't match. 20 A. What was wrong with the doors? 21 Q. The door openings didn't match. One was 22 75 feet and one was laid out for 80. 23 A. I'm -- now I don't understand you. What was 24 -- so, you're telling me that the building was 25 fabricated with 80-foot doors? TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 192 1 Q. The building was fabricated with 75-foot 2 doors. The foundation -- no -- yeah, the other way 3 around. 4 A. Yeah. The building was fabricated with 5 80-foot doors. So, when the building was delivered, 6 SBS cut the structure down and made those 80-foot 7 doors 75-foot doors. Isn't that correct? 8 Q. Yes. 9 A. Okay. 10 Q. Right. 11 A. But they didn't -- 12 Q. But Schulte built what they were told to 13 build; right? 14 A. And SBS modified on-site to accommodate a 15 different building -- 16 Q. To accommodate -- 17 A. -- without even telling us. Without telling 18 us. We found that after the fact. 19 Q. And in any case, you -- SBS agreed to fix 20 that, didn't they? 21 A. Yes. 22 Q. Okay. And if you would, turn the page to 23 Exhibit 61. From January 30th, this is from John 24 Grable, but it references you. It says, "Tom Pittman 25 and I had a conference call with Kyle regarding the TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 193 1 steps required to make right the original spec for an 2 80-foot wide door." And then below in the next 3 paragraph it says, "This will not result in any 4 additional cost to you. SBS will pay for this out of 5 their own pocket since this was the original 6 specification." Did I read that correctly? 7 A. Yes. 8 Q. Okay. So, at this point in time, you've 9 identified a problem. Whose fault it was is, I guess, 10 debatable. But SBS is saying, not only will we fix 11 it, but we'll pay for it; correct? 12 A. Yes. 13 Q. They never got the chance to do that, did 14 they? 15 A. No. 16 Q. In fact, they -- the next paragraph, it says, 17 "Kyle Kieke stated he estimates it will take three 18 weeks to complete these adjustments, but is waiting 19 for metal building supplier to confirm delivery of the 20 additional steel columns that are located at the back 21 interior of the hangar pocket doors." Those steel 22 columns were delivered on Friday after the 23 termination; correct? 24 A. Oh, I don't remember that. 25 Q. Okay. You don't remember that coming up in TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 194 1 your meeting? 2 A. No. But I'm sure if you have it, it's there. 3 Q. It's in the meeting notes. 4 A. Okay. 5 Q. Jack says, "The steel" -- you asked about 6 when the steel columns will be there, and he says, 7 "The steel columns for the door will be here on 8 Friday." 9 A. Okay. 10 Q. We don't have to go back and look at it. 11 That's what it says; right? 12 A. Okay. I believe you. 13 Q. Okay. But they never got a chance to install 14 those, did they? 15 A. No. 16 Q. Okay. So, let's talk about Schulte for a 17 second. After the termination, we saw where there was 18 communications with Erick Key of Schulte about the 19 tolerances for the building; right? 20 A. Okay. 21 Q. And there was also a complete redo of the 22 interior mezzanine structure on the inside of the 23 building; right? 24 A. All of the interior framing was redone. 25 Q. Okay. And you asked Schulte to bid that, TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 195 1 didn't you? 2 A. No. 3 Q. What did you ask Schulte to bid? 4 A. We asked for pricing on additional members 5 that we were going to need. 6 Q. And it was, what, about $8500.00 worth of 7 stuff? 8 A. I don't remember. 9 Q. Okay. And then you knew that Schulte had 10 supplied these big columns as well that were going to 11 go towards this repair of the doors; right? 12 A. Right. 13 Q. And you knew Schulte hadn't been paid for 14 those because they were just now being delivered; 15 right? 16 A. I'm assuming. Yeah. 17 Q. Okay. And so, when you asked Schulte to bid 18 those, did Erick Key send you back a proposal? 19 A. I don't know. Did he? 20 Q. Exhibit 93, if you look at it. 21 A. (Witness complying.) 22 Q. Okay. It says that, "Attached is the 23 proposal for the replacement material for the hangar 24 in Uvalde. Please have the erector verify quantities 25 and materials. He says he can have this material TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 196 1 delivered the week of the 22nd," which this is in 2 April. "To be able to do this, we have to get all the 3 outstanding balances that are owed to Schulte Building 4 Systems for this job paid for. We need to get this 5 resolved before any fabrication can take place." Did 6 I read that correctly? 7 A. Correct. 8 Q. And what was your response to Mr. Key at 9 Schulte Building Systems? Did you get him paid? 10 A. I don't remember what my response is. 11 Q. You never got him paid, did you? 12 A. No, I don't think so. 13 Q. Instead, you ordered the material from 14 somebody else; right? 15 A. I probably did. 16 Q. Did you ever tell Mr. Key that you weren't 17 going to use his services and why? 18 A. No. 19 Q. Now, you mentioned that there was this 20 material that was out there. Do you know what 21 happened to it? 22 A. Yeah. The material that was originally 23 delivered was -- was cut down in the field to modify 24 the dimension that wasn't right. But we weren't 25 told -- TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 197 1 Q. What happened to it? 2 A. I don't know. The -- once you take a rafter 3 and cut it, it's not much good to anybody. 4 Q. What about the -- the stuff that Schulte had 5 sent that hadn't been used yet? 6 A. I don't know. 7 Q. Okay. If you would, turn the page to 8 Exhibit 94. 9 A. (Witness complying.) 10 Q. April 15th, this is right after Erick Key 11 says, yeah, we've got part of our order, but we're not 12 -- in fact, there's the orders down there at the 13 bottom of Exhibit 94. It's orders 79497 through 14 80608. But the e-mail at the top is from Daniel 15 Boddie to you and it says, "We are probably going to 16 use 80323 since it is already on-site. But we still 17 lack the final pieces for doors. The other stuff is 18 all laying in a giant pile of metal next to the 19 hangar. Rod instructed Lingo to put it somewhere safe 20 on the ranch to use at some point in the future." 21 Does that refresh your recollection about what 22 happened to all that -- 23 A. It was -- it was -- most of it was scrap. 24 Q. Then why would Rod instruct that it be put 25 somewhere safe on the ranch so that it could be used TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 198 1 at some point in the future? 2 A. Because Rod saves everything. I mean, from 3 leftover rock to -- 4 Q. And he didn't -- and he didn't pay for it, 5 did he? 6 A. I don't know if he did or not. 7 Q. You know that Schulte didn't get paid. 8 A. Well, then -- 9 Q. Did they? 10 A. No -- I don't know. Did SBS pay them? 11 Q. Do you know if anybody got paid for the 12 materials that Schulte left? 13 A. I don't -- I'm assuming not. 14 Q. Did you or anybody that you know of reject 15 any of the material that was delivered? 16 A. No. 17 Q. Was any of it sent back -- 18 A. No. 19 Q. -- to the person that supplied it? 20 A. No. 21 Q. The inventory that Mr. Robertson had dropped 22 off, did you send it back? 23 A. No. 24 Q. And apparently, it was kept by Mr. Lewis. 25 MR. CLARK: Your Honor, at this time I'll TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 199 1 pass the witness. 2 THE COURT: Mr. Slates? 3 MR. SLATES: Your Honor, would this be an 4 opportune point for a quick break, or should I go 5 ahead? 6 THE COURT: How long -- okay. We'll take 7 a 15-minute break now. Okay. Then we'll work until 8 5:00 after that. You can step down, Mr. Pittman. 9 THE WITNESS: Yes, sir. 10 THE COURT: Almost through. 11 (Recess taken.) 12 THE COURT: Y'all have a seat. Go ahead, 13 Mr. Slates. 14 MR. SLATES: Thank you, Your Honor. 15 CROSS-EXAMINATION 16 BY MR. SLATES: 17 Q. I don't know if you still have your exhibit 18 book open to SBS 94. It's the document you were 19 looking at with Mr. Clark right before we broke. 20 A. Yes, sir. 21 Q. What does your e-mail to Mr. Boddie say on 22 April 15th, 2013, the second e-mail in the sequence 23 from the top? 24 A. I asked him, "Do we need any of this?" And 25 then I said, "It's out of spec anyway." TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 200 1 Q. What does that mean, it's out of spec anyway? 2 A. That there was no way to reuse any of it. It 3 had been cut; it had been compromised. 4 Q. Okay. I just wanted to cover that while we 5 were on the topic. I want to change topics now, 6 actually, and go back to the questions that were 7 presented to you this morning from Mr. Brown about the 8 circumstances surrounding your decision that you 9 needed to make a change in the electrical 10 subcontractor. Okay? 11 A. Okay. 12 Q. Mr. Brown asked a number of questions about 13 whether or not you ever communicated with Robertson, 14 either with Jerrod Robertson or anyone else. Do you 15 recall those questions? 16 A. Yes, sir. 17 Q. Is it appropriate in your experience for an 18 owner to have direct communications with a 19 subcontractor? 20 A. No. 21 Q. Who should your communications be with? 22 A. The general contractor. 23 Q. Do you know whether the contract between you 24 and SBS actually requires that? 25 A. Yes. TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 201 1 Q. Let's take a look at it. If you look at 2 Robertson's Exhibit Number 17, I want to direct your 3 attention to section 4.2.4, which is on page 18. 4 A. 17? 5 Q. 18. "Communications facilitating contract 6 administration." 7 A. Okay. 8 Q. You can see it on the TV there. 9 A. Yes. 10 Q. Take a moment to read that and just tell me 11 if this is a provision that, in fact, requires you 12 contractually to communicate with SBS and not 13 Robertson, as you understand it. 14 A. (Witness complying.) 15 Q. If I could expedite things along, I'm focused 16 on the last sentence of that paragraph. 17 A. Communication by and with separate 18 contractors shall be through the owner. 19 Q. "Shall be through the contractor"; correct? 20 "Communications by and with subcontractors and 21 material suppliers shall be through the contractor." 22 A. Yes, sir. I'm sorry. 23 Q. So, in your mind, were you complying with the 24 contract by communicating with SBS rather than 25 Robertson specifically? TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 202 1 A. Yes, sir. 2 Q. Did you convey concerns about Robertson's 3 manpower on the job to SBS? 4 A. Many times. 5 Q. Do you know whether they passed those along 6 to Robertson or not? 7 A. No. 8 Q. If they didn't, would that have been a 9 failure on their part in your mind? 10 A. Yes. 11 Q. In your experience in the industry, do 12 general contractors not like it when you communicate 13 directly with their subcontractors? 14 A. Yes, they do not. 15 Q. When you've been in that role of the general 16 contractor, how would you react if an owner 17 communicated directly with your subs? 18 A. Negatively. 19 Q. I want to look at specifically manpower on 20 this job for Robertson based on the daily reports 21 Robertson introduced into the record in this case. If 22 you'll turn with me to 19 of Robertson's exhibits. 23 That's the thinner set. 24 A. (Witness complying.) 25 Q. Are you with me? TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 203 1 A. Yes, sir. 2 Q. Okay. I want you to tell me if my notes are 3 correct. 19-A is 12/18; is that correct? 4 A. Yes, sir. 5 Q. Zero people on site; correct? 6 A. Correct. 7 Q. 19-B is 12/19, two people on-site; correct? 8 A. Correct. 9 Q. 19-C is 12/20, two people on-site; correct? 10 A. Correct. 11 Q. "D" is 1/2, one person on-site; correct? 12 A. Correct. 13 Q. "E" is 1/3, one person on-site; is that 14 correct? 15 A. Yes, sir. 16 Q. "F," 1/4, one person on-site; correct? 17 A. Correct. 18 Q. "G," 1/7, one person on-site? 19 A. Yes, sir. 20 Q. "H," 1/8, one person on site; correct? 21 A. Correct. 22 Q. "I," 1/15, zero for Robertson; correct? 23 A. Correct. 24 Q. "J," 1/21, zero for Robertson; correct? 25 A. Correct. TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 204 1 Q. "K," 1/22, zero for Robertson; correct? 2 A. Correct. 3 Q. And "L," 1/23, the day they were terminated, 4 zero for Robertson; correct? 5 A. Correct. 6 Q. Does that look like the appropriate staffing 7 given the scope of the electrical work on this project 8 based on your experience in the construction industry? 9 A. No. 10 MR. CLARK: Your Honor, I'm going to 11 object to -- he's not been designated to testify as an 12 expert. 13 THE COURT: Overruled. 14 Q. (BY MR. SLATES) Were you personally 15 satisfied as the owner's representative on this 16 project with that level of manpower for this project? 17 A. No. 18 Q. Let's talk about the bids that you got from 19 Robertson and from C&S. Take a moment to look back at 20 Tri-Bar 25, which is in the big black binder. Do you 21 recall looking at that with Mr. Clark this morning? 22 A. 25? 23 Q. Yes, sir. 24 A. Yes. 25 Q. It's the inquiry about potential notice of a TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 205 1 lien -- now, is that a lien or is that a notice of a 2 lien? 3 A. That's a notice for an intent to file. 4 Q. Does that happen pretty regularly on a 5 construction job, in your experience? 6 A. Yes. 7 Q. The implication was made -- or let me ask 8 you, did you feel like the implication was being made 9 that there was some correlation between you getting 10 this notification that there might be a lien notice 11 and your e-mail, which is SBS Exhibit 26, in which you 12 say you want to make a change? 13 A. Yes. 14 Q. Do you recall that? 15 A. Yes, sir. 16 Q. All right. I wanted -- let's look at the 17 timing here, if we can. Exhibit Number 25 is an 18 e-mail dated Monday, January 14th at 1:28 p.m.; 19 correct? 20 A. Correct. 21 Q. And the next one, Exhibit 26 of SBS, is an 22 e-mail dated 3:52 p.m. 23 A. Yes. 24 Q. Do you remember what happened in between 25 those two time frames? Let me help you out. Let's TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 206 1 look at Tri-Bar Exhibit Number 44. Are you in the -- 2 should be the white book. 3 A. Okay. 4 Q. And can you see on the TV? 5 A. Oh, yes. 6 Q. Same day; right? 7 A. Yes, sir. 8 Q. January 14th at 2:39 p.m. in between those 9 two e-mails; correct? 10 A. Correct. 11 Q. What did you get from C&S at 2:39 p.m.? 12 A. I got a price for the scope of work for the 13 change order. 14 Q. And you had already received, we saw this 15 morning in Robertson's Exhibit 4-A, a bid for 16 $60,000.00 roughly; correct? 17 A. Correct. 18 Q. Let's get some timing down here as well. I 19 believe, if I remember correctly, Exhibit 4-A, you got 20 the initial number in December -- I want to say it was 21 the 14th, perhaps; let's double-check; yes -- 22 December 14th, you get the 60,000; right? 23 A. Correct. 24 Q. And then 4-B was the revised number of 25 56,000. That was January 8th. Do you recall that? TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 207 1 A. Yes, sir. 2 Q. Then you get a bid from C&S that's 3 $21,119.00? 4 A. Yes, sir. 5 Q. So, as of January 14th, you have two bids 6 from Robertson; one for 60, one for 56, and one bid 7 from C&S for 21,000. Is that the state of events at 8 that time? 9 A. Yes, sir. Yes, sir. 10 Q. So, you got a bid from Robertson roughly 11 three times -- at least two and a half times, even 12 after revised -- the bid you got from C&S. Did it 13 seem to you like Robertson's bid was the right bid to 14 go with, if you're reporting the best interest of the 15 owner? 16 A. Absolutely not. 17 Q. And just to go back -- we talked about this 18 this morning. The $72,000.00 number, what does that 19 represent? I think you said it was the base contract 20 work; is that right? 21 A. Yeah. Actually, this is base contract with 22 the change order. 23 Q. Well -- 24 A. No. Pardon me. It doesn't have the change 25 order. This is just the base contract amount that -- TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 208 1 from the original set of documents. 2 Q. All right. Just so we're all together and 3 I'm not confused, I think the base is the 26,000 in 4 labor, the 46,000 in material. That gets you to 72; 5 right? 6 A. Correct. 7 Q. And then the 21 is a separate number? 8 A. Is an add. Yeah. 9 Q. So, we talked about apples and oranges this 10 morning. If we're going to compare apples to apples, 11 the apples are this. Robertson's base contract was 12 $128,000.00; right? 13 A. Right. 14 MR. BROWN: Your Honor, I'm going to 15 object at this point. I've given him a little leeway, 16 but he's clearly leading his witness at this time. 17 THE COURT: Don't lead your witness, 18 Counsel. 19 MR. SLATES: Fair enough. 20 Q. (BY MR. SLATES) What was the amount of 21 Robertson's subcontract; do you recall? 22 A. It was 120 and change. 23 Q. And how does that compare to the -- 24 A. Significant -- significantly higher than the 25 76,000 that we got from C&S. TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 209 1 Q. And to compare the other apple to the apple, 2 what was the amount of the change order? 3 A. The change order was -- from Robertson 4 initially was over -- a little over 60,000. We asked 5 for them to go back because I felt it was extremely 6 too high for the amount of work they were doing. But 7 keep in mind, that was almost half of their contract 8 amount for a bit of changes. And then -- then they 9 came back with another number, and I still didn't feel 10 good about it. And that's when I asked C&S, price the 11 original contract and price the change order. 12 Q. And let me ask you a general question. Is it 13 important for you, as the owner's representative, to 14 try to manage the cost on a project? 15 A. Yes, sir. 16 Q. Did you develop some understanding, based on 17 your dealings with Rod Lewis, as to whether or not he 18 expected that of you? 19 A. Yes, sir, he did. 20 Q. Did you want to try to minimize the cost of 21 the project to the extent that it wouldn't compromise 22 quality? 23 A. Without a doubt. 24 Q. Had you worked with C&S before? 25 A. Many years; over 20. TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 210 1 Q. Had you found them to be a quality contractor 2 -- electrical contractor? 3 A. They are. 4 Q. And had you had a positive or negative 5 experience with Robertson at that point? 6 A. Very negative. 7 Q. Because of the manpower issues or because of 8 other issues? 9 A. No. The -- the initial issue that I had with 10 them was they didn't man the job properly. There was 11 -- they were never there with enough staff to get 12 things done. 13 Q. All right. Did you believe that you had the 14 right, under your contract with SBS, to require them 15 to make a change in the electrical subcontractor? 16 A. I did. 17 Q. Have you worked with the AIA form contracts 18 before? 19 A. Many years. 20 Q. I want to take a look at another provision. 21 We looked at 4.2.4 earlier. Let's go back to Robinson 22 -- Robertson 17. Have you got it? 23 A. Yes, sir. 24 Q. I want to direct your attention to paragraph 25 5.3 of that document, which is on page 19. TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 211 1 A. Yes, sir. 2 Q. It says, "By appropriate agreement, written 3 where legally required for validity, the contractor 4 shall require each subcontractor to the extent of the 5 work to be performed by the subcontractor to be bound 6 to the contractor by terms of the contract documents 7 and to assume toward the contractor all the 8 obligations and responsibilities including the 9 responsibility for safety of the subcontractor's work 10 which the contractor, by these documents, assumes 11 towards the owner and architect." 12 Is it your understanding, based on your 13 experience, that that provision flows down, so to 14 speak, the obligations of the general conditions to 15 the subcontractor; or at least requires the general 16 contractor to include the provision that accomplishes 17 that? 18 A. Yes. 19 Q. Okay. And was it your understanding that SBS 20 had complied with that provision? 21 A. Yes, it was. 22 Q. Did you have any reason to believe they had 23 not? 24 A. No. 25 Q. Are the -- and just to be clear, if we look TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 212 1 at section 1.1.1 of the general conditions, the 2 contract documents definition; does it include the AIA 3 general conditions? Look here. 4 A. Yes. The general and supplemented. 5 Q. I think you said earlier you haven't seen the 6 SBS subcontract before. Do I recall your testimony 7 correctly? 8 A. Yes, sir. 9 Q. Okay. I'll wait to ask Mr. Robertson about 10 that. Given these provisions, did you believe that 11 you had the legal right to require SBS to make a 12 change in the electrical subcontracting? 13 MR. BROWN: I'm going to object at least 14 as to the legal conclusion. I'll object on that 15 basis. I don't think he has -- 16 THE COURT: As the general on the 17 project, did he believe he had a right under the 18 contract to terminate? 19 THE WITNESS: Yes. 20 THE COURT: Okay. 21 Q. (BY MR. SLATES) And did you believe that by 22 asking SBS to do so, you were putting SBS in a 23 position where they would be in breach of their 24 subcontract with Robertson? 25 A. Yes. TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 213 1 Q. Let me ask you the question again. It might 2 not have been clear. The question is that -- 3 MR. BROWN: No, it was clear. 4 Q. (BY MR. SLATES) The question is this. Did 5 you believe that asking SBS to make a change from 6 Robertson would mean that SBS would be in breach of 7 its subcontract with Robertson? 8 A. Oh, no. No. Not a breach. 9 Q. Did -- when you went to SBS and asked them to 10 make a change, did they say, well, wait a minute, we 11 can't do that? 12 A. No. They had no objection whatsoever. 13 Q. Did they tell you that it was going to be a 14 breach of their subcontract to do that? 15 A. No, they did not. 16 Q. Did you have any basis to believe that asking 17 them to make a change, given the lack of manpower and 18 the gross difference between pricing for the work, was 19 in any way inappropriate? 20 A. I didn't think it was inappropriate at all. 21 Q. Did you have any malice towards Robertson or 22 was it just a matter of getting the project built? 23 A. I -- I don't know Robertson. 24 Q. Did you have -- setting aside the contract 25 for a moment, let's ignore what your rights legally TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 214 1 may have been. Did you at least have a good faith 2 belief that you had the right to ask SBS to make a 3 change in the electrical subcontractor? 4 A. Yes, I did. 5 Q. All right. I want to change gears now and 6 talk about schedule issues on the project in general. 7 If we can go to Robertson Exhibit Number 15. I want 8 to direct your attention to section 4.3, which is on 9 page 3. The contract we -- just to give some context 10 here, look at the first page. It was dated the 17th 11 of May 2012; correct? I'm looking at the top of the 12 first page. 13 A. Yeah. Yes, sir. 14 Q. If we look in 4.3, what does it say is the 15 scheduled final completion date? 16 A. 7th of December 2012. 17 Q. Did that schedule get met? 18 A. No. 19 Q. Let's look at Tri-Bar Exhibit Number 33. 20 That's in the bigger binder. What is that? Okay. 21 This is a schedule for the project; correct? 22 A. Yes, sir. 23 Q. And if we looked at line item number 14, what 24 is that line item? 25 A. Detail, fabricate, and deliver steel. TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 215 1 Q. And can we see what the scheduled delivery 2 date is for that? August 7th, 2012? 3 A. August 7th, 2012. 4 Q. Was the metal building delivered on 5 August 7th, 2012? 6 A. No. 7 Q. Let's go to Tri-Bar Exhibit Number 35. This 8 is a revised schedule for the project. And who do 9 these schedules come from, just to be clear? 10 A. From SBS. 11 Q. Did you make this schedule? 12 A. No. 13 Q. Was it your understanding that when they 14 provided this to you that they were committing to meet 15 this schedule? 16 A. Yes, sir. 17 Q. If you look at line item number 19, it's the 18 same line item. Detail, fabricate, and deliver steel. 19 And what date do we see? 20 A. October 18th. 21 Q. Okay. Did they meet that schedule? 22 A. No. 23 Q. What were they telling you and Mr. Grable, if 24 you were present for those conversations, about their 25 ability to make those delivery dates? TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 216 1 A. Well, originally, they told us when we made 2 the hangar modification that it was not going to 3 impact the schedule. And then as it went, there was 4 always another excuse or another reason why they had 5 to extend that number. And it kept being extended and 6 extended. As you can see, that's a three month -- or 7 two and a half month extension right there. 8 Q. If we look at Tri-Bar Exhibit Number 36, what 9 is -- it looks like you got a copy of this report; is 10 that correct? 11 A. Yes, sir. 12 Q. And that you were present? 13 A. Yes, sir. 14 Q. What was SBS representing at this time, as 15 far as their ability to make those delivery dates, if 16 you look at item number 3? 17 A. They were still on target with the main steel 18 frame delivery on-site October 15th. This matches 19 current updated schedule. Erection will begin the 20 same week of delivery. 21 Q. Let's look at SBS Exhibit Number 63, one of 22 the documents Mr. Clark asked you about this morning, 23 back into the black binder. 24 A. Which number? 25 Q. 63. TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 217 1 A. Yes, sir. 2 Q. All right. I want to call your attention to 3 the third page of that exhibit -- actually, the bottom 4 of the second page, top of the third page. There's an 5 e-mail from Mr. Grable to Mr. Lewis with a copy to 6 you. And he makes reference to, "An effort to 7 ascertain the real schedule of building delivery; not 8 inconsistent and incorrect delivery dates provided by 9 SBS." Do you see that? 10 A. Yes, sir. 11 Q. If you look at the top of the next page -- 12 first at the bottom of that page, he said he made 13 contact with Schulte. And then at the top of the 14 second page, what did he find out from -- from 15 Schulte? Starting with, "Building supplier stated." 16 Can you see that? 17 A. Yeah. It said, "Builder supplier stated 18 overcommitment on their part has exceeded their 19 capacity to provide a timely delivery of the building 20 product. Their response was honest and 21 straightforward, leaving us befuddled by SBS's 22 responses to their specific delivery dates." 23 Q. Let's look at Robertson now; Exhibit Number 24 32. This morning Mr. Brown asked you -- had you focus 25 in on one sentence in this exhibit. It's over on the TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 218 1 third page. 2 A. I'm sorry, John. I can't get this -- 3 Q. It's in -- I think it's in -- I think that's 4 SBS you got. It's going to be this one. 5 A. Okay. 6 THE COURT: It's easier to read off 7 there, Mr. Pittman. 8 THE WITNESS: Oh, yes sir. 9 THE COURT: For me, it is. 10 THE WITNESS: Yeah. Much easier. 11 Q. (BY MR. SLATES) All right. So, I'm on the 12 e-mail -- the 28th e-mail -- here we go. So, do you 13 recall this morning that Mr. Brown asked you to focus 14 in on this sentence that says, "The hangar building is 15 beautiful and fits well with the land"? Do you 16 remember that? 17 A. Yes, sir. 18 Q. You didn't get a chance to read the rest of 19 this e-mail string this morning. But if you take some 20 time to look at it, I think you'll see that everything 21 is not all wonderful in hangar land at this time, is 22 it? 23 A. No, not at all. 24 Q. In that same e-mail, he makes reference to 25 you having stated that, "Under no circumstances will TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 219 1 we allow only two workers on-site. Only full staff is 2 acceptable." 3 A. Correct. 4 Q. Is this consistent with your other testimony 5 about the ongoing problems with manpower and staffing? 6 A. Yes, sir. 7 Q. Were you conveying that to SBS at that time? 8 A. Yes, I was. That's why I followed up. 9 Q. And then even in the following sentence, Mr. 10 Grable says, "Not the way it has progressed thus far 11 with the PEMB building delay." Do you see that? 12 A. Yes. 13 Q. Was that a major issue for you and Mr. 14 Grable? 15 A. Well, yeah. It affected the overall 16 schedule. 17 Q. And was -- 18 A. The critical path was all PEMB. 19 Q. Was Mr. -- was Mr. Lewis happy at the time? 20 A. Not at all. 21 Q. Let's look at the first page of that e-mail. 22 This is from Mr. Lewis on November 25th to Tony. It 23 says he was visiting the project last week and noticed 24 that it is really still in slow motion. Only three 25 guys working on erecting the building and going very TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 220 1 slow. Do you see that? 2 A. Yes, sir. 3 Q. Is that consistent with your understanding of 4 conditions at the time? 5 A. Yes, sir. 6 Q. If you look down at the -- the bottom 7 paragraph, "To me, what I witnessed over a couple of 8 days last week, it's still a shoddy operation. They 9 did not have the proper lifting equipment or cranes to 10 make the job go smoothly and they were basically 11 shimming the metal runners foot by foot along the 12 trusses to place them, wasting a lot of time." Is 13 that also consistent with what you were seeing on the 14 project? 15 A. Yes, sir. 16 Q. Were you concerned at this point in time 17 about SBS's ability to complete this project? 18 A. I was very concerned about it. 19 Q. Did you begin considering options for what to 20 do if they continued to fail to meet your 21 expectations? 22 A. I had to. I did. 23 Q. Did you feel like you had a responsibility to 24 consider those options? 25 A. Yes, sir. TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 221 1 Q. What options did you consider? 2 A. Well, we considered every option in the sense 3 of whether we were going to bring in another 4 contractor, whether we were going to bring in another 5 general contractor, or we were going to finish it 6 ourselves. And I felt that it would have been more 7 cost effective to finish it ourselves and try to use 8 what was -- if anything, we could. 9 Q. At that time did you believe the termination 10 was appropriate? 11 A. Yes, sir. 12 Q. Did you communicate that to Rod Lewis? 13 A. I did. 14 Q. Did he agree with you? 15 A. No. He wanted to try to -- initially, he 16 wanted -- when I wanted to terminate at first, Rod 17 didn't want to. He wanted to try to work something 18 out. It wasn't until later on that he agreed that it 19 was time to -- because he was very unhappy. 20 Q. We saw earlier this morning -- I won't go 21 back to it, but just to reference it -- the 22 solicitation of bids in SBS Exhibit Number 65 on 23 October 31st where you were out there looking to get 24 people to give you prices to finish. Do you recall 25 that? TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 222 1 A. Yes, sir. 2 Q. Was that part of that process of considering 3 your options? 4 A. Yes, sir. I didn't want to have to get 5 forced into the position of terminating and not having 6 a game plan. 7 Q. What would that have done to the schedule? 8 A. It was already catastrophic what we had to 9 deal with. It was so grossly behind schedule. And 10 then had we not had a game plan, we would have been 11 further behind. 12 Q. Would it be prudent for an owner or an 13 owner's representative to consider terminating a 14 general contractor without exploring other options for 15 how to complete the project if, in fact, it came to 16 that? 17 A. Not in my -- not in my opinion. I'm the 18 expert that works for Rod Lewis. And if I'm going to 19 terminate somebody, I'm going to have a game plan in 20 place or an idea of where we're going to go forward. 21 Q. Let's look back at -- we saw this one this 22 morning, too, but I do want to revisit it -- Tri-Bar 23 46 in the white binder. Just go off the TV. 24 A. I'm going to have to look at this one. 25 Q. This is where you've asked John Grable to put TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 223 1 them on notice of, again, inadequate manpower. Do you 2 recall looking at that this morning? 3 A. Yes, sir. 4 Q. Is this -- was this a problem that had been 5 going on for months at this point? 6 A. Yes. 7 Q. Was there ever a point in the project where 8 you believed they were meeting your expectations, as 9 far as staffing? 10 A. No. 11 Q. Let's go to the meeting minutes, Exhibit 12 Number 48. That's Tri-Bar 48. Do you recall looking 13 at this this morning? 14 A. Yes, sir. 15 Q. Mr. Clark focused your attention on a few 16 select sentences, but you all didn't read every 17 sentence, did you? 18 A. No, sir. 19 Q. And do you recall Mr. Clark saying there was 20 nothing in this document that indicated any reason for 21 terminating SBS, other than the first sentence that 22 said, "Met with Rod. He wants to terminate the 23 contract"? 24 A. Yes, sir. 25 Q. What do you say on this line right here? TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 224 1 A. "I felt that we gave every chance and a lot 2 of delays." 3 Q. And were those delays, in your mind, a result 4 of failure to adequately man the job? 5 A. Yes. Part of it. 6 Q. So, to represent that there is nothing in 7 here that indicates a justification for delay, do you 8 still believe that that testimony is accurate? 9 A. Oh, yeah. In fact, Steve Schiffman says, 10 "Okay. We're disappointed, but we understand part of 11 it." 12 Q. Did you believe that there was any question, 13 based on your interaction with SBS, about their 14 appreciating the fact that they were being terminated 15 because of failure to hit the schedule and failure to 16 adequately man the job? 17 A. Yes. In fact, they go on to say that, you 18 know, this wasn't their finest hour. 19 Q. Let's see. Did you believe at that point 20 that you had justification to terminate SBS for 21 cause? 22 A. Yes, I did. 23 Q. And you understand the difference between a 24 termination for cause and a termination for 25 convenience? TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 225 1 A. Yes, sir. 2 Q. Let's look at the contract. Back to 3 Robertson Exhibit Number 17. All right. So, 14.2 is 4 termination by the owner for cause. And if you look 5 specifically at 14.2.3 and 14.2.4, what does that say 6 about whether or not you have to pay the general 7 contractor when you terminate for cause? 8 A. "When the owner terminates the contract for 9 one of the reasons stated in section 14.2.1, the 10 contractor shall not be entitled to receive further 11 payment until the work is finished." 12 Q. Let's look at 14.4.1. And actually, 13 specifically, 14.4.3. What does it say with respect 14 to payment to the contractor in the event of a 15 termination for convenience? 16 A. 14.4.3? 17 Q. Yes, sir. 18 A. "In cases such as termination for the owner's 19 convenience, the contractor should be entitled to 20 receive payment for work executed and cost incurred by 21 reason of such termination along with reasonable 22 overhead and profit on work not executed." 23 Q. So, it's your understanding that payment is 24 required at the time of termination if you terminate 25 for cause? TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 226 1 A. For convenience. Yes. 2 Q. All right. Let's go back to Exhibit Number 3 48. And I want to call your attention to the second 4 page of that. You looked at this this morning with 5 Mr. Clark. You said -- the question was, can you sign 6 releases? You said, absolutely. Contractually, we 7 don't have to pay you until the project is finished. 8 Is that a termination for cause or a termination for 9 convenience, in your mind? 10 A. Cause. 11 Q. And did you intend this to be a termination 12 for cause? 13 A. Yes, I did. 14 Q. Why did you tell them you were going to pay 15 them if you knew that the contract didn't require you 16 to do that until the project was finished if this was 17 a termination for cause? 18 A. Well, you know, we didn't want to make this 19 painful -- or as less painful as possible. I mean, we 20 had every intention of paying them any money due. And 21 I made it plain that that's what we were going to do. 22 Q. Did you know about the defects at the time 23 you made those statements? 24 A. No, sir. 25 Q. Had you known about the defects, would you TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 227 1 have told them that you were going to get them paid? 2 A. No. 3 Q. What would you have told them if you had 4 known about the defects at that point? 5 A. We would have said there was several items 6 that need to be done; need to be fixed; need to be 7 repaired. It's not in the best interest to get SBS 8 back on the project because they were nonperforming 9 from the get-go. And we felt that a clean break would 10 have been necessary. 11 Q. All right. We're not going to pull this back 12 up. But do you recall this morning that Mr. Brown 13 showed you the justifications for a termination for 14 cause; and the first one on that list under 14.2.1 of 15 Robertson Exhibit Number 17 was, "Repeatedly fails or 16 refuses to supply enough properly skilled workers or 17 proper material." Do you remember that? 18 A. Yes, sir. 19 Q. Did you believe that SBS had repeatedly 20 failed or refused to supply enough properly skilled 21 workers or proper material on this project? 22 A. Yes. 23 Q. At any time did Mr. Grable indicate that he 24 did not believe that a termination was justified? 25 A. No. TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 228 1 Q. You -- you were asked questions this morning 2 about a certification. You don't have a 3 certification -- don't have a formal certification, do 4 you? 5 A. No. 6 Q. Did you have conversations with Mr. Grable 7 about whether termination was justified? 8 A. They -- 9 MR. CLARK: Your Honor, I'm going to 10 object. This is going to be hearsay. 11 THE COURT: Overruled. 12 Q. (BY MR. SLATES) Let's look at -- there is a 13 requirement, if we look down a little further in 14 14.2.3 -- oh, I'm sorry -- 14.2.2. It says you're 15 supposed to give written notice. See that? 16 A. Yes, sir. 17 Q. We spent a bunch of time this morning talking 18 about that. Do you recall that? 19 A. Yes, I did. 20 Q. Do you see anywhere in there where it says 21 that notice gives the contractor an opportunity to 22 cure? 23 A. No. 24 Q. Is there anything, once an owner has made the 25 decision to terminate for cause, that a contractor can TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 229 1 do to stop that? 2 A. No. 3 Q. Does the notice, in your mind, have any 4 substantive effect other than to let them know what's 5 coming? 6 A. No, not really. I mean, we -- we spoke often 7 about this. 8 Q. And let's get back to Exhibit Number 48. I 9 want to point out a couple of those comments. But I 10 want to just focus on -- on the first page, this is 11 Steve. Who is Steve? 12 A. Schiffman. 13 Q. It says, "Okay. We're disappointed. We 14 understand part of it." If we look down, Steve again 15 says, "Not seeing the best side of SBS Construction 16 for many reasons." Do you see that? 17 A. Yes, sir. 18 Q. If we go down to -- I believe it's on the 19 second page. Said -- this is Mr. Schiffman again 20 talking. It says, "I visited the job yesterday and I 21 understand we're up front and forthright people. We 22 had some problems. We are truly sorry about it." Do 23 you see that? 24 A. Yes, sir. 25 Q. Does that sound like someone that is TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 230 1 surprised that they're being terminated? 2 A. Not at all. 3 Q. Does it sound like someone that is protesting 4 that the termination isn't justified? 5 A. No. 6 Q. Does it sound like someone -- and in fact, do 7 you see anywhere in there where anyone complains about 8 having not received a written notice seven days prior 9 to this meeting? 10 A. No. 11 Q. Had you been telling SBS for months that 12 schedule and manpower were a problem? 13 A. Yes, I had. 14 Q. And had they taken adequate steps, in your 15 mind, to address your concerns? 16 A. No. 17 Q. Let's look at SBS Exhibit Number 12. This is 18 an e-mail -- or excuse me -- a letter from -- I 19 believe from Mr. Schiffman to you dated February 15th. 20 Do you see that? 21 A. Yes, sir. 22 Q. It says, "While we accepted the challenge to 23 deal with the various parties involved and to manage 24 the ongoing design changes, we at SBS obviously did 25 not meet your expectations or the expectations of Mr. TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 231 1 Lewis." Do you see that? 2 A. Yes, sir. 3 Q. Does that sound like someone that's angry or 4 someone that's contrite? 5 A. Contrite. 6 Q. Does it sound like someone that's 7 acknowledging responsibility -- or culpability? 8 A. Culpability. 9 Q. And do you see anywhere in that letter where 10 Mr. Schiffman complains about having not received the 11 written notice seven days prior to the meeting? 12 A. No, he did not. 13 Q. In fact, when did the notice issue get raised 14 relative to you and your team discovering the defects 15 and withholding payment based on those defects? 16 A. Actually, I just heard about it for the first 17 time today. 18 Q. So, until today, no one had ever told you 19 that SBS had any issue with having not received 20 notice? 21 A. Yes, sir. 22 Q. Is that correct? 23 A. That's correct. 24 Q. All right. So, what did you do at that point 25 in order to try to get the project back on track? TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 232 1 A. Well, the first thing I did was kind of 2 damage control. I wanted to make sure that before we 3 released any funds to SBS, that we do a full forensic 4 discovery. That's why we brought in independent third 5 party contractors to help us evaluate what we had. We 6 knew we had some issues, but we didn't know they were 7 going to be as extensive as they were. 8 Q. Who did you hire? You mentioned Speedway 9 earlier. 10 A. We hired Speedway. We hired -- well, we had 11 BoDen contractor -- Daniel and I had worked when he 12 was with Turner Construction. And so, we brought in 13 -- they bought in a concrete contractor. They brought 14 in another mason. They brought in an HVAC guy. You 15 know, a bunch of different independent contractors. 16 Q. And what did you begin to find out based on 17 that investigation? 18 A. Well, the list is pretty extensive. You 19 know, we found out what we felt were -- 20 MR. CLARK: Your Honor, I'm going to 21 object on hearsay. He's not even identifying who 22 these are coming from. 23 THE COURT: Just tell us what you have 24 personal knowledge of, sir. 25 THE WITNESS: Okay. Well, we had TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 233 1 personal knowledge of -- 2 THE COURT: You have personal knowledge 3 of. 4 THE WITNESS: Sir? 5 THE COURT: You have personal knowledge. 6 THE WITNESS: Yeah. Well, I had personal 7 knowledge of the inspections that were made, the 8 discovery that was made, and the report that was -- 9 that was formulated and given. And so, those -- those 10 were -- we hired Speedway. We brought in C&S. We 11 brought in a brick mason, a concrete contractor. 12 There were several other people that we brought in to 13 do this inspection. 14 Q. (BY MR. SLATES) Let's look at -- 15 MR. BROWN: Your Honor, I'm not clear. I 16 don't know where he's going with this and what he's 17 trying to establish. But still, I don't know that an 18 adequate foundation was laid to testify as to what 19 he's doing there. I'm aware of a report, but the 20 culmination of individuals into that report and his 21 role and given the fact that he earlier testified this 22 morning about a report that he did that somehow was 23 not in existence; I'm not clear on how we're able to 24 establish what part is his, what part is theirs, and 25 what part is hearsay. So, I'm going to object; one of TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 234 1 spoliation, but two, of the fact that I still think 2 there's some hearsay issues. So, I've got to object. 3 Q. (BY MR. SLATES) All right. I'm going to ask 4 you -- 5 THE COURT: Wait a minute. I didn't hear 6 -- I mean, I heard a speech; not really an objection. 7 MR. BROWN: Okay. I said I object, Your 8 Honor, as to the testimony. 9 THE COURT: Give me a three-word legal 10 objection. 11 MR. BROWN: One, hearsay; two, spoliation 12 on both. 13 THE COURT: Because you're testifying as 14 to the contents of the written report that you don't 15 know where it is? 16 MR. SLATES: And let me address that -- 17 THE COURT: Wait. Let me ask him that. 18 What's the answer to that? 19 THE WITNESS: Well, I know that the 20 report was done. 21 THE COURT: But they haven't given it to 22 the other side, from what I understand. Is that 23 correct? 24 MR. SLATES: No. The -- 25 THE COURT: Okay. But what you're TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 235 1 testifying from is the contents of a written report; 2 correct? 3 THE WITNESS: Yes, sir. 4 THE COURT: Okay. Then the objection is 5 sustained. You haven't given them the written report? 6 MR. SLATES: No, we have. There's 7 confusion here and I'm trying to clarify it. 8 THE COURT: Can you pull up the written 9 report and let's see. 10 MR. SLATES: It's Exhibits 19, 20, and 21 11 which they objected to on the basis of hearsay. 12 MR. BROWN: There are -- there are two 13 issues that he's trying to get to. One, Your Honor, 14 is of the contents of the -- whatever it is -- 15 Spellway -- 16 THE COURT: Speedway. 17 MR. BROWN: -- Speedway. That is their 18 -- that report we objected because, one, report not 19 designated, et cetera. But there's another issue -- 20 THE COURT: No, no. Wait a minute. The 21 focus of everybody's concentration was, you've never 22 seen, didn't know of this written report. 23 MR. BROWN: There are two -- 24 THE COURT: Which report is the one you 25 don't know about? TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 236 1 MR. BROWN: We don't know about the one 2 he talked about this morning. 3 MR. CLARK: Let me help you out with that 4 one. That's one of the reports they're talking about, 5 Your Honor. You see it's written there on the front 6 cover as identified as belonging to Jennifer Swisher, 7 October 18th of 2013. It's not tied to Mr. Pittman. 8 That's the report that we received. She's not an 9 expert. He's not designated as an expert. That's the 10 report we've got. I don't know how we're supposed to 11 recognize that as being something he did back in 12 February. 13 MR. SLATES: I'm just trying to eliminate 14 the confusion, Your Honor. I think if I can ask him a 15 handful of questions, it will solve the problem. 16 THE COURT: Well, you tell me. You know 17 the answer. 18 MR. SLATES: Yeah. So, the point is, 19 Jennifer Swisher is the person that compiled this. 20 She had input from Daniel Boddie. She had input from 21 Tom Pittman. And they compiled this document that 22 records photographically the conditions -- 23 THE COURT: Ms. Swisher did; right? 24 MR. SLATES: Well, she created the 25 document. But the photographs and the -- and notes TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 237 1 that you'll see in the document were primarily from 2 Daniel Boddie, perhaps some input from Mr. Pittman. 3 I'd have to ask him to confirm. But it was Daniel and 4 Jennifer that did most of the -- the actual legwork to 5 create this document. But this is -- I believe that 6 he can confirm when he talked about the investigation 7 report this morning, it culminated in this. 8 THE COURT: Well, that's -- but they -- 9 he did not make this report. 10 THE WITNESS: Well, I gave -- 11 THE COURT: Wait a minute. 12 THE WITNESS: I'm sorry, sir. 13 THE COURT: So, the objection is 14 sustained. 15 Q. (BY MR. SLATES) Did you provide input into 16 this report, Mr. Pittman? 17 A. I did. 18 Q. What type of input did you provide? 19 A. Well, we oversaw all of the -- the forensic 20 discovery. Okay. We oversaw all the work that 21 Speedway did. We saw, as we uncovered things, you 22 know, discrepancies that are in that report. We took 23 pictures of it. We documented every discrepancy and 24 deficiency that we -- that we found and put it in this 25 written report. I left after that and then Jennifer TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 238 1 and Daniel put this report together. I was 2 instrumental in getting all of this done. 3 Q. And just to be clear, when you referred to a 4 report this morning, was it Exhibit 20 and 21 that you 5 were referring to? 6 A. I'm assuming. 7 Q. You can look at it. It's -- 8 MR. BROWN: Your Honor -- 9 THE COURT: The objection is still 10 sustained, Counsel. 11 MR. SLATES: I understand, but -- 12 MR. BROWN: He didn't prepare -- 13 MR. SLATES: -- we're not allowed to talk 14 about the report, Your Honor. 15 THE COURT: Well, you're talking about 16 the report. 17 MR. SLATES: I just wanted to clear up 18 the record as to the implication that there's some 19 document out there that we haven't -- 20 THE COURT: What you've made clear to me 21 is this Los Cerritos Hangar Deficiencies is the report 22 that everyone was talking about. 23 MR. SLATES: Okay. 24 THE COURT: Mr. Pittman did not prepare 25 the report, so we're not going into the report. TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 239 1 Q. (BY MR. SLATES) Based on your personal 2 observations and your dealings with Speedway/BoDen and 3 the completion of the project, did you become aware of 4 some defects on the project? 5 A. Yes, sir. 6 Q. What defects did you become aware of? 7 MR. BROWN: Now, at this point I'm going 8 to renew the objection and -- 9 THE COURT: Give me a legal objection, 10 Counsel; not a speech. 11 MR. BROWN: Hearsay and; two, Judge, 12 attempting to comment on evidence not in the record 13 and -- 14 THE COURT: But once your client left, he 15 took over as the manager of the construction; correct? 16 So, he, as manager of construction, can denote the 17 defects, if any, that existed; correct? Not the 18 report. 19 MR. SLATES: Yes. I mean, he -- 20 THE COURT: Well, I'm asking Mr. Brown. 21 MR. SLATES: I'm sorry. 22 THE COURT: Sorry. Right? He's the one 23 that took over after your client left; correct, for 24 Lewis Energy? So, your objection is overruled. 25 Q. (BY MR. SLATES) What defects did you TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 240 1 personally observe? 2 A. Well, there was defects with -- there were 3 several defects with the roof that we took pictures 4 of, that I had Speedway take pictures of in detail. 5 The fact that the building -- you can look at the roof 6 line, and it goes like this. And then right over at 7 the hangar section, it drops off and the rafters slope 8 out like this. It's -- a picture is worth a thousand 9 words. And we dug out around the perimeter and found 10 out that sometime -- sometime after our inspection was 11 done that the exterior forms were shifted out over the 12 pad. And it shows concrete after we dug out that was 13 sitting -- was 10 inches -- or 8 inches thick. And 14 that it goes to dirt, rather than that grade beam 15 being fully executed and dug out 36 inches. That was 16 around the full perimeter of the building. And that 17 -- and those pictures show that and -- 18 MR. SLATES: I don't know -- is 27 19 admitted? 20 THE COURT: Your 27? 21 MR. SLATES: Yes, Your Honor. 22 THE COURT: No, not preadmitted. 23 MR. SLATES: It's structural drawings 24 dated -- 25 THE COURT: All I have is numbers. TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 241 1 MR. SLATES: -- June 26th, 2012. Do 2 y'all have an objection? 3 MR. CLARK: To him testifying about it? 4 Yes. He's not an expert. 5 MR. SLATES: I just want to show him the 6 plans. 7 MR. CLARK: To do what? He's not an 8 expert. 9 MR. SLATES: To have him identify the 10 condition he's describing. 11 MR. CLARK: He's not been designated as 12 an expert to testify about what the plans mean. 13 MR. SLATES: I'm asking him what defects 14 he observed in conjunction with performing his 15 responsibility as the project representative. 16 THE COURT: But, Counsel, you're offering 17 a report or something of Speedway. 18 MR. SLATES: No. It's -- it's not 19 Speedway. It's John Grable's plans for the project. 20 THE COURT: And that's the plans which he 21 used in order to pour the -- 22 MR. SLATES: Actually -- 23 THE COURT: -- slab or -- 24 MR. SLATES: -- these are structural, so 25 it's -- TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 242 1 THE COURT: Okay. 2 MR. SLATES: -- Victor de Anda's plans of 3 the project. 4 THE COURT: Okay. You can offer those. 5 MR. SLATES: At this time we would offer 6 Tri-Bar 27. 7 THE COURT: Formal objections? 8 MR. BROWN: I have no objection. 9 MR. CLARK: No objection, Your Honor. 10 THE COURT: 27 is admitted. 11 Q. (BY MR. SLATES) All right. If we can go to 12 the last page of that, what is a brick lug? 13 A. It's just an extension of the exterior beam 14 that the brick or the stone is going to sit on. 15 Q. Is it this area here? 16 A. Yes, sir. 17 Q. And is it -- is it supposed to be sitting -- 18 what's all that? 19 A. That's all concrete. It's all the way down 20 to the bottom. 21 Q. All right. Let me ask you to draw what you 22 actually physically observed relative to what that 23 calls for. 24 A. What we observed after we dug it open? 25 Q. Yes. TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 243 1 MR. CLARK: Your Honor, Mr. Pittman has 2 not been designated as an expert. They do have an 3 expert, Daniel Boddie. If we're going to hear this 4 twice, I'd just as soon hear it from the expert. So, 5 I'm objecting on the grounds that he's not an expert. 6 What he's about to draw -- 7 THE COURT: What is his expertise in 8 structural engineering? 9 MR. SLATES: I'm not asking him an 10 opinion. I'm asking what he physically -- 11 THE COURT: Well, you asked him to draw 12 the structural design for a purpose; right? 13 MR. SLATES: I'm asking him to draw what 14 he physically observed in the field. 15 MR. CLARK: Okay. I don't have an 16 objection to that, Your Honor. 17 THE COURT: Okay. Draw what you saw in 18 the field. Draw the trees around it, too. 19 A. Okay. Basically, when we went around the 20 perimeter of the building -- and those pictures detail 21 -- they accurately depict this. We dug this out and 22 we found out that this -- this form that should have 23 been here was shifted out to here, you know, 24 approximately several inches, to where when we dug 25 this out, that brick lug was sitting on -- that TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 244 1 consisted of about 8 inches of concrete. It wasn't 2 bearing down so -- through supplemental structural 3 instructions, SSI from Victor de Anda, he -- we came 4 back in and added into this -- doweled into the 5 existing grade beam and gave a structural brick lug. 6 Q. (BY MR. SLATES) Prior to that having been 7 done, what was underneath the brick lug? 8 A. Dirt. 9 Q. What do the plans show is supposed to be 10 underneath the brick lug? 11 A. Concrete. 12 Q. Okay. Let's look at SBS Exhibit Number 16. 13 Actually, before we go there, let me ask you a 14 question. You were asked this morning about your 15 physical observation. When you observed the forms, 16 were they in the same plane as the grade beam or were 17 they shifted out like you just described? 18 A. No. They were in the same plane. 19 Q. When you saw the pour after it was done, 20 could you tell whether or not the edge of the 21 foundation was over the grade beam? 22 A. No. I mean, we didn't -- no. You can't -- 23 there would have been no way to determine, unless we 24 would have x-rayed those grade beams. 25 Q. The suggestion that you knew that the brick TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 245 1 lug wasn't sitting over the grade beam, which I think 2 was implied this morning, is that true? 3 A. No. We had no knowledge of that. That grade 4 beam wouldn't have been integral with the -- or the 5 brick lug wouldn't have been integral with the grade 6 beam. 7 Q. All right. Let's -- specifically in Exhibit 8 Number 16, it's a March 15th letter from John Grable 9 to Jack Green with a copy to you. "I'm writing this 10 letter to alert you to recent discoveries concerning 11 the structural foundation. It appears that the 12 perimeter masonry lug that's required to support the 13 20-foot high tall stone here is only 10 inches deep 14 and not the specified 3-foot depth." Is that a 15 reference to -- 16 A. Yes, sir. 17 Q. -- the brick lug that -- 18 A. Yeah. 19 Q. He goes on to say, "In view of the fact that 20 we continued to discover deficiencies in the 21 construction work, it might be best for you to contact 22 your insurance company and inform them about the 23 unfolding catastrophic condition." And in your mind, 24 was the brick lug a safe condition? 25 A. Not at all. I mean, there was a reason they TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 246 1 designed it to be 36 inches deep in that part of that 2 grade beam. 3 Q. You talked this morning about the building 4 being out of plumb. Do you recall that? 5 A. Yes, sir. 6 Q. Do you recall what efforts were undertaken to 7 make that determination and who made them, other than 8 just the visual observations you referenced this 9 morning? 10 A. Well, there was more than one thing. The 11 building was so far racked that you could see -- 12 either a CMU wall was out of plumb or the building was 13 racked. And when SBS -- or when United Erectors and 14 Speedway came out there, they determined that the 15 building was racked a little over 2 inches. 16 Q. Do you recall Mr. Clark asking you questions 17 about the hangar doors before lunch? 18 A. Yes, sir. 19 Q. And do you recall him indicating -- or 20 acknowledging, at least -- that those -- that the 21 building was field modified to accommodate the 22 foundation? 23 A. Yes. It was shipped with 80-foot doors and 24 field modified. 25 Q. And just to put it in very basic terms, does TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 247 1 that mean that the building that SBS delivered was 2 bigger than the foundation upon which it was supposed 3 to sit? 4 A. Yes, sir. 5 Q. Did anyone from SBS tell you that they were 6 field modifying the door section to fit the 7 foundation? 8 A. No. 9 Q. When did you find that out? 10 A. After we asked for an actual measurement. 11 And they said, "Well, the doors open up to 76 foot, 12 2 inches." And I said, "What happened to the 13 80 feet?" And that's when -- and it wasn't until 14 afterwards that we determined -- or we found out that 15 field modification had been done when Schulte -- after 16 we contacted Schulte, Schulte said, yes, we shipped 17 80-foot door sections out there. They had the right 18 steel. They cut the steel down to fit the foundation. 19 Q. Did you ever actually go on the roof of the 20 building? 21 A. No. 22 Q. Were you able to observe pictures that were 23 taken of the roof? 24 A. Yes, sir. 25 Q. Were the conditions of the roof consistent TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 248 1 with the quality of construction you would expect on a 2 project like this? 3 A. No. 4 Q. Were they acceptable to you, as the owner's 5 representative? 6 A. No, they were not. 7 Q. I want to put some context here. There were 8 questions raised this morning about why you didn't 9 bring them back out to address some of these issues. 10 Did you feel like SBS was honest with you about the 11 issues with the schedule for the delivery of the metal 12 building? 13 A. No. That changed, I want to say, three or 14 four times. And then the last time that they said 15 that it was going to be delivered and we got word from 16 Schulte that it hadn't even been put into production 17 yet, that we felt that SBS was not telling us the 18 truth. 19 Q. Did you feel deceived by SBS in relation to 20 the brick lug issues? 21 A. Oh, yes. 22 Q. Go ahead. 23 A. No. I just -- that was a potential 24 catastrophic failure they could have had there. 25 Q. Did you feel deceived by SBS in conjunction TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 249 1 with the field modifications of the hangar doors? 2 A. I did. 3 Q. Did you feel deceived by SBS in the context 4 of the quality of the construction on the roof that 5 you couldn't see from the ground? 6 A. Oh, yes. 7 Q. In light of these issues, what was your level 8 of trust and confidence with SBS at the time you began 9 to discover these defects and you got that letter from 10 Mr. Schiffman we looked at this morning saying, I want 11 to come meet with you and fix this thing? 12 A. We felt we had exhausted every option with 13 SBS. 14 Q. Did you have any interest in getting them 15 back out there, given the lack of trust and 16 confidence? 17 A. No. 18 Q. All right. I want to -- I'm going to be 19 jumping around a little bit. I want to address some 20 of the other questions and issues that were raised 21 this morning. The -- the bid -- the initial bid, at 22 least; what was the SBS subcontract amount again, if 23 you could remind me? 24 A. SBS -- 25 Q. I'm sorry. The Robinson subcontract amount. TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 250 1 A. It was 120 and change. 2 Q. And the -- the bid, if I recall correctly, 3 initially was 60? 4 A. The -- 5 Q. 60,000? 6 A. The change order? 7 Q. Yes. 8 A. Yes, sir. 9 Q. You said a quarter of the contract amount. 10 Would you agree with me that that amount -- 11 A. It was more like a third. 12 Q. -- is closer to half? 13 A. Yeah. Closer to half. Yeah. 14 Q. Did it seem like there was a 50 percent 15 increase in the scope, based on the changes that you 16 knew existed in the plans? 17 A. Not at all. That's why I questioned it. In 18 fact, Tony Weigand questioned it as well. That's when 19 we determined that we've got to get additional pricing 20 on this. 21 Q. I believe Mr. Clark referenced the final 22 contract cost being roughly 2 million. Do you recall 23 that earlier? 24 A. Yes. 25 Q. But you don't know what happened between the TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 251 1 time you left and when the project got finished? 2 A. No. 3 Q. What I want to focus on is Exhibit 22-A of 4 Robertson where it talks about the C&S contract value. 5 If the project went from 1.2 million to 2 million, 6 does that suggest to you the scope of work may have 7 increased? 8 A. Oh, without a doubt. 9 Q. And are you confident that what is being 10 referenced here is a different scope of work than what 11 you solicited from them in Tri-Bar Exhibit -- 12 A. Absolutely. It had to have been. 13 Q. They were suggesting that you weren't on the 14 job in December of 2012 this morning. Do you recall 15 that? 16 A. Yes, sir. 17 Q. If I can direct your attention to Tri-Bar 18 Exhibit Number 69. Mr. Clark showed you a number of 19 daily reports from December this morning. Those are 20 the ones that he marked. Did you understand that's 21 the case? 22 A. Yes. 23 Q. You may have mentioned, in fact, I think that 24 it didn't look like all of them were there. 25 A. Correct. TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 252 1 Q. If we look at the December 10th report, which 2 is -- it's in the white book, 69. Are you with me? 3 A. Yes, sir. 4 Q. Do you see on December 10th that SBS's daily 5 report under Inspections, Testing, and Visitors shows 6 Tom Pittman was there to do a site visit? 7 A. Yes, sir. 8 Q. So, even if you set aside everything you told 9 us this morning about you being out there sometimes 10 when SBS people weren't, this document at least 11 suggests you were there at least one time in December; 12 right? 13 A. Correct. 14 Q. All right. I want to talk now about the 15 payment issues. If you can direct your attention to 16 Tri-Bar Exhibit Number 1. That's their first pay 17 application, isn't it? 18 A. Yes. 19 Q. And what is the amount of that pay 20 application? 21 A. $88,290.50. 22 Q. What is it after retainage? 23 A. $79,461.45. 24 Q. And the date? 25 A. July 29th of '12. TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 253 1 Q. It looks like maybe 27. I know you're 2 farther away than -- 3 A. 27th. Sorry. 4 Q. Okay. And if we go to Exhibit Number 2 of 5 Tri-Bar, the date? 6 A. 9/7/12. 7 Q. The amount after retainage? 8 A. $108,505.64. 9 Q. Let's go to Number 3, which for some reason 10 is missing the first page. But if we look down at -- 11 come back up to completed this period. We use that 12 column to come up with our amount. Oh, first of all, 13 we don't have the date exactly, but it's somewhere 14 after September 30th; correct? 15 A. Yes, sir. 16 Q. Scroll down; what's the amount? 17 A. Yes. $31,429.01. 18 Q. Okay. And after retainage -- let's come back 19 down because there's another document that will help 20 us get to the bottom of that. Exhibit Number 4, this 21 is pay app number 4; correct? 22 A. Yes, sir. 23 Q. And it's dated 10/30/12? 24 A. Yes, sir. 25 Q. How much is it for after retainage? TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 254 1 A. $3,541.68. 2 Q. Number 5, date? 3 A. December 3rd, 2012 -- or is that an 8? 4 Q. It's a 3, it looks like. 5 A. Okay. 6 Q. And the amount? 7 A. $271,597.01. 8 Q. Looks like 03 maybe. Okay. Let's look at 9 SBS Number 7. This looks to be a draw summary 10 prepared by SBS, and it shows 79,461 which was paid on 11 September 6th. Do you see that? 12 A. Yes. 13 Q. It shows the 108,505 was paid on 10/22; 14 correct? 15 A. Correct. 16 Q. And then for the amount for Number 3 -- there 17 is where I was talking about getting some help -- it's 18 $28,286.11; correct? 19 A. Correct. 20 Q. And that would have been sometime -- I don't 21 see the date it was submitted, but it must have been 22 sometime after 9/30. We saw that it was the September 23 draw; right? 24 A. Right. 25 Q. Okay. So, those all three, if we scroll back TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 255 1 down, should have been paid on 1/17. How many -- if 2 you did 30 days from July 27th, where would you fall? 3 A. August 27th. 4 Q. Paid on 9/6. It was late; right? 5 A. Right. 6 Q. How many days late? 7 A. Seven. 8 Q. If we go to 9/7, that would have been due 9 when? 10 A. 10/7. 11 Q. It was paid when? 12 A. 10/22. 13 Q. How many days late? 14 A. 18. 15 Q. All right. So, there was reference made -- 16 15; right -- 7 minus 22? 17 A. Yeah. 18 Q. There was reference made this morning about 19 payment being withheld for three months. Do you 20 recall that? 21 A. Yes, sir. 22 Q. That must have been a reference to these. 23 Would you agree? 24 A. Yes. 25 Q. $28,786.00. As a percentage of the work, how TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 256 1 much is that? 2 A. Not even 4 percent. 3 Q. I did the math. It's 2.5. 4 A. Okay. 5 Q. And 3,541, doing the math, it's 0.3 percent. 6 Is that satisfactory progress on this job? 7 A. No. In fact, I'm surprised that you would 8 submit a pay application for $3,000.00 or even for 9 $28,000.00, for that matter. 10 Q. And if we look at -- and I'm going to ask you 11 to use your book this time. Tab 4 in Tri-Bar's 12 exhibits; that's going to be that pay application. 13 A. I'm sorry, but which tab? 14 Q. Tab 4. 15 A. 4? 16 Q. Yeah. 17 A. Okay. 18 Q. Okay. So, let's look at what they're 19 actually billing for in this pay application. I want 20 you to go to the schedule of values. There's $1300.00 21 for project management. Did it seem like they were 22 managing a lot of work that month? 23 A. No. 24 Q. $357.00 for rental, $188.00 for builder's 25 risk, and $1800.00 for plumbing. So, of that, which TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 257 1 is actual work? 2 A. $1800.00 in plumbing. 3 Q. So, in an entire month, did they get anything 4 done besides $1800.00 worth of plumbing? 5 A. Not according to this pay application. 6 Q. And in the preceding month, what got done? 7 Let's look at tab 3. Again, we've got project 8 management, we've got other general conditions cost, 9 we got travel, we got builder's risk, we got $9800.00 10 for site utilities, and $16,000.00 for concrete. Do 11 you see that? 12 A. Yes. 13 Q. Was that satisfactory progress for an entire 14 month? 15 A. No. 16 Q. So, in a two-month period they have made 17 progress on less than 3 percent of the work. Is that 18 satisfactory? 19 A. No, it's not. 20 Q. And with respect to these amounts which 21 weren't paid until January 17th, this one would have 22 been due when? Let's assume it was October 1st that 23 it was turned in. Give them the benefit of the doubt. 24 A. November 1st. 25 Q. All right. So, it was two and a half months TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 258 1 late; right? 2 A. Right. 3 Q. $28,000.00 of the -- how big was the total 4 contract? 5 A. It was -- 6 Q. It says on that pay application; right? 7 A. -- 1.2 -- 1,226,000. 8 Q. Okay. Roughly 2 percent of the contract 9 amount; right? 10 A. Right. 11 Q. And then this one would have been due -- 12 submitted -- 13 A. December -- January 1st. 14 Q. It was a month and a half late, wasn't it? 15 A. Well, no. That's only -- 16 Q. It was -- 17 A. Oh, yeah. It was a month and a half late. 18 Q. The big one, the 271; it was submitted when? 19 A. December 8th. 20 Q. That's a 3. 21 A. Okay. 3. 22 Q. That's my bad handwriting. So, when was it 23 due? 24 A. November 3rd -- or January 3rd. 25 Q. Paid January 17th? TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 259 1 A. Yes, sir. 2 Q. It was late two weeks, but not the three 3 months that was suggested this morning, was it? 4 A. Right. Correct. 5 Q. This morning you were talking about the 6 mockup and you were waiting on the mockup. Who does 7 the mockup? 8 A. Well, the general contractor does the mockup. 9 Q. And were they waiting on you or were you 10 waiting on them? 11 A. We were waiting on them. 12 Q. Getting back to the brick lug, there were 13 representations made that it was poured exactly the 14 way it was drawn. Is that true based on what we went 15 through here? 16 A. I'm sorry. Repeat that question. 17 Q. I changed gears on you and I apologize for 18 doing so without telling you I was going to. Going 19 back to the brick lug, there were representations made 20 in prior examination that it was poured exactly the 21 way it was drawn. Is that true, based on what you 22 observed in the field? 23 A. No, sir. 24 Q. With respect to the conditions depicted on 25 the roof that you saw in the paragraphs, what did TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 260 1 those conditions look like? 2 A. Well, towards the -- 3 MR. CLARK: Your Honor, I'm going to 4 object. He said he hadn't been up on the roof, so 5 unless there's a picture sitting there which we can 6 all see, I think it's going to be hearsay what 7 somebody else told him was up on the roof. 8 THE COURT: He's the general contractor. 9 I presume he reviewed the pictures of whatever to make 10 a personal statement of what the roof looked like to 11 him. Can you? 12 THE WITNESS: Yes, sir. 13 THE COURT: Well, do it then. 14 A. Well, there was several splices along the 15 cupola area, the roof -- where -- there was three 16 different roof clips used, through discovery. There 17 was specifically only supposed to be one. I mean, you 18 can't arbitrarily use different thickness roof clips 19 on a roof and expect it to be correct. Towards the 20 end of the area where the doors were, where they 21 spliced on sections of rafters and columns, you can 22 literally see in the pictures where the -- the rafter 23 does this. And I'm exaggerating, but it flows down 24 like this. You can see it from the ground. You can 25 look up and see that the roof line is altered. TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 261 1 Q. (BY MR. SLATES) Is that in the location 2 where you understand them to have field modified the 3 hangar doors? 4 A. Yes, sir. 5 Q. Can you associate anything -- any correlation 6 between those two events? 7 A. Well, they tried to field modify it. And 8 because of the field modification, it didn't match the 9 original slope. You can look at the pictures. And 10 it's -- you've got a straight roof cutting across, and 11 then when you hit that roof line, it dips off. It's 12 just -- it's like this. 13 Q. Any other conditions that stand out in your 14 mind from the photographs you reviewed? 15 A. Well, the grade beams. There was -- there 16 were bolts that were missing, there was bolts that 17 were not torqued properly, there was really pathetic 18 welds. The list is lengthy; ad infinitum. There's -- 19 it's a very detailed list. 20 Q. Well, we'll get into that in more detail with 21 Mr. Boddie. But let me ask you this. Knowing what 22 you know now, would you have made the representations 23 about making payments to SBS in light of the fact that 24 you viewed it as a termination for cause? 25 A. No, I would not have. TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 262 1 Q. Did you think that -- do you think it's 2 unreasonable for an owner to withhold payment until 3 they quantify the scope of the defects on a project? 4 A. Not at all. 5 Q. Do you think an owner should have to pay for 6 defective work? 7 A. No. 8 Q. Do you think that it's reasonable for Tri-Bar 9 to offset the cost of repairing the defective work 10 against the amounts that are owed under the contract? 11 A. Yes. 12 MR. SLATES: That's all my questions. 13 THE COURT: Mr. Brown, as to matters 14 brought up on cross? 15 MR. BROWN: Yes, sir. 16 REDIRECT EXAMINATION 17 BY MR. BROWN: 18 Q. Mr. Pittman, when you were speaking with Mr. 19 Slates, you indicated that -- as you did this morning, 20 that you took and made additional inquiries for 21 subcontractors; correct? 22 A. Correct. 23 Q. I know that at least for electrical, you only 24 have one proposal? 25 A. Correct. TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 263 1 Q. That's the only one you made? 2 A. The only one I made. 3 Q. Thank you. Now, with regard to the 4 timelines, you would agree with me that you don't have 5 the need or a problem until the problem exists; right? 6 A. I'm not sure I follow you. 7 Q. There's not a problem until the problem 8 exists. 9 A. Okay. 10 Q. Correct? 11 A. I think I follow you. 12 Q. Okay. So, as it relates to Mr. Robertson or 13 Robertson Electric, prior to the point where he is 14 submitting bids or he makes this inquiry regarding the 15 additional work that was identified in the plans that 16 he had, you're already soliciting subcontractors for 17 him? 18 A. Because he never managed -- he never managed 19 the job with enough people. 20 Q. Now, the reality is, he doesn't get to the 21 site and is not going to work until the December. Did 22 you know that? 23 A. Why is that? 24 Q. Because -- well, the first question is, did 25 you know that? TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 264 1 A. Well, I'd have to go back and look at the 2 daily reports, but -- 3 Q. So, when you're seeking to replace him, 4 you're doing it because you just don't want him on the 5 site. You're just trying to take over the job? 6 A. No. That's not true. 7 Q. Okay. 8 A. He's not managing -- he's not manning the 9 project. 10 Q. The reality here is that if your people are 11 blocking and not doing the work that allows them to go 12 forward and do the work, then they've got to man it in 13 such a way that they can get things done in relation 14 to what is there; correct? 15 A. I think that's probably safe. 16 Q. Okay. And the next part is also true; that 17 if you're not paying them, then they're not going to 18 send, perhaps, as much as they can if you're not 19 paying them; right? 20 A. Right. 21 Q. So, it appears to me what you're really 22 saying is, we want you to work; we're not going to pay 23 you, but we want you to get it done. Right? 24 A. No, no. That's not the case. I mean -- 25 Q. Well, the testimony -- and it's at this point TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 265 1 uncontroverted that there's an e-mail from Rod Lewis 2 that says October, early November, don't pay these 3 people. And that is, in fact, what's going on. 4 They're not getting paid; right? 5 A. No. We just proved that they did get paid. 6 Q. No. What you proved was that there are 7 payments that had been made. You did not prove that 8 they got paid. 9 A. Well, I disagree. We just proved that they 10 got paid. 11 Q. Now, on the 26th of November is when there is 12 this -- and that's in Exhibit 32. And that's when Mr. 13 John Grable is saying that you're already pricing the 14 completion of the hangar with other qualified subs and 15 suppliers. Now, that's -- you're doing that on 16 November 26th. 17 A. Yes, sir. 18 Q. Okay. So, you would agree -- and again, as 19 it relates to Robertson Electric, that if he's not 20 there, then you're attempting to price him and replace 21 him when he's not even there yet. Right? 22 A. Well, it goes back to the -- the original 23 problem that we had, is we had a change order. They 24 gave us a price for the change order that was almost 25 half of their total contract amount for a section of TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 266 1 work that we felt wasn't half again as much work. 2 Q. Well -- 3 A. And we proved that. 4 Q. -- I understand that -- well, no. What you 5 said is -- you said some things. I don't know that 6 you've proven it. That would be for the judge to 7 decide. But the reality here is that, as it relates 8 to what you're talking about, what you're saying is 9 that we identified a problem before it was a problem, 10 and so we're going to replace the problem before it 11 materializes -- 12 A. We didn't identify the problem before it was 13 a problem. The problem identified itself. And it 14 tracked -- if you can look through the daily reports, 15 those numbers don't lie. Assuming they did lie -- 16 Q. Have you ever heard -- at least, you know, 17 Texas Rangers when they talk about one ride, one 18 ranger? 19 A. Yeah. 20 Q. Okay. Well, here the need only realized for 21 one person. 22 A. Okay. 23 Q. And you don't get to sit up here and tell 24 someone else how to do their job; right? 25 A. They didn't do their job. If they had done TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 267 1 their job, we wouldn't be sitting here. 2 Q. Well, that presumes that what you're saying 3 is true; correct? 4 A. Are you -- are you implying I'm lying? 5 Q. I'll let the facts decide that. What I'm 6 saying is, the -- it presumes that what you're saying 7 is true. 8 A. Uh-huh. 9 Q. Now, as relates to the decisions to 10 terminate, you have decisions to terminate that you're 11 making on November 3rd, November 2nd, November the 12 26th, November 4th, the latter part of October. These 13 are all times when you're deciding you're going to 14 terminate the entire -- 15 A. If they had just showed up to work, we 16 wouldn't have even talked about terminating. 17 Q. Okay. I thank you for volunteering. But the 18 bottom line is, you're saying that these individuals 19 don't show up to work. And from what I can tell, as 20 you went through with your attorney, that your time of 21 going to the site is sporadic at best; correct? 22 A. Well, I don't -- I wouldn't say sporadic. 23 Q. Well -- 24 A. We've already -- we'd already determined that 25 there's -- they said that I was only there -- I didn't TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 268 1 show up in December when their reports clearly say 2 that I was there in December. And I maintain that I 3 was there several times when there was nobody working. 4 There was nobody from Robertson Electric, there was 5 nobody from SBS there. 6 Q. And again -- and the issue is if you're 7 believed -- if someone believes you; right? 8 A. Yeah. 9 Q. Okay. Now, you made it a point when you were 10 speaking with Mr. Slates to indicate how concerned you 11 were; correct? 12 A. Correct. 13 Q. You were so concerned you don't document it; 14 right? Right? 15 A. Correct. 16 Q. You have this adverse working relationship 17 with SBS at this point; right? 18 A. No. It wasn't adverse until the very end. 19 Q. In your -- 20 A. Even at the time of termination, I said, "I 21 want to try to get you guys paid." 22 Q. Sir, in your e-mails, you're using profanity 23 that talk about them. 24 A. Well, I mean, that kind of -- in the 25 construction industry, every once in awhile somebody TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 269 1 drops an F-bomb. 2 Q. You're talking that you're going to screw 3 over them. 4 A. I didn't say I was going to screw over them. 5 I said I was going to crush them. 6 Q. Okay. 7 A. And as a college football player, that's a 8 euphemism. Okay. That's -- you know, Rod Lewis is my 9 running back. He's behind me. You're a linebacker. 10 These guys are a linebacker that -- I'm going to hit 11 them as hard as I can. I'm going to pull Rod Lewis to 12 the finish line. That's my job is to protect the 13 owner. 14 Q. Now, when you're talking about the euphemism 15 of football and you're going to crush somebody, it was 16 usually quite literal; right? 17 A. In football it was. 18 Q. Yeah. I was a halfback. I know it was. 19 A. Yeah. 20 Q. So, the bottom line is, what we're talking 21 about here is, the relationship between the two of you 22 had deteriorated. 23 A. Towards the end, yes, it had. 24 Q. And had deteriorated to such an extent that 25 you didn't document it? TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 270 1 A. Well, you know, there was documentation, but 2 I didn't personally document anything about Robertson 3 Electric. 4 Q. When we talk about, again, 14.2.2 where we're 5 addressing the need for certification, you go to 6 14.2.3 and 14.2.4 and you address what else needed to 7 be done, but you totally miss and omit the fact that 8 you never complied with 14.2.2, which you already 9 admitted you didn't do. Right? 10 A. I didn't send out notice. 11 Q. Not just you, but Mr. Grable; correct? 12 A. Correct. 13 Q. So, what you're really saying is, Your Honor, 14 don't hold us accountable to the contract, but hold 15 them accountable. Right? Right? 16 A. No. No. But -- 17 Q. Then you want to be held accountable to the 18 contract? 19 A. Well, as we stated before, we had talked 20 about all these issues. There wasn't any reference to 21 any written notice not being done until just I showed 22 up to here. The first time I heard that. 23 Q. Now, you've not been party to at least coming 24 to court often; correct? 25 A. No. TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 271 1 Q. This is the first time I think I've seen you 2 in court; right? 3 A. I've been in court before. 4 Q. Here? 5 A. Here. 6 Q. Okay. And the record will reflect that in 7 numerous instances, the issue has been noticed on the 8 part of Tri-Bar to put people on notice as to whatever 9 misconduct or failures there have been. So, you're 10 saying that today is the first instance they made you 11 aware of it; correct? 12 A. No. I -- aware of what? 13 Q. The fact that notice was an issue. 14 A. Yes, sir. 15 Q. So, I guess the issue here is whether and to 16 what extent you've been communicating with the 17 attorneys for Tri-Bar. Thank you. I have no further 18 questions. 19 THE COURT: Mr. Clark? 20 MR. CLARK: Oh, I didn't realize I got to 21 go again. 22 THE COURT: You don't have to. Anything 23 that's subject to cross. 24 MR. CLARK: Right. I'm sorry. I just 25 didn't realize I had another shot at it. TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 272 1 THE COURT: Direct, cross, redirect. If 2 y'all read the Rules of Civil Procedure, you'd 3 understand basically what I'm doing. 4 MR. CLARK: I did. I just wasn't -- 5 THE COURT: You have a right to examine 6 on anything Counsel brought up on cross. 7 MR. CLARK: Can I take two minutes to 8 visit with my co-counsel? Because I really didn't 9 realize I had that. I'm sorry, Your Honor, or I would 10 have been prepared. 11 THE COURT: Okay. Take two minutes. 12 MR. CLARK: We don't need a break. I 13 just want to -- 14 THE COURT: Two minutes. 15 (Discussion off the record.) 16 MR. CLARK: I have no further questions, 17 Your Honor. 18 THE COURT: Okay. You can step down, Mr. 19 Pittman. 20 THE WITNESS: Thank you. 21 THE COURT: Yes, sir. Let me ask y'all, 22 how many witnesses more do you have, Mr. Brown? 23 MR. BROWN: We have my client, we have 24 Mr. Kieke, and then myself. 25 THE COURT: And yourself. Okay. How TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 273 1 many do you have, sir? 2 MR. SLATES: Well, it depends on what 3 happened with some more of these exhibits. For sure 4 we will have John Grable -- Mr. Clark may call him 5 adversely -- who is the architect. Matt Martinez, who 6 works with John Grable. Dan Boddie. Steve Mower on 7 the payment of costs associated. And then it looks 8 like we're probably going to have to call Jennifer 9 Swisher and Bob Carnwath, but those will be brief. 10 That will just be to prove up documents that have been 11 objected to. 12 THE COURT: Okay. So, we're talking 13 about nine more witnesses? 14 MR. SLATES: In my case, you're talking 15 about four substantive witnesses and three prove-up 16 witnesses, and then Mr. Clark is going to have some. 17 THE COURT: That was three. That's ten 18 now. Okay. You gave me a three day -- 19 MR. SLATES: Oh, did you say you were -- 20 MR. CLARK: He didn't ask me yet. 21 THE COURT: Okay. How many do you have? 22 MR. CLARK: Dave Morgan, who will not be 23 long. Kyle Kieke, who will be longer. Erick Key with 24 Schulte. And Steve Schiffman and myself and John 25 Maywald. TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 274 1 MR. SLATES: Would it -- and I'm just 2 throwing this out as a suggestion. Would it be 3 helpful to do attorney's fees on submission? It would 4 save us -- 5 THE COURT: Y'all have three days. You 6 said three days and I'm not seeing three days. 7 MR. SLATES: I'm worried about that, too, 8 Your Honor, frankly, given how long today has taken. 9 THE COURT: Yeah. Since you have one 10 witness for one day. 11 MR. SLATES: No. I -- I will say that I 12 think Tom will be the longest witness of the trial. 13 THE COURT: Well, you have to focus 14 because I've got three days, and then you have a 15 mistrial and we do it again. So, focus. We'll see 16 how it goes tomorrow. Okay. We might be working late 17 tomorrow. So, have all your witnesses ready to go. 18 See y'all in the morning at 9:00. 19 MR. BROWN: Yes, sir. 20 THE COURT: Thank y'all. 21 22 23 24 25 TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286 275 1 THE STATE OF TEXAS * 2 COUNTY OF KENDALL * 3 I, TAMI L. WOLFF, Certified Shorthand 4 Reporter in and for the State of Texas, do hereby 5 certify that the above and foregoing contains a true 6 and correct transcription of all portions of evidence 7 and other proceedings requested in writing or orally 8 by counsel for the parties to be included in this 9 volume of the reporter's record, in the above-styled 10 and numbered cause, all of which occurred in open 11 court or in chambers and were reported by me. 12 I further certify that this reporter's 13 record of the proceedings truly and correctly reflects 14 the exhibits, if any, admitted by the respective 15 parties. 16 I further certify that the total cost of 17 the preparation of this reporter's record is $________ 18 and was paid/will be paid by ________________________. 19 WITNESS MY OFFICIAL HAND on this, the 20 day of , 2015. 21 22 ______/s/___________________ TAMI L. WOLFF 23 Texas CSR 5833 Expiration: 12/31/15 24 Kendall County Courthouse 201 E. San Antonio, Suite 212 25 Boerne, Texas 78006 (830) 331-8286 TAMI L. WOLFF, C.S.R. PHONE: (830) 331-8286