35 1 knowledge, he can answer that question, because I 2 assume none of the lawyers within the common 3 interest privilege had that direct knowledge. 4 MR. SIMPSON: I'm asking -- for the purpose 5 of the questions I'm putting aside Virginia 6 Roberts and I'm putting aside her attorneys. 7 MR. SCAROLA: Attorneys. 8 MR. SIMPSON: Attorneys. 9 MR. SCAROLA: Attorneys. 10 MR. SIMPSON: Yes. 11 MR. SCAROLA: Not just Virginia Roberts' 12 attorneys, but any attorney sharing a common 13 interest privilege? 14 MR. SIMPSON: No. No. 15 MR. SCAROLA: Okay. Well I'm not going to 16 let him -- 17 BY MR. SIMPSON: 18 Q. Let me is ask this: As of December 30th, 19 2014, were there any attorneys who were sharing a common 20 interest privilege with you as counsel in the CVRA case? 21 Had you entered into an agreement with any other 22 attorney? You have co-counsel, Mr. Edwards. 23 MS. McCAWLEY: Well, to the extent that's 24 going to reveal privileged information about 25 accountant interest agreement, I am not going to ROUGH DRAFT ONLY HOUSE_OVERSIGHT_021858