Exhibit B: Case 1:10-cv-08435-BSJ - JCF Document 56 Filed 08/01/11 51 Pages
Exhibit B: Case 1:10-cv-08435-BSJ - JCF Document 56 Filed 08/01/11 51 Pages
Exhibit B: Case 1:10-cv-08435-BSJ - JCF Document 56 Filed 08/01/11 51 Pages
Exhibit B
UNITED STATES DISTRICT COURT SOUTHERN DISTRICT OF NEW YORK -------------------------------------EDITH SCHLAIN WINDSOR, in her capacity as Executor of the Estate of CLARA SPYER, Plaintiff, -againstTHE UNITED STATES OF AMERICA, Defendant. -------------------------------------(Caption continued on next page.) 10-CV-8435
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UNITED STATES DISTRICT COURT FOR THE DISTRICT OF CONNECTICUT -------------------------------------JOANNE PEDERSEN & ANN MEITZEN, GERALD V. PASSARO II, LYNDA DEFORGE & RAQUEL ARDIN, JANET GELLER & JOANNE MARQUIS, SUZANNE & GERALDINE ARTIS, BRADLEY KLEINERMAN & JAMES GEHRE, and DAMON SAVOY & JOHN WEISS, 310 CV 1750 Plaintiffs, (VLB) v. OFFICE OF PERSONNEL MANAGEMENT, TIMOTHY F. GEITHNER, in his official capacity as the Secretary of the Treasury, and HILDA L. SOLIS, in her official capacity as the Secretary of Labor, MICHAEL J. ASTRUE, in his official capacity as the Commissioner of the Social Security Administration, UNITED STATES POSTAL SERVICE, JOHN E. POTTER, in his official capacity as The Postmaster General of the United States of America, DOUGLAS H. SHULMAN, in his official capacity as the Commissioner of Internal Revenue, ERIC H. HOLDER, JR., in his official capacity as United States Attorney General, JOHN WALSH, in his official capacity as Acting Comptroller of the Currency, and THE UNITED STATES OF AMERICA, Defendants. --------------------------------------
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DEPOSITION OF LETITIA ANNE PEPLAU, Ph.D., an Expert Witness herein, taken by Defendant, pursuant to Agreement, at the offices of Paul Weiss Rifkind Wharton & Garrison, LLP, 1285 Avenue of the Americas, New York, New York, on Friday, June 17, 2011, at 10:40 a.m., before Margaret Eustace, a Shorthand Reporter and notary public, within and for the State of New York.
1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 A. A. Q. A. Q.
L.A. Peplau, Ph.D. Yes, I have. How many times? I have testified twice. Have you ever been excluded as an
these cases? A. Q. A. Q. No, I don't. You have never met any of them? No. I know the answer to this, but I will Are you an attorney?
of sexuality. How do you define homosexuality? Homosexuality isn't actually a term I I would think of it in the terms
would use.
of the broader term of sexual orientation. That is what I addressed in my affidavit. Q. How would you define sexual
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L.A. Peplau, Ph.D. an enduring set of emotional sexual attractions towards men, toward women or toward both. I would as well define sexual orientation as including a person's identity as gay or lesbian or heterosexual or bisexual. And I would also include it under the rubric of sexual orientation related behavior. For
example, forming a relationship with a person of the same sex or of the other sex. Q. Within the definition of sexual
orientation, do you define gay differently from that? MR. BENSON: Object to the form.
variety of ways.
orientation identity labels that some people might adopt. The term is, I think, most
commonly used with regard to men, but it is sometimes used in a generic way to apply to women as well. Q. A. How would you define lesbian? I think of lesbian as an identity
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L.A. Peplau, Ph.D. whose enduring attractions are toward other women. Q. A. How would you define bisexual? Again, I would define it as an
identity label for a person whose emotional and romantic and sexual attraction are towards persons of both sexes. Q. Do different fields of study use
on how philosophy or political science or other fields might define sexual orientation. So I don't have a good answer for that question. Q. What about in the social sciences? MR. BENSON: Object to the form.
definition of sexual orientation that I use and that I am most familiar with is one that is -- has been used by the American Psychological Association, which is our national professional association, it has been used by them in their educational materials
1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 Q.
widely accepted definition within psychology, but I really couldn't tell you what is a standard sociology definition of sexual orientation would be. MR. DUGAN: this marked Exhibit 3. I am going to have This is the APA
answers to your questions. (APA answers were marked as Defendants' Exhibit 3 for identification.) Dr. Peplau, do you recognize this
document? A. Q. A. Yes. What is this document? It's a document prepared by the It is It has
been prepared as an educational material by the APA. Q. I direct you to page 2 of this There is a question that says, What
document.
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"There is no consensus amongst scientists about the exact reasons that an individual develops a heterosexual, bisexual, gay or lesbian orientation. Although much
research has examined the possible genetic, hormonal, developmental, social and cultural influences on sexual orientation no findings have emerged that permit scientists to conclude that sexual orientation is determined by any particular factor or factors. Many
think that nature and nuture both play complex roles. Most people experience little or no
choice about their sexual orientation." Do you agree with this? Yes. And is this a consensus for you
There are many ideas here, but in the main, I think the ideas that the causes of sexual orientation are not understood is an idea that
1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 Q. record.
L.A. Peplau, Ph.D. is accepted by many researchers. Q. Would it fair to say that scientists
don't know what causes a particular sexual orientation? A. Q. I will say that. Paragraph 11 of your expert report
MR. DUGAN:
Yes.
established that homosexuality is a normal expression of human sexuality." What do you mean by "normal" in that sentence? A. What I really mean is explained in
the following sentence, which says, "It is not a mental illness, and being gay or lesbian has no inherent association with a person's ability to lead a happy, healthy or productive life or to contribute to society." I mean it in that way, that homosexuality is part of a wide array of forms of sexual orientation and that there is
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L.A. Peplau, Ph.D. one that suggests that unlike some of the past views that linked sexual orientation with mental health that that is a view that psychologists and I no longer accept. Q. I want to go back to the question of
sexual orientation. Is there a difference between sexual orientation and sexual attraction? A. I think sexual orientation is a
fairly broad term that encompasses many components, and attraction would be one of the ingredients of sexual orientation. Q. Do scientists know what percentage of
have been made based on research projects. So, for example, in the national representative probability sample by Laumann and others, a project I reference, they used people's sexual orientation identity self-definition of being lesbian, gay or bisexual or heterosexual. And according to their data,
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L.A. Peplau, Ph.D. somewhere between 1 and 2 percent of women identified as lesbian, and somewhere between 2 and 3 percent of men identified as gay. think that's a reasonable estimate, using self-identification as a measure of sexual orientation. Q. Have these estimates varied And I
and others, there were certainly estimates that were based on nonrepresentative samples and sometimes those estimate were different. Q. A. Q. You cite Dr. Kinsey's work. Yes. I believe he said that -- he had that
famous 10 percent number about homosexuals. Has that number been discredited? MR. BENSON: Yes. Objection to form.
better understanding of Kinsey's numbers, that Kinsey's sample of men, just where the number
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L.A. Peplau, Ph.D. comes from was not representative, and that it is, I think, now widely believed to have been too large a number. Q. Does the percentage of people who
consider themselves homosexual differ in different areas of the country? MR. BENSON: Object to the form.
representative samples are not differentiated by region of the country. For instance, the
Laumann data are not differentiated by region, so I don't have a basis for answering that question. Q. The term LGBT, lesbian, gay, bisexual
and transgender, what does that term mean? MR. BENSON: Object to the form.
find a shorthand way to talk about people who are not sort of traditionally heterosexual, they will use acronyms. And I think that's
really just a way of saying here are a set of people. For instance, in many colleges there
might be an LGBT resource center for students, and that would be a center that provided
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L.A. Peplau, Ph.D. homosexual acts? MR. BENSON: Object to the form.
person would depend on the goal of the research project. Researchers who are
interested in studying the transmission of sexually transmitted diseases might be particularly interested in studying men who have sex with men regardless of whether they identify as heterosexual or gay. And a term
that is commonly used for that for those men is men who have sex with men, MSM. Q. birth? MR. BENSON: Objection to form. Can sexual orientation be defined at
come to understand their sexual orientation most typically during adolescence, so I would say that looking at a newborn, I would not be able to tell you what that child's sexual orientation is going to be. Q. In paragraph 15 of Exhibit 2, you
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L.A. Peplau, Ph.D. (Copy of paper by Herek Norton Allen and Sims was marked as Defendants' Exhibit 4 for identification.) Do you recognize that, Dr. Peplau? Yes. What is that? This is a copy of the paper by Herek
Norton Allen and Sims that I was referring to in paragraph 25. Q. If I could have you turn to page 186,
which is table 3 of this article. You wrote, "95 percent of gay men experience no choice at all or very little choice about their sexual orientation." Looking at table 3, is it fair to say that nearly 7 percent of gay men felt that they had a small amount of choice in their sexuality and 5.2 percent said that they experienced a fair amount or a great deal of choice in their sexuality? MR. BENSON: Objection to form.
1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 Q.
L.A. Peplau, Ph.D. gay men felt that they had a small amount of choice in their sexuality? A. Q. Yes. And is it fair to say that 5.2
percent experienced a fair amount or great deal of choice in their sexuality? A. Q. Yes. With regard to lesbians, doesn't the
study show that 31.6 percent of lesbian women experience a small amount or a fair amount of choice in their sexuality? MR. BENSON: Compound. I will split that up. Does this study show that 15.2 percent of lesbians experience a small amount of choice in their sexual orientation? A. Q. Yes, that's what the study shows. And does this study show that 16.4 Objection to form.
percent of lesbians experience a fair amount or a great deal of choice in their sexual orientation? A. Q. Yes, that's what this study shows. And looking at the last column there,
1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 Q. shows.
L.A. Peplau, Ph.D. on table 3, if one factors in gays, lesbians and bisexuals, both bisexual men and women, isn't it true that 14.2 percent experience a small amount of choice in their sexual orientation? A. Q. Yes, that's what the table shows. Is it true that 25.2 percent
experience a fair amount or a great deal of choice in their sexual orientation? A. So just so I am clear, what we are
doing here is we are adding in bisexuals, who are people who are attracted to both men and women, and when you do that you find that the percent of lumping together lesbians, gay men and bisexuals who report they have a fair amount or a great deal of choice is 25 percent. And, yes, that's what the table
MR. DUGAN:
(Paper by Greg Herek was marked as Defendants' Exhibit 5 for identification.) Do you recognize Exhibit 5,
Name of Cases: UNITED STATES DISTRICT COURT SOUTHERN DISTRICT OF NEW YORK EDITH SCHLAIN WINDSOR, in her capacity as Executor of the Estate of THEA CLARA SPYER, Plaintiff, v. THE UNITED STATES OF AMERICA, Defendant. (10 Civ. 8435) (BSJ) (JCF) UNITED STATES DISTRICT COURT DISTRICT OF CONNECTICUT JOANNE PEDERSEN & ANN MEITZEN, GERALD V. PASSARO II, LYNDA DEFORGE & RAQUEL ARDIN, JANET GELLER & JOANNE MARQUIS, SUZANNE & GERALDINE ARTIS, BRADLEY KLEINERMAN & JAMES GEHRE, and DAMON SAVOY & JOHN WEISS, Plaintiffs, v. OFFICE OF PERSONNEL MANAGEMENT, TIMOTHY F. GEITHNER, in his official capacity as the Secretary of the Treasury, and HILDA L. SOLIS, in her official capacity as the Secretary of Labor, MICHAEL J. ASTRUE, in his official capacity as the Commissioner of the Social Security Administration, UNITED STATES POSTAL SERVICE, JOHN E. POTTER, in his official capacity as The Postmaster General of the United States of America, DOUGLAS H. SHULMAN, in his official capacity as the Commissioner of Internal Revenue, ERIC H. HOLDER, JR., in his official capacity as United States Attorney General, JOHN WALSH, in his official capacity as Acting Comptroller of the Currency, and THE UNITED STATES OF AMERICA, Defendants. (310-CV-1750) (VLB) Date of Deposition: Name of Witness: Friday, June 17, 2011 Letitia Anne Peplau, Ph.D.
Letitia Anne Peplau Errata Sheet for June 17, 2011 Deposition I wish to make the following changes, for the following reasons:
33:23 I see against relationships of lesbians and gay men. I seewhere it says, The relationships of lesbians and gay men
Letitia Anne Peplau Errata Sheet for June 17, 2011 Deposition REASON: Transcription error
42:1518 All close same sex relationships between friends, relatives, coworkers, acquaintances or others which shall be considered homosexual relationships. Of all close same-sex relationships between friends, relatives, coworkers, acquaintances, or others, which shall be considered homosexual relationships? Transcription error
CHANGE TO:
REASON:
51:35 harms not individuals in legal same sex marriage but gay men, lesbians and bisexuals as a group. harm not only individuals in legal same-sex marriages, but gay men, lesbians, and bisexuals as a group. Transcription error
Letitia Anne Peplau Errata Sheet for June 17, 2011 Deposition PAGE LINE: CHANGE FROM: CHANGE TO: REASON: 57:10 no singular theory no single theory Transcription error
57:24 that is all learning experience that it is all learning, experience Typographical error
59:22 married that the families would accept married that their families would accept Typographical error
Letitia Anne Peplau Errata Sheet for June 17, 2011 Deposition PAGE LINE: CHANGE FROM: CHANGE TO: REASON: Add Q: Typographical error 63:6
71:24 will not effect heterosexual will not affect heterosexual Typographical error
Letitia Anne Peplau Errata Sheet for June 17, 2011 Deposition PAGE LINE: CHANGE FROM: CHANGE TO: REASON: 76:8 they in partners are that partners are Transcription error
Letitia Anne Peplau Errata Sheet for June 17, 2011 Deposition PAGE LINE: CHANGE FROM: CHANGE TO: REASON: 81:24 Fingerhut, et al. Paper Fingerhut, et al. paper Typographical error
Letitia Anne Peplau Errata Sheet for June 17, 2011 Deposition PAGE LINE: CHANGE FROM: CHANGE TO: REASON: 98:6 for trails portrayals Transcription error