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Amnesty HearingsType AMNESTY HEARINGS Starting Date 07 October 1999 Location DURBAN Day 8 Back To Top Click on the links below to view results for: +jim +richard Line 1Line 5Line 80Line 81Line 82Line 84Line 85Line 87Line 89Line 91Line 93Line 95Line 97Line 99Line 101Line 104Line 106Line 108Line 110Line 112Line 116Line 118Line 120Line 126Line 128Line 130Line 132Line 134Line 136Line 138Line 145Line 147Line 149Line 151Line 153Line 155Line 157Line 161Line 163Line 165Line 167Line 173Line 175Line 178Line 179Line 181Line 182Line 183Line 184Line 185Line 186Line 188Line 189Line 191Line 193Line 214Line 224Line 303Line 304Line 311Line 319Line 321Line 322Line 323Line 325 CHAIRPERSON: Yesterday it was indicated by Mr Richard that he would like to put some further questions to Mr McBride. ADV PRIOR: Mr Chairman, with leave of the Panel, may I complete my questioning and then I do have a few other aspects. CHAIRPERSON: Sorry Mr Prior. Yes, perhaps that would be better if you finish yours first and then Mr Richard can continue. ADV PRIOR: Thank you, Mr Chairman. CROSS-EXAMINATION BY ADV PRIOR: (cont) Mr McBride I need to, just for the sake of completeness, refer to the book "Till Babylon Falls". Possibly at the end of the day nothing much may turn on it, but there is information I think which requires possibly a comment from you or an explanation from you. You indicated yesterday that you had the book. You had consulted with the author on many occasions. Did you ever at any stage bring to his attention, or to anyone's attention that some of the material in the book was erroneous, factually incorrect, or just purely fiction? MR McBRIDE: No I didn't bring it to his attention. ADV PRIOR: I see you have the book in front of you. MR McBRIDE: That's correct, Sir. ADV PRIOR: Mr Chairman I have provided a bundle of extracts to all the interested parties and I do have a photocopy version. There is one before the Panel. MR McBRIDE: Sorry Sir did you include page 271 in that? ADV PRIOR: Yes, 271 is also there. ADV PRIOR: Obviously, feel free to refer to any other pages in the extract that you would want to bring to the Panel's attention. At page 225, about half-way through the page - I do apologise, there were only four copies made - there's a portion in quotation marks, it is after the paragraph that says "Robert could not shake off this feeling of horror. I was in a state of shock. Before I was just carrying out an operation. The effects only hit me later when I was not hyped up, then the emotions came in and I felt bad. I felt terrible, I felt disgusted with myself and ashamed. I felt I would never be forgiven." MR McBRIDE: Yes, I have that, Sir. ADV PRIOR: Do you wish to comment on that? MR McBRIDE: That would sum up the feelings I felt after realising the enormity of what happened. ADV PRIOR: And that's what you conveyed to the author? MR McBRIDE: I'm not sure if I conveyed it or someone else conveyed it. ADV PRIOR: Then the portion in quotation marks "Before I was doing it for the army, for the freedom of the people. The very planning and the act of placing the bomb distanced me. It was mechanical. It was like the bomb did it and I only pulled the pin. At the time it was quite practical, something to carry out. Afterwards I realised the enormity of the whole thing. The humanness of the suffering came to me. If they had been soldiers, it would have been a legitimate target. Civilians were not a legitimate target. Because they were women, I felt it all the more. I felt I was stooping to the same level as the enemy. I was worried all the time. I was irritable and upset." MR McBRIDE: I think there are subtle differences and nuances in the semantics there, which are different to what I am saying now. ADV PRIOR: But the ...(intervention) CHAIRPERSON: Sorry Mr McBride, before you answer the question, I see from what Mr Prior has read out, that this is put in quotation marks. Was that a quotation given by you to the author? MR McBRIDE: I don't recall giving the author such a quotation. ADV PRIOR: Alright. There's just one other portion I wish to refer to, that was at page 134. It regards the Klein Attack. The second paragraph on page 134 of the extract from the book is as follows "Discussing potential targets, Robert had suggested the Casspir, a squat armed patrol vehicle which passed down Oval Road at 10.30 every night. Instead Matthew and Antonio decided to attack the home of Mr Klein, a local headmaster, whom they regarded as an apartheid stooge." and so on. Would you agree with that passage? MR McBRIDE: Which particular part? There's a number of statements made. ADV PRIOR: Alright, shall we dissect it and break it up? ADV PRIOR: Alright the first portion "Discussing potential targets, Robert had suggested the Casspir." MR McBRIDE: The Casspir was one of the targets which we had discussed about. ADV PRIOR: The spin that's put on it is that instead of the Casspir, which you had suggested, they chose the Klein household? MR McBRIDE: That is not 100% correct. There were a number of targets. ADV PRIOR: Would you agree with this proposition that Mr Klein could have been attacked at any stage when he was alone? There were probably numerous situations on which Mr Klein would have been alone, not with his wife and he could have been safely attacked in that situation. MR McBRIDE: Yes, the difficulty I have with answering that is I could envisage a situation where someone shoots at him, where the people carrying out the attack would be known to the general community in which Mr Klein moves and operates. They will therefore not be able to retreat successfully after completing the operation. They were issued with hand grenades, that's what they were given. ADV PRIOR: There's just two last aspects I need to get clarity on. I understand fully the evidence you gave yesterday that there were cogent reasons why certain statements and certain evidence was tendered during your criminal trial. If I may just get clarity on the following aspect. Was it your own decision to indicate to the court that the initial target was the Hyperama House and Home building and at that very late stage, you had been persuaded to bomb the Why Not bar on the suggestion of Matthew Lecordier? MR McBRIDE: What I had known was that, in order for us to stand a chance of winning on extenuating circumstances, firstly I had to discredit Matthew and whatever he was saying and I knew he was under pressure, I knew he wanted to get the thing over with, so I instructed the lawyers to ask him certain questions and asked him in a particular way, so that he would agree, because I noticed he never looked at me in court at all, he was almost like an automaton. At one stage we even discovered that one of the counsels for the State was visiting the day before and gave him a statement again, even though he was under cross-examination, so I realised that Matthew was telling the story as had been suggested to him, so he wouldn't apply his mind carefully to questions given by my counsel. ADV PRIOR: I hear what you're saying. I just, more specifically the version that your initial target on the evening was the Hyperama...(intervention) MR McBRIDE: Oh yes, that came from me, all of that, Sir. ADV PRIOR: And that was not - was that before you went into the trial, or was that on the spur of the moment while Matthew was being cross-examined that was put to him? MR McBRIDE: From the time I came out of solitary confinement in November, I had requested a number of books from my lawyer, dealing with legal precedents, what is involved in such a case. I'd never faced such a case before and the legal principles behind that. During November I started issuing instructions. ADV PRIOR: Yes, I'm just trying to understand why ...(intervention) CHAIRPERSON: You say that November ... CHAIRPERSON: That's before the trial? MR McBRIDE: Yes, that's right. ADV PRIOR: I just need to understand. Was it your belief that, if you could attempt to persuade the court to accept that it was Lecordier who had ultimately chosen or persuaded you as the Commander of the unit, to choose the Why Not as a target, then you stood a better chance of escaping the death sentence, is that what...? MR McBRIDE: Well it would bring other aspects in regarding extenuating circumstances. ADV PRIOR: Alright, in other words ...(intervention) MR McBRIDE: In terms of the test then for extenuating circumstances, with the premeditation involved in any instructions given, there was no chance I would get it and so I had to use resources available to me and one of them was Matthew, was a witness under stress. ADV PRIOR: Alright. And for those reasons, you have already conceded that certain distortions of facts and of the truth were presented to the Supreme Court? MR McBRIDE: Yes, that's correct. ADV PRIOR: Mr Chairman, with your leave, just one other aspect. I know I indicated that I was not going to ask on any other aspect, but there is an interest from the Commission's point of view in special regard to the East Rand events. Mr McBride, there's just a few matters surrounding that particular aspect of your amnesty application. You said arms, weapons, ammunitions were supplied to SDU by yourself. Where did you draw these from? In other words, who supplied them to you? MR McBRIDE: I got them from Rashid and from Ronnie Kasrils. ADV PRIOR: And was there any record kept of precisely what you drew from them and what was handed over? MR McBRIDE: No Sir, my previous experience showed me quite clearly, you keep records, that's evidence against you in future, so I didn't keep records. ADV PRIOR: Are you able to tell the Committee more or less, or an estimate of the quantity of munitions, equipment, material that you supplied to the SDU's on the East Rand? MR McBRIDE: I've got an idea. It's about between 20 and 40 AKs, I think it's about 6 Makarov pistols, hand grenades, about 50 and ammunition for all of that, yes. CHAIRPERSON: And Mr McBride you said that you were also later involved during the amnesty relating to the possession of firearms in collecting back firearms. What sort of success rate, bearing in mind these numbers you've given now? Obviously you couldn't collect back an exploded grenade, but in regard to the AK47s, the Makarovs and perhaps any grenades that weren't actually used, how many? MR McBRIDE: Yes, if I remember correctly, it wasn't as successful as we had wished it to be, but a significant amount of the stuff that was handed out by us, was handed in to the police. On one occasion, I went and collected stuff myself from people and took it to the police station in Katlehong. ADV PRIOR: Thank you. What you recovered, was it in any way near what had been handed out? In other words, what I'm asking is, does there remain a substantial amount of weaponry in the hands of former SDU members? MR McBRIDE: Well, just to explain it to you so that you understand how the amnesty went on. The amnesty was that everybody had to report to the nearest police station and hand over the weapons and they could send somebody else to hand it over, so I didn't keep records of serial numbers, so I don't know at which stage the guys I worked with handed over or if they gave it to somebody else and handed stuff over to them. ADV PRIOR: Do the names Pungose Ceba, or that name, does that mean anything to you? MR McBRIDE: Yes, that is one of the apartheid spies who influenced one of my SDUs to - well at that stage I was in prison still, but I'd got to know the guy who was part of the SDU command and I met him in prison, he influenced him to carry out an attack. Ceba was never found or charged by the apartheid government. MR McBRIDE: That's the man I'm talking about, I met him in prison. When the attack was carried out, I was in jail. ADV PRIOR: And the Khumalo gang? MR McBRIDE: The Khumalo gang is an Inkatha aligned gang that reigned terror upon the community of Thokoza and possibly were involved in the killing of Sam Ntuli. ADV PRIOR: And were, was part of the arming of the SDUs by yourself, to negative that influence, the Khumalo gang in particular? MR McBRIDE: Yes, to counter that because you see there's a trial going on today where Temba Khosa was one of the people issuing weapons to people at that stage, or at least that's the reports we received from Eugene de Kock and yes, that's why I supplied the weapons. ADV PRIOR: Thank you, Mr Chairman. NO FURTHER QUESTIONS BY ADV PRIOR CHAIRPERSON: Thank you Mr Prior. Mr Richard. MR RICHARD: Thank you. Thank you to the Chair and the Committee for letting me continue my examination today. FURTHER CROSS-EXAMINATION BY MR RICHARD: Vis a vis the Klein family, as you know from Exhibit A7, the affidavit of Mrs Klein, her particular question ...(intervention) MR McBRIDE: Can I just find it please, Sir? CHAIRPERSON: What's the reference, Mr Richard? MR RICHARD: The reference is Volume or Exhibit A7. It consists of a one page affidavit by Mrs Klein, to which is attached various medical records. MR McBRIDE: Is that the one with the hand-written note at the bottom, Sir, saying: "I would like a private hearing, not a public one?" MR RICHARD: Now, if you read that, you will note that her particular interest is, why was she a target? In Exhibit D, I understand what you have said. You say that you supplied the weapons but did not know of the target that was to be attacked. Is that correct? MR McBRIDE: Yes and I also said that if I knew the target, it would have been a legitimate target. MR RICHARD: Now, my question was, you didn't know the target, or did you know the target? Your answer is: "No, I didn't know the target." Now my next question is: Was there any discussion of the type of target that your co-applicants for amnesty might have attacked that time when you gave them the weapons? MR RICHARD: To what effect was that discussion? MR McBRIDE: Collaborators, Security personnel. MR RICHARD: Did they describe the category of collaborator that they might be planning to attack? MR McBRIDE: I think we discussed people who were in the police reservists, Labour Party stooges and things like that. MR RICHARD: Now did you ask them whether they had conducted a reconnaissance, whether they had investigated what sort of - the target that they were going to attack? MR McBRIDE: I don't recall asking them. I probably would have discussed something and gone over the care that should be taken, to make sure they get away safely. MR RICHARD: Would you have said something like: "If you are going to attack a member of the Labour Party, be careful not to attack his children." Something like that? MR McBRIDE: In that regard, I don't recall having said that. I may have said it, I can't remember now. The only equivocation for me where children were involved, came at a very later stage in my operations. MR RICHARD: So that means, if you had known, what you say you didn't, that the grenade or grenades was going to be thrown through somebody's bedroom window, it wouldn't have mattered whether it was his wife or his children that were in that room with him? MR McBRIDE: According to the policy there's unfortunate casualties of cross-fire. MR DEHAL: Sorry, Mr Chairperson, I don't understand the relevance. There were no children involved in this operation. CHAIRPERSON: No, but I think what Mr Richard is getting at is Mrs Klein was involved, who wasn't a target. I think he's generally talking about care taken in cross-fire, whether they knew children were there or not. MR RICHARD: Thank you, Chair, I did not say that children were involved, I said "if". So the impression I gain and I ask you this question: What guidelines of target selection did you give your subordinates in your unit? MR McBRIDE: I gave them exactly the same guidelines that Rashid had given me when he said we should move towards arming the masses and attack collaborators. MR RICHARD: Did you give them any guidelines as to how they should attack collaborators? MR McBRIDE: They should kill them. MR RICHARD: Did you give them any direction as to when and when not collateral casualties, as is now the term, would be permissible or not permissible? MR McBRIDE: I don't recall that. If I remember correctly, the targets they mentioned that they would attack would all be armed people, including Mr Klein and that they should be careful that they can retreat without injury to themselves. I remember also saying "Don't throw it on the wall because it will bounce back at you and you'll get hurt". Those are the most important things that stick out in my mind now. MR RICHARD: Did you give them any criteria as to how they should select their target? MR McBRIDE: If I did, it would be just in line with what Rashid had said, I don't recall specifically anything different, which I added to the instructions and guidelines to them. CHAIRPERSON: But you did say earlier that you said that they should attack Security Force personnel and collaborators. MR McBRIDE: Yes, Sir, that's correct and they were given hand grenades. MR RICHARD: Did you know Mr Klein? MR McBRIDE: Yes, I knew Mr Klein. MR RICHARD: Did he know you by name? MR McBRIDE: Yes, he knew me. I was a student teacher at his school for about 3 weeks at some stage. MR RICHARD: Now we know that you did not know that your subordinates were going to attack Mr Klein, but if you had known what sort of attack they intended, would you have had anything to say to them? MR McBRIDE: Well, with regard to the people we called the military wing of the Labour Party, I would have expected they would have gone for Clyde Pearce first, because he was the most aggressive of the lot. JUDGE PILLAY: Did the Labour Party have a military wing? MR McBRIDE: That's how we called them, because they walked around with guns and terrorised people. JUDGE PILLAY: How many were there? MR McBRIDE: Well it was that group, there were about 5 of them, but that's what we referred to them as, because of the way they terrorised people. MR RICHARD: Was Mr Klein one of those 5? MR McBRIDE: Oh definitely so. Mr Klein, for example, would fire, do target practice in his back yard, so that everyone knows he's got a gun and they're armed, that's in a build-up area. MR RICHARD: Now to Mrs Klein when she asks the question: "Why me?" MR McBRIDE: I think she's being a bit naive there really. MR RICHARD: Is that what you would like to say to her? MR McBRIDE: I'm saying yes, if that's her attitude, then she's naive. MR RICHARD: Other specific victims. One victim of the Parade Hotel event was Rajess Dalcurren. He was a young man then, walking in the street at the time and was not in either of the hotels or restaurants but crossing the road and he was injured. His question is, did you take people like him into account when you set the bomb to go off outside the Parade Hotel? MR McBRIDE: I'm not sure what he means by that, if there's a difference between him and anybody else injured in the cross-fire. MR RICHARD: Like him, not him specifically, in other words ...(intervention) MR McBRIDE: I don't know what you mean. MR RICHARD: He is saying that he was a pedestrian in the street, walking around in that area at the time. Did you take that factor into account when you set off the bomb? MR McBRIDE: I've already testified to that and I said I went back to Rashid and asked him about that. I think it's about maybe the 10th time now I've said this in this hearing. MR RICHARD: Now ...(intervention) JUDGE PILLAY: Tell me, that incident, JUDGE PILLAY: Was that the first time you embarked or proposed to embark on an operation where civilian life was threatened? JUDGE PILLAY: And that is why you discussed it with...(intervention) MR RICHARD: We go to another group who were in the Magoo's as opposed to the Why Not portion of the establishment known as the Parade Hotel. There, one Paula Harvey, was sitting at a table together with other classmates of hers who had recently completed an exam. They were still in matric at the time. Did you foresee that someone like this particular person, who was one of the most seriously injured of all the injured, in fact nearly died, might be inside the Magoo's part of the complex when you set the bomb? MR McBRIDE: Sir, I think my answer is the same as the previous - is the same as the answer I gave for the previous one. MR RICHARD: Well, what is the answer? Yes or no? MR McBRIDE: The answer is yes and you've heard it. MR RICHARD: So your answer is yes, you did foresee that ...(intervention) MR McBRIDE: Yes, I did and that's why I was sentenced to death. MR RICHARD: Now, there's another document where I have a G turned to an H, it's a letter from the African National Congress to the Chairman of the Indemnity Committee dated 25 April 1991 and it's signed pp Alfred Nzo, the then General Secretary. It was distributed a few days ago by your legal representative. MR RICHARD: Now, that letter says: "This is to confirm that Robert John McBride is a member of Special Ops, Umkhonto weSizwe". Then it goes on in the second paragraph to say: "At all material times hereto Mr McBride acted under the command and instructions of his superiors in Umkhonto weSizwe." So now that means, I am correct in saying that even as early as 1991 it was on record that your version, as put up in the trial, that you acted on your own was not so and that, in fact, you were acting under instructions. Am I correct in making that statement in relation to this? MR McBRIDE: I think there's a bit of a jump in logic there. If you would say to me that they were aware that the operation was an MK operation, I'd say yes. If you say as a result of it, that my trial version was not correct, they knew, then it's a different question. MR RICHARD: Now ...(intervention) CHAIRPERSON: This letter is a little bit confusing standing alone, because it's just two paragraphs and it says that "all times material hereto" and you don't know what times those are referring to, because normally when that phrase is used, it means the times or the occasions referred to in the same document, which don't exist. MR RICHARD: Do you know at whose request this letter was prepared? MR McBRIDE: Yes, it was prepared at my request for my indemnity application. I think if I remember correctly I'd just come off death row and there was the Indemnity Act and I'm not sure if the Further Indemnity Act was out already. CHAIRPERSON: I think that was the first one. I think, as far as I can recall, the second one came in 1992. MR McBRIDE: Yes, so we were still applying for amnesty and in the whole agreement, what had happened was they did not take into account people on death row in the agreement that was signed and therefore there were problems at a later stage. MR RICHARD: Did this letter, Exhibit H, form part of your application for indemnity? MR McBRIDE: Yes, that's what it's meant for and you can see who it's addressed to. MR RICHARD: What act were you applying for indemnity for? MR McBRIDE: For all aspects relating to my activities on behalf of the ANC. MR RICHARD: Was the Parade Hotel event included in that application? MR RICHARD: Did this letter refer to all the acts, or only to the Why Not/Magoo's events? MR McBRIDE: It referred to all what I applied for, I can't remember now. I just want to remind you, this is 1991, I don't think even Rashid was back in the country then, people were still scattered all over the world as a result of apartheid. People hadn't come back yet, so if you're going to look at this letter by itself to give you any indication of whatever you want, it's ... (indistinct) really old water. CHAIRPERSON: But as far as you can recall, Mr McBride, you applied for indemnity in terms of the Indemnity Act in respect of ...(intervention) CHAIRPERSON: All the operation, all your operations and activities. MR McBRIDE: I think I listed them count for count for the indictment. There was still at this stage, there was still an arms struggle. There was still, it had only have been suspended, in fact there was still a war. We had only had just a truce with the government. Please bear in mind all those things when you ask questions about this. MR RICHARD: When did the African National Congress first acknowledge that you were acting under direct orders to carry out the event that has now become known as the Why Not/Magoo's car bomb? MR McBRIDE: When it became necessary for whatever reason or reasons of negotiation, to do so. MR McBRIDE: I cannot remember, probably during the same period. Before then, the ANC was banned and I was in death row. They wouldn't do anything to endanger my life. MR DEHAL: Sorry Mr Chairperson, I'm at a loss to understand what the relevance of this is. MR RICHARD: Yesterday in his evidence, Mr McBride made the comment in relation to page 76 and page 77 of bundle, or volume A1, that the affidavit filed by Mr Ismail was the first time, the fact that he was acting under direct orders, been acknowledged, if I recall correctly. MR McBRIDE: Let me just remind you about something which might help you. In 1987 or 88 the ANC was negotiating with the Zimbabwean government for exchange of prisoners. Myself, including Sharpeville 6 were on the list and three other comrades who were on death row with me, to be changed for the apartheid spies who were sent over to do sabotage in the neighbouring states, so that is an indication the ANC was already embracing me at that early stage, when I was on death row, as one of their own. MR RICHARD: I then ...(intervention) JUDGE PILLAY: Does it matter, Mr Richard, when that acknowledgement was made, unless you're saying it was never made? MR RICHARD: When it comes to argument as to the value and relevance of the various reports, including the evidence referred to by Mr Dehal yesterday at the Armed Forces hearing, to have the chronology is correct is of importance in the argument, but I have the information that I need. So, my next point related to the Edendale Hospital escape. I don't think we understood each other clearly yesterday. The situation that we find ourselves in there can be summed up this way: There's a conflict between the factual versions put up by you and by Mr Visagie. Now I outlined Mr Visagie's version yesterday. Now, Mr Visagie's attitude is simple. He wanted me to make sure that his version was put into the record of these proceedings, this Hearing and to see whether we could resolve the conflict between your version and his version. My question there is: If Mr Visagie's attitude to amnesty is as outlined, would your opinions of his version of the facts change? MR DEHAL: Mr Chairperson, I did not want to object earlier. My difficulty is whenever I do, Mr Richard says I should have rather waited until he finished his question. I've heard his question now fully. This morning when Mr Richard and I talked, he explained to me that he had approached the Panel in chambers and sought permission to have a second bite at the cherry. He led me to believe that this would be confined to the Klein issue. I see that he's traversed on the Why Not aspect and now on the Edendale aspect. A level of latitude I concede is necessary, but I think this is now getting a little too far. The Edendale aspect, pertinently to this question, was raised yesterday, answered yesterday. I in fact objected at some level even yesterday to this aspect and I think this is now the third, perhaps the fourth bite to the cherry. CHAIRPERSON: We've had that exact question already put I think, Mr Richard. MR RICHARD: I have done what Mr Visagie wanted and put his version to the witness and asked for comment and I think we have the answer. CHAIRPERSON: Because yesterday Mr McBride disputed Mr Visagie's version about him not having yet drawn his arm before he was shot. MR RICHARD: Thank you Chairperson, no further questions, if I'm not going to go down the Edendale conflict of fact. NO FURTHER QUESTIONS BY MR RICHARD MR RICHARD: I don't think it will take us any further to really go any further than I've done. CHAIRPERSON: You did place on record that there is that conflict. So have you finished now? MR RICHARD: I have, Chairperson, thank you, I am indebted for the indulgence. CHAIRPERSON: Thank you. Mr Dehal, do you have any re-examination? MR DEHAL: Yes, Sir, but very briefly. Thank you. RE-EXAMINATION BY MR DEHAL: Mr McBride, yesterday you talked about your politicisation within Wentworth, you refer to Allan Taylor and you refer to Setchabas that you received, you listened to Radio Freedom, etc. Would you explain what Radio Freedom is and how these aspects, all three put together, politicised you? CHAIRPERSON: Also, just for record purposes, Allan Taylor's residence, was that a students' hostel at the Medical Faculty of the Natal University? MR McBRIDE: Yes, Sir, first year and at a stage previously second year medical classes were held there also. MR McBRIDE: But students from other faculties lived there also. CHAIRPERSON: Yes, thank you, I just wanted that for record, so it wasn't confused with a Mr Taylor's house, or something like that. MR McBRIDE: Radio Freedom was with - the official policy release of the ANC which was broadcast from various neighbouring countries. MR DEHAL: Known as the Voice of the ANC in Exile? MR McBRIDE: That's correct. It was quite militant, it usually started off with automatic weapon firing. MR DEHAL: Thank you. Yesterday you were questioned in regard to the Chamberlain Road incident, about the photograph of the person, the injured person, who arrived here, with whom you've reconciled and whose photo features on a newspaper cutting. MR DEHAL: Now you were questioned about whether there were any contacts with journalists etc. Can you venture a reason, or some explanation, how that photo might possibly have come in? MR McBRIDE: Well, as I already have said ...(intervention) CHAIRPERSON: I think he said that already, he said that journalists sometimes had illegal access to the police radios and they often followed police when they were on the go, but if there's anything you wish to add. MR McBRIDE: I just will add that perhaps the police themselves took the photo, because they usually went on investigation with video cameras and still cameras. MR DEHAL: And in this case, in the Chamberlain Road Issue, the first explosion had gone off and the Security Police had arrived at the scene, surely with those cameras and video cameras, you say? MR McBRIDE: I would imagine they would have had it with them. MR DEHAL: Your question at length by Mr Richard about various categorisation and groupings of the incidents, you mentioned in your testimony that you would regard them all as MK operations. Apart from that general categorisation, would you be able to categorise them any differently, or venture to categorise them as Mr Richard suggested? MR McBRIDE: They were all legitimate targets and all carried out under the instructions and auspices of the ANC and Umkhonto weSizwe Special Operations Command. MR DEHAL: Thank you. In so far as the Why Not operation is concerned, is it correct that when you got to Botswana to obtain all the bomb material for this operation, you knew and had settled in your mind that the intended target was Why Not bar? MR McBRIDE: It was not finalised until the stage where Rashid gave formal instructions after I discussed with him, so if Rashid had said "No, don't go ahead with it because of the problems you'll raise", I would not have gone ahead with this. JUDGE PILLAY: I think the question is designed to establish whether the idea of bombing of the Natal Command had already been abandoned by then. MR McBRIDE: Yes, it had been abandoned very early on, although it was re-discussed at a later stage again. JUDGE PILLAY: And at that stage, when you collected the material, that the Why Not Bar was a prospective target. MR McBRIDE: Yes, that was quite clear. MR DEHAL: Thank you, Judge. And at the time you collected all the stock for the car bomb, the command, the persons in command in Botswana knew that it was a car bomb that it was intended to be used for, that it was intended for a bar, that it was intended to go off on the 14th of June, but did not know of Why Not as the target? MR McBRIDE: I'd agree except to re-emphasise a bar frequented by Security Personnel. MR DEHAL: Thank you. To some extent you were question by Mr Richard about, again on the Why Not Operation, the occasion when you caused the blue Ford Cortina to be parked outside Why Not and whether you had looked up to see who was walking about, the people on the street, etc. You said you were too busy, you did not. Now even if you did look and let's presume you saw plain clothed people, would you have known whether they were police persons in plain clothes? MR McBRIDE: No, I wouldn't have. MR DEHAL: And you mentioned something to the effect that you had placed the bomb in your vehicle, closest to the Why Not. Can you explain that? MR McBRIDE: Well, in the bigger picture, I don't know if it makes much difference, I placed it on the left side so the centre of the explosion would be as close as possible, the closest possible position to the Why Not. MR DEHAL: And the left-hand side would have been closest to Why Not? MR McBRIDE: That's correct, I have already said so. MR DEHAL: Thank you. Now this explosion occurred on Saturday night, you said at about 9.45 p.m. MR McBRIDE: That's correct, yes. MR DEHAL: From your experience of the Marine Parade and particularly that area where Why Not is, on a Saturday from about what time to what time would you estimate is the busiest period? MR McBRIDE: Really, I don't even want to speculate on that. From what I recall is at a stage, it's normal in any country after a certain time people go home and it's not busy on the streets. The bar was usually busiest at that time with police from Intelligence Gathering, between quarter past, half past Nine, that's when the recces were held, between Nine, sorry and half past Nine. MR DEHAL: And finally in regard to the 69 alleged injured persons, they had not testified in your trial, or 90 % or 99% of them had not testified in your trial, so you had not had the opportunity to test whether any of them are in fact Security Police personnel or civilians, is that correct? MR McBRIDE: That's correct, yes. MR DEHAL: Is it not correct that during your trial endeavours were made to look at the docket, to establish by looking at the statements of the injured, who they were, what the record was, but you failed? MR McBRIDE: That's correct. If I recall those were my instructions to you then. MR DEHAL: And you subsequently instructed me, prior to this TRC proceeding beginning, to try and obtain your docket, but we've learned that your docket has gone astray, it's missing. MR McBRIDE: Well, the docket has gone missing, as, I think Mr Prior indicated at some stage. MR DEHAL: Thank you. Thank you, Mr Chairperson, that is all. NO FURTHER QUESTIONS BY MR DEHAL CHAIRPERSON: Thank you. The Panel will now ask some questions. Yesterday I received a letter from the father of a victim who has asked me to put some questions, which I think I'll do. He says in the letter that, amongst other things, that he's attended here, but he's stopped attending the hearings and whatever we decide as to whether Mr McBride gets amnesty or not, he'll accept the decision, but the questions posed are, he's just summarised them and he says the emphasis has been placed on the fact that the bomb at the Why Not was detonated on the 14th of June 1986 because of the significance of the date, it being the anniversary of the raid carried out by the South African Defence Force in Botswana, which resulted in the death of a number of people who weren't combatants and also because of its proximity to June the 16th, now he asks: Does this not indicate that the bomb was a reprisal attack in the first instance and that the killing of Security Force Personnel would be nothing more than the cherry on the top, a bonus? MR McBRIDE: To my knowledge that is incorrect. CHAIRPERSON: Are you saying what - it would be a bit of both, or... MR McBRIDE: I can only say, Sir, what I've been told and the instructions I'm aware of and the reasons given to me by my Commander. I'm not aware of anything else. CHAIRPERSON: And then he asks: Was it ever considered to ambush Security Force personnel when they were returning from the pub back to their barracks at CR Swart, perhaps when their guard is down, when they're not alert, they're coming back? Was that ever considered, to ambush them? MR McBRIDE: All of that was considered, the problem was I was given material for a car bomb and instructed to do a car bomb. CHAIRPERSON: Yes. Or to put, and he goes on further, to place a booby trap vehicle with a car bomb in the parking area of the police residences at CR Swart? MR McBRIDE: Yes, I've indicated all aspects have been looked at and all suggestions were made at various occasions. I was given a car bomb. CHAIRPERSON: Yes, and lastly, he asked: Was it ever considered or was it ever taken into account that a state of, a national state of emergency was declared on the 12th of June? MR McBRIDE: No, Sir, it could not have been because I was somewhere between Botswana and Durban when the national state of emergency was declared, it had nothing to do with my instructions. CHAIRPERSON: Yes. No, no, but this question was, the fact that it was a national state of emergency, if your reconnaissance relating to the attendance of policemen going to the Why Not was done prior to that, would one not expect that because there was a national state of emergency, that Security Force personnel would be on duty, rather than in a bar? In other words, they would have been required to have been on duty, more of them would have been required to be on duty, merely because it was a state of emergency and so the prospects of there being fewer policemen in the bar at that time, because of the state of emergency, was that a factor taken into account? MR McBRIDE: I cannot recall it being a factor taken into account prior to the act. CHAIRPERSON: Judge Pillay, do you have any questions you would like to ask? JUDGE PILLAY: When last was the last bit of reconnaissance done in respect of the Why Not? MR McBRIDE: Between the two trips, the last two trips, the one where I left off Webster and the one where I went to fetch material for the car bomb. JUDGE PILLAY: Do you recall when the state of emergency was ...? JUDGE PILLAY: After the 12th of June, was there any reconnaissance on the bar? MR McBRIDE: Between the 12th and the 14? No Sir, I had absolutely no...(intervention) JUDGE PILLAY: And you say it never crossed your mind to do so because of the state of emergency? MR McBRIDE: I had two days in which to do it. JUDGE PILLAY: No, I accept that. It just didn't cross your mind to ...? JUDGE PILLAY: One of the applications for amnesty you make is in respect of possession of firearms that you produced and supplied to members of the self-defence Units in Gauteng. Do you know where these arms came from? MR McBRIDE: The arms, as I understand now, it's information received over the years, the ANC had brought in a few tons of weapons which would be kept in caches under Operation Vula. The armaments that were used, they were from Operation Vula. JUDGE PILLAY: And you were provided with some of these to distribute? MR McBRIDE: That's correct, yes. JUDGE PILLAY: And you say high ranking officials provided. MR McBRIDE: Yes, the NEC of the ANC was aware of it also. JUDGE PILLAY: Do you know if any of your seniors who provided the stock...(intervention) JUDGE PILLAY: No, I'm not asking for names, whether they have made application for amnesty? MR McBRIDE: Yes, the people who gave me the weapons...(intervention) JUDGE PILLAY: In respect of those offences. MR McBRIDE: They have applied for amnesty for those offences. CHAIRPERSON: Adv Sigodi, do you have any questions you'd like to ask? ADV SIGODI: Yes there's just one aspect which I'd like to clarify with you. I don't know what the Why Not Bar looks like, but I get the impression that it was in Marine Hotel, is it? CHAIRPERSON: Parade. Just the Parade. ADV SIGODI: So the hotel was above the bar, that is where the residents would stay, above the bar? ADV SIGODI: Is it correct? What concerns me is, did you know how far the bomb would affect the building? When you made the bomb, did you know if it would go up and affect the hotel itself, or did you do it in such a way that it would only affect up to the first floor, or up to the Why Not bar? MR McBRIDE: My understanding was that the way it was constructed with the limpet mine placed on top of the charges, most of the force would be blown downwards and to the left because it was packed on the side. A clear indication of this is the fact that there is a hole in the road, indicating the blast went down and towards the left and not up and any damage that occurred on top, would probably have been from shock waves or any shrapnel going up. ADV SIGODI: So at the time that you made the bomb, did you consider that in your mind? MR McBRIDE: Yes. That's why the limpet mine was placed on top of the rest of the charges, so in other words the blast, the explosion started on the top, the only other way it can go is downwards, where the rest of the explosives are. ADV SIGODI: Okay thank, that's all. CHAIRPERSON: Judge Pillay indicates that he wishes to put a further point. JUDGE PILLAY: When this application first started last week, you were quoted in newspapers and some alleged victims were quoted in newspapers. The impression I got there was that there was so much tension, specially in this area, as a result of the past history of this country. It's gone even to the extent of radio surveys being held as to whether you should be granted amnesty or not. Let us not debate the wisdom of newspaper articles and radio surveys, but in an attempt to stop this madness or hatred in this country, are you able, do you see yourself clear, to try to make peace with the victims? MR McBRIDE: Yes, Sir, I want to do that. I've never been given an opportunity to do it. JUDGE PILLAY: Are you willing to attempt that if the representatives are able to arrange it? MR McBRIDE: Yes, Sir, 100% co-operation I'd give for that. CHAIRPERSON: Are there any questions arising, that have been put by the Panel. MR DEHAL: I have none, thank you. MR RICHARD: I have a comment to make, but no questions, but I'll reserve it until ... MR MALL: I'm not too sure of the procedure. Are the representatives going to address the Panel shortly? CHAIRPERSON: What we're going to do is we're going to hear all the applicants first, before we hear submissions, but I'm just asking whether there's any questions arising out of questions that have been put by myself, Judge Pillay and Adv Sigodi. ADV PRIOR: Nothing arising, thank you. MR RICHARD: Chairperson, with the leave of the Committee and yourself, at this juncture I must make a formal application for the recall of Mr Aboobaker Ismail. When I attempted to cross-examine him on references made to discussions between him and Mr McBride, contained in the Section 29 Hearing transcript, such questioning was ruled out. However, the basis of those, the objection to that questioning can no longer stand. Mr McBride has now given viva voce evidence before us on all those matters. That is all now in the public domain. Whatever the status of the Section 29 transcript or information might or might not be, that certainly cannot play any role in a decision as to whether Mr Ismail should be cross-examined on what Mr McBride has now said. Mr McBride's evidence is very pertinent and simple. He says to sum up, he was instructed as late as a few days before the bomb to go ahead with, what I say very specifically a car bomb, at a hotel, as described, the name might not have been mentioned. It was a specific instruction from him as the High Command of the ANC to carry out that attack and I believe that it is more than appropriate that he, at his level, should now be cross-examined on that aspect and be asked to give us evidence that might have been obtained, had we been able to cross-examine him on matters emanating from the Section 29 information. Thank you. MR BERGER: Chairperson, might I take instructions. I have a response, but Mr Ismail is not here. CHAIRPERSON: I see your client is here. We'll take short adjournment. We did start late, that's why we've gone through tea, but maybe we can have a late tea and just if you can let us know when you're ready. Thank you. We'll take a short adjournment now. MR BERGER: Thank you very much. CHAIRPERSON: Yes thank you. Mr Berger? MR BERGER: Thank you Chairperson. Chairperson in principle, I would submit that Mr Richard has not laid any basis for the recall of Mr Ismail. Firstly the Section 29 proceedings, the order of this Committee still stands that it would not be competent for Mr Richard to cross-examine Mr Ismail on the contents of the Section 29. Secondly, any differences that there may be between the evidence of Mr Ismail and Mr McBride are (a) quite possibly attributable to the passage of time and (b) are, in our submission, more apparent than real. JUDGE PILLAY: Is it correct that he wants to cross-examine Mr Ismail on the contents of the Section 29 statement, because I thought he submitted that at the time of the ruling he was unable to refer to passages in that document, but since then Mr McBride has testified and he elucidated on certain aspects. He now wants to cross-examine Mr Ismail on those aspects as a result of the information gained from Mr McBride, nothing to do with Section 29 statement. That's how I understand it. MR BERGER: Chairperson, that's like getting the Section 29 statement in through the side door, but because of what I have to say next, it's really going to be academic. We do not want there to be any suggestion from any quarter that we are holding back any information and whilst I submit that Mr Richard has not laid a proper basis for the recall of Mr Ismail, Mr Ismail is here and prepared to answer further questions. CHAIRPERSON: Yes, well thank you, we appreciate the approach taken. I don't think there's any need to respond, Mr Richard. MR BERGER: Chairperson, as long as Mr Richard doesn't use the opportunity as a fishing expedition and tries to limit the questioning to what he perceives to be the real issues in dispute. CHAIRPERSON: Yes, which he did basically suggest what he's going to be questioning on when he made his application. MR RICHARD: In that regard, my reply is going to be the discussion between Mr McBride and Mr Ismail. CHAIRPERSON: That's what I understood, relating to the car bomb. Yes. Thank you. |