Q. Has his failure to provide you with the common necessities of life been the result of poverty or sickness and could he have avoided such failure by ordinary industry?
Q. Please state how you have supported yourself.
Q. It is stated in the complaint as a third cause of action that Mr. Jones has been guilty of extreme cruelty to you in the State of Texas and in the State of New York. Please state to the court what his treatment has been to you in the way of using vulgar language to you and calling you vile names.
Q. What occurred at New York City on or about May, 1919, in regard to the conduct of the defendant, in regard to his father and his coming to the hotel in a condition of intoxication.
Q. It is stated that at Waco, Texas, the defendant would drink and keep you awake until a late hour in the morning. Please state to the court the circumstances of his conduct.
Q. What occurred during the winter of 1919 at New York City in regard to Mr. Jones flourishing a loaded revolver and threatening to kill you?
Q. What effect did his treatment of you have upon your being compelled to leave him?
Q. What have you done in regard to endeavoring to persuade Mr. Jones to cease his excessive use of intoxicating liquors, his exhibition of ugly conduct, his vile language, to induce him to resume a normal condition of conduct and treat you with kindness?
Q. What effect, if any, has his habitual gross drunkenness and extreme cruelty—to you had upon your happiness and health, and how has it affected you mentally and physically?
Q. What effect has it had upon the intent and purposes of intermarriage and rendering your life with your husband unendurable, miserable and unbearable?