Mrs. Robertson. Yes; when I completed the letter.
Mr. Hubert. Normally, you would have left at 4:15?
Mrs. Robertson. Yes; and I am saying that I didn't run too much after 4:15—the point of it—now, exactly what time I started on that—I don't know.
Mr. Hubert. Normally, how long would it take you to get to your home from your office?
Mrs. Robertson. Well, you see, if I leave at 4:15 I make a little better time than if you wait until 4:30 because the more traffic starts then, and it's hard to say exactly, but I go on the freeway, and it's probably 20 minutes and if it's heavy traffic probably 25—you know what I mean?
Mr. Hubert. Would it be fair to state, then, that you probably left at about 4:30?
Mrs. Robertson. I would assume so. Now, I'm not saying to the very minute or anything like that, but I am saying that approximately—if it was after 5 o'clock, it was very shortly after when I got in the car, you know, I did not run what you would call late by hours or so.
Mr. Hubert. Now, I'm going to show you two documents, but I want to identify them with reference to your deposition, so I am marking a document which has been already identified as Commission Exhibit No. 838, as follows: "Dallas, Texas, May 28, 1964, Exhibit No. 1, of the deposition of Mrs. Mary Jane Robertson," and I am signing my name below that, all of which appears in the left margin, and I am doing precisely the same to the other document, which bears the identification, Commission Exhibit No. 709, except that I am marking this as Exhibit No. 2 of the deposition of Mary Jane Robertson, signing my name to that.
Now, Mrs. Robertson, I would ask you to look at Exhibit No. 1 and Exhibit No. 2 which are identified and ask you if that is the letter to which you have previously referred as having been written or typed by you for Lieutenant Revill?
Mrs. Robertson. I didn't this—because I know nothing about this down here [indicating].