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FBI VOL00009
EFTA01107831
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Page 199 1 A. Mario. 2 Q. Okay. And how do you know Mario? 3 A. He was, we met him in South Beach just like 4 with a friend. 5 Q. And who is we met him in South Beach? 6 A. Me and ■ 7 Q. 8 A. 9 Q. Did go on this trip too? 10 A. No. 11 Q. Why didn't she pa? 12 MR. HOROWITZ: Form. 13 THE WITNESS: She, I don't know, she was with 14 her boyfriend a lot. 15 BY MR. CRITTON: 16 Q. Was this after -- this was when you were a 17 sophomore where, at second year at IM? 18 A. I think so. 19 Q. Did go too? 20 A. and .I. 21 Q. she went too. See, l didn't go, but I 22 knew went. 23 A. Actually, yeah, it was birthday. 24 Sony. 25 Q. Oh, it was birthday? Page 201. 1 A. Just every once in a while when I could get 2 away. 3 Q. Where do you stay? Stay at a hotel down 4 there? 5 A. Yeah, we usually find like a cheap hotel. 6 Q. Down on the beach or something? 7 A. Uh huh. 8 Q. Yes? 9 A. Yes. 10 Q. Soft might be you and■ or you and some of 11 your other fiends that go down there? 12 A. Uh huh. 13 Q. Yes? 14 A. Yee 15 Q. Which club did you meet Mario at? 16 A. I don't remember. It was so long ago. 17 Q. How long have you known Mario? Sophomore, you 18 are a senior, plus one year, so it would have been about 19 free years ago? 20 A. Yeah. 21 Q. Okay. How many times -- does Mario live in 22 Chicago? 23 A. Yeah, he has a place in Chicago and a place 24 like near Miami. 25 Q. Have you ever been to his place in Miami or 2 3 4 5 6 7 9 10 11 12 13 14 15 16 17 18 19 20 2/ 22 23 Page 200 A. Yes. Q. Is from Chicago? A- No. Q. I thought you said you went because it was -- maybe I misunderstood you. A. It was =, it was my friend's birthday, her birthday, and that's why we went there. My friend invited us to go because it was her birthday, and she wanted to go somewhere for her birthday. Q. And Mario, how old — is Mario at. with you? A. No. Q. What's Mario do for a living? A. He works in like the hotel industry. Q. Which hotel? A. I have no idea what hotel. I know his dad like renovates hotels, stuff like that. Q. You met Mario in South Beach, you and met him? A. Yes. Q. Were you at a club down there? A. Yeah, we went down for like the weekend, me and her. 24 Q. Have you been down there 2 bunch of rimes to South Beach a Lismitt n2es for weel a_.... 2 .a_ ids? Page 202 1 near Miami? 2 A. Yeah, we went there once. 3 Q. Who is we? 4 A. Me and. 5 Q. And when you went up to Chicago, did you stay 6 at Mario's place up there? 7 A. Yeah, he let us stay up there, because we 8 couldn't afford to get like a hotel room. 9 Q. Was Mario there at the time you were there? 10 A. Yeah. 11 Q. Okay. How big a place did he have in Chicago? 12 A. Just Ince a condo. 13 Q. I understand. Like a two-bedroom, 14 three-bedroom, two-bedroom, one bath, one bedroom? 15 A. I think it was, yeah, like two or three 16 bedrooms. 17 Q. And who stayed with you at Mario's? 18 A. All the girls. We all stayed in the room 19 together. 20 Q. And there was you, Jane Doe 4, Gonzalez, is 21. that - 22 A. Uh huh. 23 Q. And IM 1 24 A. Yeah. ZS ther iumetLo?„.a. 20 (Pages 199 to 202) (561) 832-7500 PROSE COURT REPORTING AGENCY, INC. (561) 832-7506 EFTA01107851
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Page 203 Page 205 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 1 A. Yeah. 2 Q. So there were five of you? 3 A. IJh huh. 4 Q. Yes? 5 A. Yes. 6 Q. How old is Mario? 7 A. I have no idea. 8 Q. !she 15? Is he 20? 9 A. No. 10 Q. Is he 25? Is he 40? 11 A. No, he's late 20's. 12 Q. Late twenties. Are you sure he's not older 13 than that? 14 A. I mean I don't know. 15 Q. What's Mario's last name? 16 A. I have no idea. 17 Q. So you traveled to some guy's house in, or 18 condominium in Chicago and you don't know his name? 19 MR. HOROWITZ: Form. 20 THE WITNESS: I know ifs Mario, but I forget 21 his last name. Ifs been like a while since I have 22 talked to him. 23 BY W. CRITTON: 24 Q. When is the last time you did talk with Mario? 25 A. I honestly don't even remember. It's been a 1 A. Uh huh. 2 Q. So you met Dave through him? 3 A. Yes. 4 Q. All right. And so Dave had you up there to 5 stay at his house? 6 A. Well, yeah, I paid to go fly up there and 7 visit him, because we started like talking a little bit. 8 Like he was just a friend of mine. 9 Q. Did you pay for the ticket or did he pay? 10 A. I paid. 11 Q. And how long were you in Chicago? 12 A. Just for like the weekend I went up there. 13 Q. Had you met him down here in Orlando? 14 A. Yeah. 15 Q. And then he said why don't you come up for the 16 weekend? 11 A. Well, we talked fora little bit, bents,- he's 18 always down for his brother's games, so we like made 19 friends, and then he asked me up. I wanted to come up 20 there and go visit for the weekend. 21 Q. Did you? 22 A. Yee. 23 Q. And just you? 24 A. Yes, 25 Q. And did you stay with him at his apartment? Page 204 while. 2 Q. How many times have you been to Chicago to 3 stay at his house? 4 A. Just once, that one trip we have been on. 5 Q. Are you sure you haven't been up there again? 6 A. No oh, actually I went up there one other 7 time. I have a friend that lives up there that we went to go visit. Q. So you went to Chicago a second time? A Yeah, I went there twice. Q. Who is that friend? A. My friend Dave. His brother plays for I. basketball, so I'm friends with his brother, and that how I met hint THE VIDEOGRAPHER: Excuse me, miss, could you not play with the mike, please? THE WITNESS: Sony. BY MR. CRITTON: Q. So Dave is the player at. or Dave is the brother of the guy from. who plays basketball for A. Uh huh. Q. Yes? A. Yes. Q. You know the player, the Slyer fa/ Page 206 1 A. Yes. 2 Q. Is Dave someone you've dated? 3 A. We didn't — like we're just friends. 4 Q. Did you have any kind of sexual relationship 5 with David? 6 A. No. 7 Q None? Just went up for the weekend? 8 A. Yeah. 9 Q. Did you talk to Mario when you were up seeing 10 Dave? 11 A No. 12 Q. So Mario, you went up there — how many days 13 were you in Chicago? 14 A. We went there for like four days, I think. 15 Q. And where did you go? What did you do when 16 you were up there? 17 A. He like just showed us around the city. He 18 had to work, sole kind of like let us go wherever we 19 wanted and just like told us the good spots to go. 20 We went like out to lunch and walked around 23. the city and took pictures, and we went out one night to 22 like one of the clubs up there. 23 Q. Okay. Did he have any other guys that he 24 introduced to you all when you was up there? 25 A. One other guy, but I for his nem (561) 832-7500 21 (Pages 203 to 206) PROSE COURT REPORTING AGENCY, INC. (561) 832-7506 EFTA01107852
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3 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 A. I don't remember. 2 Q. Charlie, did he kind of hang around with you 3 guys during the four days you were up there? A. He went out with us one night. Mario said it 5 was Ike one of his good friends. Q. Did Mario buy anything for you all when you were up there? A. Just Jane Doe 4, he bought her like i think an outfit. Q. And why would he buy Jane Doe 4, did he express why he bought Jane Doe 4 an outfit? MR. HOROWITZ: Form. THE WITNESS: Because she like didn't bring a lot of cute outfits and she saw something she liked in Bebe. BY MR. CRITTON: Q. So if Jane Doe 4 has testified that he bought dresses for all of you at Babe's, that would be incorrect? MR. HOROWITZ: Form. THE WITNESS: Well, I mean he did. He bought it for Jane Doe 4, he bought her clothes. And then was Re "I want something because it's my birthday," and then he was like, you know, whatever. So he bought her something too. (561) 832-7500 PROSE COURT 7 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 Page 207 1 Q. How about Charlie, does that sound familiar? 2 A. Yeah. 3 Q. Do you know what Charlie's last name is? A. No idea. Q. How old is Charlie? A. He was an older guy. Q. Fifties? A. Yeah, he was older. Q. And how did Charlie get introduced into the mix, so to speak? A. Just Mario knew him somehow, so he just introduced us to Charlie. Q. Why did he introduce you to Charlie? MR. HOROWITZ: Form. BY MR. CRITTON: Q. Why did Charlie all of a sudden show up with the five girls? MR. HOROWITZ: Form. THE WITNESS: He was showing us around different hotels. BY MR. CRITT0N: Q. So Mario, now his apartment is where, what building, do you remember? A. The John Hancock Q. And how about Charlie, where did he live? .Page 209 1 BY MR. CRITTON: 2 Q. Did he buy you something too? 3 A. I mean yeah, but I was like kind of— he 4 asked Jane Doe 4 Ent It's not like we asked him to 5 by anything for us. She wanted to get something to go 6 out, because she didn't really like bring any cute 7 dresses. 8 And so we went into Bebe, and we never asked 9 him to buy anything. He was like asked Jane Doe 4, he 10 offered to buy her something. 11 Q. I asked —1'm sorry, are you done? 12 A. Well, yeah. !mean he did pay for it, but I 13 never asked him to pay for anything forme. 14 Q. When I rust asked the question, I said did he 15 buy anything for anyone, and you said he bought an 16 outfit for Jane Doe 4. 17 MI right, then I asked you the question well, 18 did he buy anything for anybody else? Didn't he buy 19 dresses for other people? And then all of a sudden you 20 told me. 21 Why didn't you tell me that the first time 22 when i asked you? 23 MR. HOROWITZ: Form. 24 THE WITNESS: It's not lie I asked him to buy 25 me anything. Just I was going to pay for it and Page 208 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 Page 210 brought it to the register and then he offered to pay for it because he was buying Jane Doe 4 something BY MR. CRITTON: Q. Were you confused with my question when i asked you whether he had bought you anything? MR. HOROWITZ: Form THE WITNESS: Well, i wasn't — I'm sorry, I guess I was kind of - BY MR. CRITTON: Q. Again, if you don't understand my question, ask me to repeat it or rephrase it. I asked you if he bought anything for anyone else, and all you said was Jane Doe 4. So if I hadn't followed up the question, you would have misled me, wouldn't you? MR. HOROWITZ: Form. THE WITNESS: I'm sorry, I didn't ask him to buy anything for me. I was going to pay for it and then he just offered. BY MR. CRIM)N: Q. Did he buy any other gifts for anybody when you were up there? A. No, he just like took us out to lunch once. Q. Did he pay for the tripal_ 22 (Pages 207 to 210) REPORTING AGENCY, INC. (561) 832-7506 EFTA01107853
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Page 211 1 A. Yes, he did. 2 Q. And did he pay for food wherever you all went 3 if he was with you; that is, dinners or lunches? 4 A. Like not all of them, but some of them he took 5 us out. Q. How about Charlie? Did he buy any lunches or 7 dinners when he was out with you? 8 A. Uhuh. 9 Q. No? 10 A. No. • 11 Q. You are shaking your head. You need to answer 12 out loud, ma'am. 13 I think you said you have been to Mario's. 14 Have you ever seen Charlie since that one trip to 15 Chicago? 16 A. No. 17 Q. Did you ever see Mario when he came back to 18 Florida again? 19 A. He was down in Miami. He goes down there a 20 lot and he calls to hangout, but I !lice live in Orlando 21 so I can't go, you know, that much. 22 But no, I don't think since Chicago 1 have 23 seen him. 24 Q. How about anyone else? Did you ever have any 25 kind of relationship, intimate relationship with Mario? Page 213 1 Dr. ICliman, who your lawyer has hired to testify in this 2 case? 3 A. No. 4 Q. During the time that you have been, during the 5 time that you were in high school, I assume that you 6 were covered under your — strike that. 7 Your dad has worked for the Town of - 8 since he first came to Florida? 9 A. Yeah. 10 Q. So he has a health program through the city, 11 true? 12 A. Uh huh. 13 Q. For health benefits? 14 A. Uh huh. 15 Q. Yes? 16 A. Yes. 17 Q. MI right. And so any type of medical care or 18 treatment that you would need would be covered under 19 your dad's policy? 20 MR. HOROWITZ: Form. 21 BY MR. CRITTON: 22 Q. When you were in high school and through the 23 time you've been in college, as long as you are a 24 student, correct? 25 MR. HOROWITZ: Fonn. Page 212 1 A. No, not at all. 2 Q. Did you ever date him for any period of time? 3 A. No. 4 Q. Me you currently seeing any physicians, 5 psychiatrists, psychologists, mental health counselors, 6 professionals, for any reason which you allege is 7 associated with your visits to Mr. Epstein? MIL HOROWITZ: Form. 9 THE WITNESS: No. 10 BY MR. CRITTON: 11 Q. When, prior to the time that you ever went to 12 Mr. Epstein's home, whatever year that was, '03, '04, 13 '05, for the first time, had you ever seen a 14 psychiatrist or psychologist or counselor for any 15 reason?. 16 A. No. 17 Q. After you went to, or from the first time you 18 went to Mr. Epstein's home up until the last time, did 19 yod ever see a physician, psychiatrist, psychologist, 20 mental health counselor, for any reason? 23. A. No. 22 Q. After the last time you went to Mr. Epstein's 23 home, whether it was in 2004 or 2005, did you ever see a 24 psychiatrist or a psychologist or mental health 25 professional for any reason separate and apart from the Page 214 1 THE WITNESS: Yeah, but there is like his down 2 payments and stuff. They don't cover everything. 3 BY MR. CRITTON: 4 Q. Nobodys does. All right, so my question to 5 you is your dad — again recognizing you're a full-time 6 student, correct? 7 A. Uh huh. 8 Q. Yes?. 9 A. Yes. 10 Q. So up through the current date, you had access 11 to medical care and treatment? 12 . . A. Yes. 13 MR. HOROWITZ: Form. 14 BY MR. CRITTON: 15 Q. Through your dad's health policy, is that 16 true? 17 A. Yes. 18 Q. All right. And with both, I believe 19 through let me strike that. 20 With did they have a student health 21 center? 22 A. Yes. 23 Q. With., did they have a student health 24 center? 25 A. Yes. (561) 832-7500 23 (Pages 211 to 214) PROSE COURT REPORTING AGENCY, INC. (561) 832-7506 EFTA01107854
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Page 215 1 Q. And both places as well provide for counseling 2 for students who need counseling, for any type of issue, 3 whether ifs birth control, whether it's psychological 4 problems, emotional issues, behavioral health issues, as 5 well as physical problems, those services are made 6 available through both and through.? 7 MR. HOROWITZ: Form. 8 THE WITNESS: Yes. 9 BY MR. CRITTON: 10 Q. And if I understand your testimony, you have 11 never used those services either through the school 12 programs, either or.-- first of all, ou 13 have never used those services through or. 14 as it relates to any issue associated with Mr. Epstein, 15 true? 16 MR. HOROWITZ: Form. 17 THE WITNESS: Yes. 18 BY MR. CRITTON: 19 Q. And as well, even though your father has a 20 health plan or a medical plan through the Town of Palm 21 Beach which you are covered, you have not sought the 22 services of any mental, psychologist, psychiatrist or 23 mental health counselors, correct? 24 . MR. HOROWITZ: Form. 25 THE WITNESS: Yes. First of all, there is 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 Page 217 THE WITNESS: No. BY MR. CRITTON: • Q. Has anyone ever told you you should see a psychiatrist or psychologist or a licensed mental health counselor other than your lawyers? I don't want to know what they said. I'm interested, but — A. Jane Doe 4 told me, she said it would really help me If I saw a counselor because ifs been helping her and — MR. HOROWITZ: Move to strike Bob's laughter. MR. CRITTON: I didn't laugh. It's news to me. BY MR. CRITTON: Q. Who has Jane Doe 4 told you, who is the counselor that Jane Doe 4 said that she's gone to as a result of any visits or the occasions that she had to go to Mr. F-pstein's house? A. I don't know his name. Q. Did she tell you where he was? A. 'think down in Boca. Q. Okay. Did she tell you we finished taking her deposition within the last maybe month and she hadn't seen anybody. MR. HOROWITZ: Object to the form. Page 216 1 no — I would never go to my school and tell 2 anybody about what happened. I mean that's, I mean 3 students probably work there, for all I know. And 4 I don't want to get my dad and my mom involved. 5 And I mean l don't you know, that's 6 something that's embarrassing to me and I don't 7 want — I mean it should be on me, not on them. 8 BY MR. Clt1TTON: 9 Q. Let me move to strike. Let me go back to my 10 question. 11 My question solely was not the whys and the 12 wherefors, but since you've been under your parents' 13 health care Ian,particularly your father's through the 14 Town of you have never sought counseling 15 with a psychiatrist, psychologist, or a licensed mental 16 health counselor relating to any issues associated with 17 Mr. Epstein, correct? 18 MR. HOROWITZ: Fenn. 19 THE WITNESS: Yes. 20 BY MR. CRITTON: 21 Q. Would it also be a correct statement that 22 physically, as a result of your having gone to 23 Mr. Epstein's home, you were never physically injured in 24 any way, were you? 25 MR. HOROWITZ: Form. Page 2 :, 1 BY MR. CRITTON: 2 Q. e other than some Christian counselor that 3 she and saw. 4 MR. HOROWITZ: Bob, you can't disclose that 5 stuff. You just cant 6 MR. CRITTON: Okay, well fine. If you want to 7 .move for some sort of protective order on this, 8 that's fine. 9 Mk HOROWITZ: No, but I'm appealing to you 10 we don't have to do that. You can't disclose 11 someone's confidential medical or therapy to 12 another witness. You just can't do that. You can 13 ask her what she knows, but you can't disclose it. 14 MR. CRITION: Yes, but the perfect example is 15 with this witness, she won't even answer a question 16 that I ask unless 1 key her, and then if I actually 17 know the answer to the question, then she will 18 =dim it, but she's not giving me answers. 19 So you can argue or move for protective order 20 wherever you think is appropriate under the 21 circumstances. 22 BY MR. CRITTON: • 23 Q. Let me ask you this. You say that Jane Doe 4 24 has told you that she's gone -- did she ever tell you 25 she saw a counselor up in the Stuart, Jensen Beach area? (561) 832-7500 24 (Pages 215 to 218) PROSE COURT REPORTING. AGENCY,. INC.. .(561) 832-7506 EFTA01107855
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Page 219 Page 221 1 2 3 4 5 6 A. Q. A. Q. A. Q. No. Do you know who Yes. Have you ever met M? Yes. Do you know what he does? is? 7 A. He does like construction and landscing. 8 Q. All right. Do you know whether = has any 9 sort of drug problem? 10 A. No. 11 Q. Have you ever known that Mr. Bullard is 12 alleged to have been a seller of drugs? 13 MR. HOROWITZ: Form. 14 THE WITNESS: No. 15 BY MR. CRITTON: 16 Q. Do you know whether he takes drugs, illegal 17 drugs? 18 A. No. 19 Q. Has Jane Doe 4 told you that her relationship 20 with is very positive, good relationship? 21 A. Yes. 22 Q. She seems to be very happy? 23 A. Yes. 24 Q. Is she currently working at all? 25 A. Yes. 1 A. I don't think so. 2 Q. How do they !mow Jane Doe 4 is a plaintiff? 3 A. Because she's one of my good friends. 4 Q. Did you tell your parents? 5 A. !thinks°. 6 Q. You said Jane Doe 4 told you that she had seen 7 a counselor in Boca. Did she say it was a man or a 8 female? 9 A. I think she said it was a male. 10 Q. And did she tell you when she started seeing 11 the counselor in Boca? 12 A. No. 13 Q. Did she tell you it had helped her? 14 A. Yes. 15 Q. And in what way? 16 A. She said it just helped her like just when she 17 is like emotional with the all the thing coming up, with 18 all the questions for the lawsuit and the media or 19 people — well, not media, but, you know, when all her 20 friends found out and stuff, she was really emotional 21 and crying, and he just really helped her emotionally. 22 Q. What friends did she say found out? 23 A. Whoever you guys asked, talked to, I guess. 24 So 1 mean IM I don't really remember everybody she 25 said. Page 220 1 Q. What kind of work is she doing now? 2 A. She's doing cleaning, like housecleaning and 3 stuff. 4 Q. She's a college graduate? 5 A. Yes. She's starting her own business, like 6 housecleaning. 7 Q. So she's going out, she's doing some cleaning 8 herself, kind of learn the business, and then she's 9 going to get people to work for her? 10 A. Yes. 11 Q. Did she say her business is going well, good, 12 bad or indifferent? 13 A. Yeah, she said it's going good. 14 Q. Do she and have any plans to get 15 married? 16 MR. HOROWITZ: Form. 17 THE WITNESS: Not that I know of. 18 BY MR. CRITTON: 19 Q. She's living with him MI time? 20 A_ Yes. 21 Q. Do your parents know that Jane Doe 4 is a 22 plaintiff in one of these lawsuits or the lawsuit 23 against Mr. Epstein? 24 A. Yes, I think so. 25 Do know that Jane Doe 3 is? Page 222 1 Q. Did she tell you that before MI was ever 2 deposed that she had already told him about having been 3 involved with Mr. Epstein? 4 A. I don't remember. 5 Q. Did she try to blame that on the lawyers in 6 some way? 7 MR. HOROWITZ: Form. 8 THE WITNESS: I don't think she told him, you 9 know, the extent of everything. I don't really 10 know what she told him. 11 BY MR. CRITTON: 12 Q. All right So she told you that at least she 13 is seeing somebody, a male in Boca Raton? 14 A. lib huh. 15 Q. Did she tell you how she had gotten to see 16 somebody in Boca? 17 A. No. 18 Q. So how long ago did she tell you this, in the 19 last month or so? 20 A. Yes. 21 Q. Okay. Did she, as a result of her telling you 22 you should see someone, have you made an appointment to 23 see anyone? 24 A. No. She told me that you guys are going to 25 depose her therapist, and that made me not want to see (561) 832-7500 25 (Pages 219 to 222) PROSE COURT REPORTING AGENCY, INC. (561) 832-7506 EFTA01107856
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Page 223 1 anybody, because I don't want my whole life story, you 2 know, to be out there. 3 Q. What whole life story? 4 A. I mean I don't feel comfortable talking to a 5 therapist. Like I'd rather wait until everything is 6 over with to talk to somebody. That's why I haven't done anything. Q. Why? What makes you think talking to a 9 therapist after the lawsuit is over is of any benefit to 10 you? 11 A. Because like I had heard that you guys already 12 deposed her therapist, and I don't want everything, you 13 know, I say to be just public knowledge to every lawyer. 14 Q. You understood what you said to Dr. Kliman is 15 public knowledge, in essence? It's public within the 16 confines of this lawsuit. You understand that, don't 17 you? 18 MR. HOROWITZ: Form. 19 THE WITNESS: Yes. 20 BY MR. CRITTON: 21 Q. And everything you have said to Dr. Hall is 22 shared not only with me, but as well shared with your 23 attorney, correct? 24 A. Yes. 25 Q. Okay. So what were you concerned that you Page 225 1 MR. HOROWITZ: Form. 2 THE WITNESS: That's what people say, but 3 there are students that work in those offices, and 4 I don't want people at my school like 'mowing my 5 business. 6 BY MR. CRITTON: 7 Q. Did you try get some assistance? Did you talk 8 to your parents and say "Hey, look, I think it would be 9 of some benefit for me to go see a psychologist or a 10 psychiatrist"? 11 A. I'm like kind of embarrassed to ask them. Td 12 rather do it on my own. 13 Q. Isn't the reason that you haven't gone to go 14 see someone, ma'am, is you don't feel the need to do 15 that? 16 MR. HOROWITZ: Pont 17 THE WITNESS: No, I do feel the need. I want 18 to go see somebody, but I just don't feel 19 comfortable doing it now. 20 BY MR. CRITTON: 21 Q. But why? I mean it doesn't make sense -- let 22 me strike that. 23 In the year 2010, have you been on any trips? 24 A. Yes. 25 Q. Where did you go? Page 224 might tell a psychologist --just a minute, I need to ask the question, ma'am. 3 What were you concerned with that I might ask 4 that you might toll a psychologist or psychiatrist that you wouldn't want he or she to repeat to me? 6 A. Nothing. I just talked to those because I had 1 to talk to those people, and I'd rather just wait until 8 everything is over, because I don't feel comfortable 9 like talking to people right now. 10 And also, like I'm in college. I don't have, 11 you know, money right now to go see somebody. And 1 12 don't, and my parents aren't going to like — I mean I'm 13 not going to pay $40 a visit every week or two weeks, 14 whatever. Like I have like $100 a week I have to live 15 on in college basically, so — 16 Q. Have you actually gone to the. center where 17 they have psychologists and psychiatrists? 18 MR. HOROWITZ: Form. 19 THE WITNESS: I definitely don't want to go to 20 center. 21 BY MR. CRITTON: 22 Q. Why wouldn't you do that? Because your 23 medical records or your psychiatric records or 24 behavioral, psychological records are supposed to be 25 completely privileged. Page 226 1 A. I mean I went to Key West. 2 Q. With whom? 3 A. I went with just my friend =. 4 Q. M t? 5 A. Uh huh. 6 Q. Where did you stay? 7 A. We stayed at my friend's ex-boyfriend's place 8 down in Key West. 9 Q. My friend's ex-boyfriend. Your friend, whose 10 name is? 11 A. My friend M, my old roommate. Her 12 ex-boyfriend lives in Key West. 13 Q. His name is? 14 A. Nick. 15 Q. Nick? 16 A. Yes. 17 Q. Was Nick there when you were there? 18 A. Yes. 19 Q. Where does he live in Key West? 20 A. He just lives in a small apartment off Duval 21 Street. 22 Q. So you stayed with him for what, a week? 23 A. Yeah, for like five days. 24 Q. Four to five days? 25 A. Uh huh. (561) 832-7500 26 (Pages 223 to 226) PROSE COURT REPORTING AGENCY, INC. (561) 832-7506 EFTA01107857
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Page 227 Page 229 1 Q. Yes? 2 A. Yes. 3 Q. Okay. And I assume you partied every night, 4 went out every night? A. I mean we went out some and we just went to 6 the beach a lot. Q. Okay. So it's your testimony during the four a or five nights that you were there -- what time period 9 were you there, spring break? 10 A. Yes. 11 Q. So you were there for spring break, a million 12 other college kids there? 13 MR. HOROWITZ: Form. 14 THE WITNESS: Yes. 15 BY MR. CRITTON: 16 Q. All right. It would be a fair statement -- 17 well, let me be acanate. It was during the four or 18 five days that you were there, is it your testimony that 19 you only went out one or two nights to party and to go 20 to clubs? 21 MR. HOROWITZ: Form. 22 BY MR. CRITTON: 23 Q. Or did you go out every night? 24 A. I went out a lot when we were there. It was 25 spring break. A. We both split it 2 Q. All right. Who paid for your drinks when you 3 went out, when you even had too much to drink? 4 MR. HOROWITZ: Form. 5 THE WITNESS: I mean we did sometimes. 6 BY MR. CRITTON: 7 Q. All right. And then if you were lucky, maybe 8 some guy would buy you a drink or drinks? 9 A. Yes. 10 Q. I'm sorry? 11 A. Yes. 12 Q. All right. And isn't it a true statement, 13 Jane Doe 7, is if you really wanted to see a 14 psychologist, you have maybe not every week, but you 15 would have had the fiuids to do that, you just choose to 16 use your funds in a different, for different purposes at 17 the current tint? 18 MR. HOROWITZ: Fonn. 19 THE WITNESS: No, that's not the main reason. 20 The main reason was1 wanted to wait until after 21 the lawsuit. 22 BY MR. CRITTON: 23 Q. So people !Bre me who represent Mr. Epstein 24 maybe can't look at what you tell a psychologist? 25 A. I mean I just feel uncomfortable like saying Page 228 1 Q. Exactly. My point is that you went down there 2 for spring break and you went out every night and you 3 partied, didn't you? 4 A. Yeah, ifs spring break 5 Q. And you had fun? 6 A. Yeah, I did. 7 Q. And you had a great time? 8 A. Yes. 9 Q. And you drank alcohol, I assume? 10 A. Yes. 11 Q. You had a cocktail here and there? 12 A. Yes. 13 Q. And there were some nights that you had too 14 many cocktails? 15 A. Yes. 16 Q. And how did you get down there? Whose car did 17 you drive down from Orlando? 18 A. I drove. 19 Q. All right. And who paid for your meals when 20 you were there? 21 A. We did. We went food shopping before we even 22 got there and we like -- when we got there, we went food 23 shopping and just mainly made food to like saw money, 24 because food is like expensive down there. 25 Q. Who paid for the gas? Page 230 1 everything right now. 2 Q. What makes you think you will be more 3 comfortable after a lawsuit talking with someone? 4 A. Just because when everything is like done and 5 over with, I feel like it will be a better time to just 6 help me get over everything. 7 Q. Isn't it true, though, if you really wanted to 8 sec — well, let me ask you this. 9 After the police came to you, the Palm Beach 10 Police Department came and interviewed you back on 11 October 4th of 2005 and you had sent Mom into the house. 12 when the Palm Beach police left, did Mom say to you 13 "What in heaven's name is this about, Jane Doe 7r 14 A. Yeah, she asked me about it. 15 Q. And by that time, Dad was home? 16 A. Yes. 17 Q. All right. And did you, did they both sit 18 down and say "Young Lady," or "Jane Doe 7, come on. 19 what's the deal here? 20 A. Yes. 21 Q. "What happened? How long did that 22 conversation last? 23 A. I mean I obviously didn't tell them everything 24 that happened. So I mean I don't know, I Just told them 25 briefly what I told the cops. (561) 832-7500 tamoll•ImStaa....F.rsa.asnar 27 (Pages 227 to 230) PROSE COURT REPORTING AGENCY, INC. (561) 832-7506 EFTA01107858
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Page 231 Q. So you only told them what you had told the 2 polioe, that you were at Mr. Epstein's twice, one time 3 you gave Mr. Epstein a massage, another time you just 4 took somebody else? 5 A. Yes. 6 Q. That's what you told them? 7 A. Yes. 8 Q. Have you ever told them anything differently? 9 A. No. 10 Q. So as far as your parents !mow at this point 11 in time, as far as they !mow is that you went to 12 Mr. Epstein's — let me strike that. 13 As of today's date, your parents only know 14 what you told them the day that the Palm Beach Police 15 Department was there interviewing you? 16 MR. HOROWITZ: Form. 17 THE WITNESS: They never asked me about it 18 They don't really want to know or care to know 19 everything. They already don't like Jeffrey. They 20 read the papers. They know what goes on and went 21 on. I mean they are not stupid 22 BY MR. CRITTON: 23 Q. Well, they have no idea what went on with you 24 and whether your circumstances are similar to or even 25 close to what someone, some other person's situation Page 233 1 MR. HOROWITZ: Form. 2 THE WITNESS: 1 mean I'm sure they would try 3 to help me out. It's just like embarrassing to say 4 that to them and its just something I would rather 5 just deal with on my own. 6 BY MR. CPJTTON: 7 Q. You sent me some, or your attorney sent me 8 some additional answers to interrogatories the other 9 day. 10 !AR. CRITTON: Lets go off the record for a 11 minute. 12 THE VIDEOGRAPHER: Going off the record at 13 2:41 p.m. 14 (Discussion held off the record.) 15 THE VIDEOGFtAPHER: Were back on the record a 16 2:46 p.m 17 (The documents were marked Defendant's 18 Exhibits 1.3 for identification.) 19 BY MR. CRITTON: 20 Q. Before I get back to the interrogatories, you 21 wouldn't, growing up, from the time that you were 22 freshman through even your current status, you wouldn't 23 have considered yourself economically disadvantaged, 24 would you? 25 A. What does that man? Page 232 I might be, true? 2 MR. HOROWITZ: Form. .3 THE WITNESS: Yeah, but I — they don't really 4 want to know. I mean they, I told them what I told 5 than and I mean that's all that Imean they know, 6 and from reading other people's things like what he 7 did or tried to do to most girls. So -- 8 BY MR. CRITTON: 9 Q. Have they ever asked you, has your mother ever 10 asked you 'Hey, Jane Doe 7, what happened when you were 11 at Mr. Epstein's home?" 12 A. Just the first time that the cop-- 13 Q. Since that day, she's never asked and you've 14 never offered? 15 A. No. 16 Q. Correct? 17 A. Correct 18 Q. Same thing with Dad? 19 A. Correct 20 Q. Is it your testimony that if you went to your 21 parents and you said "Look, I think I might need some -- 22 I'd like to see a psychiatrist or a psychologist to help 23 me deal with some issues relating to Mr. Epstein,* 24 assuming you said that to them, it's your testimony that el imil isomia.. eur ts paren would say no? 1 2 3 4 5 6 7 a 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 Page 234 Q. I'm not sure. Did you feel economically deprived when you were a freshman or a sophomore or a junior or a senior in high school, that your parents had economically deprived you, or did you feel that you were fine economically? MR. HOROWITZ: Form. BY MR. CUT-TON: Q. I mean everybody would !Ore to have more money. A. I mean my parents had to work really hard for their money, so it's not like I had everything given to me, like my dad made me work for it If I ever wanted money, I had to like wash his car or do something, so I mean- Q. Those are good things, though, you had chores? A. Yeah, but — Q. You didn't consider yourself economically disadvantaged, did you? MR. HOROWITZ: Form. THE WITNESS: I guess not. BY MR. CRITTON: Q. Jane Doe 4, I had an opportunity to meet her parents. I wouldn't describe her as being economically disadvantaged, but you don't care what I think, so my question to you is do you think Jane Doe 4's parents or (561) 832-750.0 PROSE COURT 28 (Pages 231 to 234) REPORTING AGENCY, INC. (561) 832-7506 EFTA01107859
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8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 Page 235 1 her family life or that she was in any way economically 2 disadvantaged? 3 MR. HOROWITZ: Form. 4 THE WITNESS: I don't think so. 5 BY MR. CRITTON: 6 Q. How about lane Doe 3, did she have similar 7 middle class circumstances like yourself and Jane Doe 4? 8 MR. HOROWITZ: Form. 9 THE WITNESS: Yes. 10 BY MR. CRITTON: 11 Q. Okay. So you wouldn't have considered her 12 economically disadvantaged, would you? 13 MR.. HOROWITZ: Form. 14 THE WITNESS: Yes. 15 BY MR. CRITTON: 16 Q You would? 17 A. No, I wouldn't. 18 Q. All right. In your answers to interrogatories 19 you listed, which is Exhibit 2, you listed the only 20 medical, physicians, medical facilities, health care 21 providers — and I'm paraphrasing -- psychiatrists, 22 psychologists, et cetera, that you had seen in the past 23 ten years, you listed the walk-in medical center at 24 Orlando, at University Boulevard, Orlando, 2005 to the 25 present. 1 2 3 4 5 6 7 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 Page 237 Page 236 1 I assume that's the school clinic? 2 A. No. Just a clinic that was by my house. 3 Q. Like a doe-in-the-box? 4 A. Yeah. 5 Q. And if you had a cold or got the flu or 6 something, you would go there for medical care and 7 treatment? A. Yes. (561) 832-7500 Page 1 2 3 4 5 6 7 8 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24. 25 29 (Pages 235 to 238) PROSE COURT REPORTING AGENCY, INC. (561) 832-7506 EFTA01107860
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Page 2.39 Page 241 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 BY MR. CRITTON: Q. Okay. Tell me about at the current time, I know you have told us other than seeing Dr. Kliman, you have never seen a psychiatrist, psychologist, mental health counselor for any reasons relating to damages you claim for which you seek money damages against Mr.— let me start that again. You filed a lawsuit seeking money damages from Mr. Epstein for money, right? MR. HOROWITZ: Penn. THE WITNESS: Yes. BY MR. CR1TTON: Q. Okay. And what do you think your damages are? 1 wasn't thinking. 2 And it's just something I wish I could take 3 back, something that happened to me. And ifs something 4 I'll never be able to forget for the rest of my life, 5 and just the pain that I caused my parents and other 6 people. Ifs just — 7 Q. What pain have you caused — what other person 8 have you caused pain? 9 A. I mean mainly my parents like more than 10 anything. It was heartbreaking for me when they found 11 out. And I mean I wish I could take it back, and — 12 Q. What did your parents say to you when you told 13 them that you had been to Mr. Epstein's twice? 14 A. I mean they were just asking me why, why would 15 you do that? Like how -- I mean they understand now 16 that, you know, it was, he was just a predator mainly, 17 but, you know, at the time they just, they were upset 18 Q. Okay. I don't want to — let me ask my 19 question again. 20 MR. CRITTON: Okay, let me see it again. Run 21 It down for me, Rachel. 22 BY MR. CRITTON: 23 Q. What specifically, when you told your parents 24 you had been to Mr. Epstein's twice, once with e and 25 you had given him a massage, he meaning Mr. Epstein, did Page 240 1 That is, what elements or items of damage do you think 1 2 you have sustained as a result of your having been to 2 3 Mr. Epstein's home? 3 4 MR. HOROWITZ: Form. 4 5 BY MR. CRITTON: 5 6 Q. In your words. 6 7 A. Well, for like the last six years I've been 7 8 like, live had a lot of things happen to me. I've been 8 9 depressed a lot. I have anxiety. I just feel like that 9 10 happened and I can, something I could never take back. 10 11 I feel like I'm damaged, you know, and it's just like I 11 12 feel litre dirty almost for doing that and Pm really 12 13 like self-conscious about it. 13 14 I mean I have like flashbacks a lot of going, 14 15 and then I get really depressed. Every time I hear his 15 16 name or something come up about it, I get depressed 16 17 where I don't eat and I can't sleep. I just have really 17 18 bad anxiety. lust my memory a lot too. I mean I have 18 19 memory problems. 19 20 I tried to like hide all the memories, just to 20 21 try to get over everything. And I mean ifs just hard. 21 22 Like when people bring it up and I have to talk about 22 23 it it's embarrassing. It's hard. It just makes me 23 24 feel like just I did something and it's -- I know now, 24 • 25 you know, that it's not my fault, but at the time I 'tat 25 Page 242 you tell them that he never touched you, that you never touched him, that nothing occurred other than you gave him a massage, just like you told the police? MR HOROVrITZ: Fenn. THE WITNESS: I told them that he tried, you know, to touch me and do things with me, but obviously I couldn't tell my parents everything. I mean they know now, you know, what's, what went on there and, you know, just from assuming and hearing from other people and reading things. BY MR. CRITTON: Q. Okay. Let me move to strike as nonresponsive. I don't want to know what they assumed, okay? I'm not interested in that. I'm interested in what you told them. So if you listen to my question, you keep adding on, but Pm assuming and they read this and they read that. I'm not — Pm glad they have read, or it's up to them what they want to read or not. !just want to know what they have told you and what you have said to them, okay? So focus on my question if you would, ma'am. You told me earlier, a couple of times, that you told them the day that the Palm Beach police were there at your house the same thing that you had said to 30 (Pages 239 to 242) (561) 832-7500 PROSE COURT. REPORTING. AGENCY, INC.' (561) 832-7506 EFTA01107861
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Page 243 Page 245 1 the police, correct? 2 A. Yes. 3 Q. Okay. And what you would have said to them 4 was, is that you gave him a massage on one occasion, he 5 never touched you, and you never touched any of his 6 private parts, right? 7 MR. HOROWITZ: Form. 8 BY MR. CRITTON: 9 Q. You told him that? 10 A. Yes. 11 Q. And you told them the second time you went, 12 you took somebody else, you mayiurve gone with Jane 13 Doe 4, you may have gone with but you didn't go 14 upstairs, correct? 15 A. Yes. 16 Q. Okay. So at least as of that date, as of the 17 date that you spoke with them, which you have testified 18 as well today is the only time you have ever talked to 19 them about what occurred at Mr. Epstein's house, as far 20 as they know, you gave Mr. Epstein a massage on one 21 occasion, you were fully clothed and he was completely 22 covered, true? 23 MR. HOROWITZ: Form. 24 THE WITNESS: I mean at that point, that's 25 Alai I told them, yes. 1 BY MR. CRITTON: 2 Q. At the current time? 3 MR HOROWITZ: Form. 4 THE WITNESS: A lot, especially lately, me 5 having to go through all this. 6 BY MR. CRITTON: 7 Q. You mean having to do this deposition? 8 A. I mean this whole — I mean it depends. I 9 mean sometimes it's worse than others. Like when they 10 bring up his name or, you know, my mom will call me 11 saying she read something in the newspaper, I won't be 12 able to eat for like a week. III get depressed. 13 have bad anxiety. Ifs hard for me to like do 14 schoolwork. It will bring like flashbacks back. 15 Just every day I feel like disgusting, and 16 every time I hear his name, it just brings back 17 memories. 18 Q. This is an everyday thing for you? 19 MR. HOROWITZ: Form. 20 IRE WITNESS: Not every day, I mean some 21 days -- 22 BY MR. CRITTON: 23 Q. You -- 24 MR. HOROWITZ: She wasn't done, I don't think. 25 MR. CRITTON: She keeps changing anyway. It Page 244 1 BY MR. CRITTON: 2 Q. Right. And they may have read things in the 3 newspaper, but you have never told them anything 4 different than what you told them that one occasion back 5 on October 4th of 2005, correct? 6 MR HOROWITZ: Form. 7 THE WITNESS: Yes. I mean I also told the 8 cops that he did try to grab me in my butt and I 9 believe I told my parents that too. 10 BY MR. CRITTON: 11 Q. Okay. So you told them that too. And that's, 12 as far as they know, that's all that occurred, true? 13 A. Yes. 14 MR. HOROWITZ: Form. 15 BY MR. CRITTON: 16 Q. Okay. Now, you gave a list of issues that you 17 have, including depressed, anxiety, you feel damaged or 18 dirty, self-conscious. You don't eat, sleep, things of 19 that nature. 20 How often do any of those symptoms or those 21 issues bother you? 22 MR. HOROWITZ: Form. 23 BY MR. CRITTON: 24 Q. Or cause you any concern? MR, HOROWITZLIonn. (561) 832-7500 1 2 3 4 5 6 7 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 Page 246 doesn't make any difference. MR. HOROWITZ: Move to strike. BY MR. CRITTON: Q. Are you done? Are you going to add more to it? A. What else were you going to ask me? Q. Your lawyer thought you had more to say, so I'm going to give you the chance. rm trying to find out how often this bothers you. Say over the last six months or a year, how often do any of those symptoms seem to bother you? A. I mean every week. Q. Every — A. Basically. I mean I try do other things to like you know, I mean I try to go out with my friends and hang out and just to kind of get it off my mind, but I mean something always comes back to remind me or bring it up, or I'll hear something and I just fall into like depression again. Q. Okay. So has this been true since the day that the Palm Beach police came to your home on October 4th of 2005? MR HOROWITZ: Form. THE WITNESS: Yes. 31 (Pages 243 to 246) PROSE COURT REPORTING AGENCY, INC. (561) 832-75O6 EFTA01107862
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Page 24 Page 249 1 BY MR. CRITTON: 2 Q. Is that when it started, when all of a sudden 3 you knew that someone else might know? 4 MR. HOROWITZ: Fa 3 THE WITNESS: It started before then, like even when I was going like I would be depressed and I would just, like I don't know why I kept going. I was confined, but I mean I just felt dirty kind 9 of and I was upset then. So I mean it's been going 10 on for a while, not just after the police. 11 BY MR. CRITTON: 12 Q. So now it's your testimony that from the first 13 time you went to Mr. Epstein's home, you were depressed? 14 MR. HOROWITZ: Form. 15 THE WITNESS: Not the first time. 16 BY MR. CRITTON: 17 Q. How about the second time? 18 MR. HOROWITZ: Fonn. 19 THE WITNESS: I mean if you're really going to 20 start doing that to me, !mean it's — 21 BY MR. CRITTON: 22 Q. It's not doing it to you, ma'am. I need to 23 know. You are claiming $50 million against Mr. Epstein 24 in this case, so I need to know when -- 25 A. Well, you are like belittling everything I am 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 MR. HOROWITZ: Farm. THE WITNESS: The first time I really became depressed was like after the last time I went when he really tried to, you know, do stuff with me forcefully, and then I just felt disgusting and I got depressed, and that's why I just stopped going. BY MR. CRITTON: Q. Okay. And time flame again you are not sure, it might have been in '04, it might have been in '05, you are just not sure, correct? MR. HOROWITZ: Form. BY MR. CRITTON: Q. When the last time you went to Mr. Epstein's? A. I can't remember the exact date. Q. Sometime in 2004, 2005? A. Yes. Q. All right And prior to the last time you were there, you had never been depressed when you had been at Mr. Epstein's home; is that correct? MR. HOROWITZ: Form. THE WITNESS: I mean I was upset. I wouldn't — I don't, I can't — I don't know, I can't prescribe myself I'm not a psychologist, I don't — Page 213 =Yin& 2 Q. Tin not belittling it, okay? I'm not at all. 3 MR. HOROWITZ: I think you are, Bob. You are 4 snickering. 5 MR. CRITTON: I am not snickering at all, all 6 right? 7 MR. HOROWITZ: You did several times. MR. CRITTON: I did not 9 MR. HOROWITZ: You have rolled your eyes 10 several times. 11 MR. CRITTON: Well, there's a lot of things 12 that you've rolled your eyes at and I don't call 13 you on it, and with the changes of testimony this 14 lady has, it's a wonder my eyes can stay normal 15 anyway with the level -- anyway, be that as it may, 16 you can object to form all you want. 17 BY MR. CRITTON: 18 Q. So let me clear it up with you, ma'am. I'm 19 interested in what your damages are in this case. Do 20 you understand that? 21 A. Yes. 22 • Q. Okay. So have you been depressed since the 23 first time you went to Mr. Epstein's home? And if not, 24 tell me when you first became depressed as a result of 25 having met Mr. Epstein. Page 250 1 BY MR. CRITTON: 2 Q. Well, were you ever anxious when you left 3 Mr. Epstein's house? 4 A. Yeah, every time I left his house, I just 5 thought what did I just do? And I don't know why I kept 6 going. 7 THE VIDEOGRAPHER: Five minutes till tape 8 change. 9 BY MR. CRITTON: 10 Q. Even though you were anxious, you knew what 11 was going on at lean from your own words earlier was 12 inappropriate, you continued to go back to 13 Mr. Epstein's; nue? 14 MR. HOROWITZ: Fenn. 15 THE WITNESS: Yes. 16 BY MR. CRITTON: 17 Q. And you chose voluntarily to get in your car 18 and go back to Mr. Epstein's; true? 19 A. Yes. 20 Q. All right Did you feel self-conscious? 21 A. I mean of course I did. 22 Q. After the first time you went to Mr. Epstein's 23 home? 24 A. I mean yeah. I just, I felt like somebody is 25 going to find out or I mean I vms just, the whole time ] (561) 832-7500 32 (Pages 247 to 250) PROSE COURT REPORTING AGENCY, INC. (561) 832-7506 EFTA01107863
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Page 251 was just, I just felt disgusting for going there. 2 Q. All right. And at that time did you have, 1 during the time you were going to Mr. Epstein's, did you 4 have flashbacks? A. No, they started after. Q. When? 7 A. After I stopped going there. 8 Q. The day after the last time you were there, 9 did they start? 10 A. No. Ifs like when my friends would say, you 11 know, they went to Jeffrey's or something, then I would 12 get flashbacks. 13 Q. Which of your friends did you tell after the 14 last time you went to Mr. Epstein's that you were either 15 depressed, you were anxious, you felt disgusting, 16 self-conscious, or that you were having flashbacks? 17 MR. HOROWITZ: Form. 18 BY MR. CRITTON: 19 Q. Which of the friends did you tell? 20 A. I believe just Jane Doe 4. 21 Q. Okay. And you told Jane Doe 4 that you were 22 having all these symptoms, right? 23 A. I mean no. 24 MR. HOROWITZ: Form. 25 THE WITNESS: I don't exactly remember what I 1 2 3 4 5 6 7 8 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 Page 253 by the FBI and then just everything came back. And that's when it started getting really bad and I was really upset then. And, you know, just having to talk to the FBI, and l mean that was like depressing and scary and like I just had really bad anxiety and I felt like I was having panic attach. And I mean, so I mean it kind of started back up. BY MR. CRITTON: Q. Okay. So sometimes it's more, sometimes its less? A. Yes. Q. And is it because again someone brought it to your attention or wants to talk about it that that causes you anxiety? MR. HOROWITZ: Form. THE WITNESS: I mean of course some people like bring it up and I hear about it, I get, you know, anxiety and it just brings back everything. BY MR. CRITTON: Q. Do you think this lawsuit creates anxiety for you? A. I mean of course. Q. All right. And you think when this lawsuit is Page 252 1 told her. ljust remember telling her I was upset 2 about it 3 BY MR. CRITTON: 4 Q. But you knew she was still going? 5 A. Yes. 6 Q. Okay. Did you say "Jane Doe 4, I feel 7 depressed, anxious, disgusting, self-conscious, Pm 8 having flashbacks, I'm not eating and sleeping, I'm 9 having memory problems. Why in heaven's name would you 10 continue to go see Mr. Epstein?" 11 Did you have that conversation with your very 12 best friend? 13 MR. HOROWITZ: Fonn. 14 THE WITNESS: No. 15 BY MR. CRITTON: 16 Q. What have these symptoms that you've expressed 17 of depression, anxiety, feeling disgusting, 18 self-conscious, flashbacks, have those symptoms been 19 pretty much the same since you last sent to 20 Mr. Epstein's up through the current time? 2/ MR. HOROWITZ: Form. 22 THE WITNESS: I mean right around when I 23 stopped going, they were really bad. And then, you 24 know, it just kind of, you know, I tried to forget i125 about it up until, you know, when I got contacted (561) 832-7500 Page 254 1 over, a lot of the anxiety that you have and the 2 feelings that you have will go away? 3 MR. HOROWITZ: Form. 4 THE WITNESS: I'm hoping after it's over, I 5 can just kind of get help and get past everything. 6 BY MR. CRITTON: 7 Q. And whetter you recover a dollar from 8 Mr. Epstein or S100,000, do you think that your ability 9 to gel better will be the same? 10 MR. HOROWITZ: Rem. 11 TIlE WITNESS: Idol* think there is any 12 amount of money that could ever, you know -- I mean 13 !would much rather have never had this happen to 14 me than have any amount of money. There is 15 nothing, amount of money that somebody could give 16 me to help me get through everything, but I mean 17 I'm just hoping that when everything is over, you 18 know,1 can just try to see somebody to help me and 19 try to forget about it and move on with my life. 20 MR CRITTON: Need to change tape. 21 THE VIDEOGRAPHER: Going off the record at 22 3:07 p.m This madcs the end of tape two. 23 (Discussion held off the record.) 24 THE VIDEOGRAPHER: We're back on the record at 2 5 3:09 p.m. This marks the beginning of tape three. 33 (Pages 251 to 254) PROSE COURT.REPORTING AGENCY, INC. (561) 832-7506 EFTA01107864
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Page 255 Page 257 1 BY MR. CR1TTON: 2 Q. Jane Doe 7, do you believe that you've lost 3 . any money; that is, have you lost any wages, jobs as a 4 result of your having been to Mr. Epstein's home? 5 MR. HOROWITZ: Form. 6 THE WITNESS: No. 7 BY MR. CRITTON: 8 Q. Okay. Do you believe you have lost the 9 ability to earn money in the future as a result of 10 having been to Mr. Epstein's home? 11 MR. HOROWITZ: Fenn. 12 THE WITNESS: I do believe I could have got a 13 lot better grades if I wasn't going through this 14 all of college. 15 BY MR. CIUTTON: 16 Q. Well, in high school it looks like you, and 17 particularly your senior year after you alleged in part 18 that you stopped seeing Mr. Epstein, you got almost all 19 A's and a few Ws; did you not? 20 A. Yes. 21 Q. Okay. And it appears in looking at least to 22 your junior and sophomore years is your grades after you 23 stopped seeing Mr. Epstein, at least you say you stopped 24 seeing Mr. Epstein improved substantially; is that true? 25 MR. HOROWITZ: Form. 1 working? 2 A. Yes, !worked for my dad and my dad's friend 3 in the aMbusiness. 4 Q. licnnti• tit was real life experience? 5 A. Pretty much. 6 Q. All right. And what kind of grades did you 7 get at 8 A. I just got average grades, l think. 9 Q. B's, A's and B's? 10 A. Yeah, hire Ws. 11 Q. What was your grade point from 12 A. I don't remember. I think it was111 13 know. 14 Q. How about since you've been ate what's 15 your grade point there? 16 A. I think it's around like a 2.8 or 2.9. 17 Q. So it's Ince a B minus? 18 A. Yeah. 19 Q. 3.0 is a B, so you are almost at a B? 20 A. Yes. 21 Q. And would you describe yourself - if someone 22 described you as a party animal; would that be accurate? 23 A. No. 24 Q. So you rarely go out to clubs, to bars? 25 A. I mean I go out, of course, I'm in college, Page 256 1 THE WITNESS: The only reason why I got all 2 A's is because l had O1T. 3 BY MR. CRTTTON: 4 Q. What's on? 5 A. On-the-job training where they let you out of 6 school earlier for three hours. 7 Q. Well, in looking at your transcript from 8 twelfth grade, it looks like you took English 3 -- Pm 9 sorry, English 4, you got a B. That's not OJT, is it? 10 A. No. 11 Q. American economics, that's not OJT, is it? 12 You got a B in that? 13 A. Uh huh. 14 Q. Correct? 15 A. Yes. 16 Q. TY production, you got an A in that? 17 A. Yes. 18 Q. And then you had Work Experience 2, and three 19' other O./Ts that you all got A's in, correct? 20 A. Yes, 21 Q. And you took - you did get one l in American 22 Political Systems, I see that, but all of your work 23 experience and Offs you got A's in, correct? 24 A. Yes. 25 Q. And OJT is where you learn, you are out 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 Page 258 but Pm not a party animal. I still got my schoolwork done and do all my responsibilities that I have to do. Q. Okay. Just berause you are a party animal doesn't necessarily mean you don't do your work. Let me ask it more this way. YOU go out with your friends two to three, four times a week, might go to a club, to a bar or something hie that and hang out? Yes. Usually go out every weekend? I mean yeah, sometimes. Has that been hue both since you have been at and since you have been at M? A. Yes. Q. This spring break you went to Key West. Where did you go last spring break? A. Key West. Q. Did you stay at Nick's house again? A. No. Q. Where did you stay at that time? A. Four or five of us split a hotel there. Q. Very common for college kids to go down and stay a week and split a room and put a bunch of people in? Yes? A. Yes. • Q. You partied every night when you were down A. Q. A. Q. (561) 832-7500 34 (Pages 255 to 258) PROSE COURT REPORTING AGENCY, INC. (561) 832-7506 EFTA01107865
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Page 259 there just like all the other college kids do? 2 A. Yes. 3 Q. Did you ever feel so depressed or anxious or 4 self-conscious or one of the times that you were not 5 eating or sleeping during spring break? 6 A. I was actually happy to get away from Orlando 7 and get away from everything, so that was kind of like 8 me getting way from everything was going on spring break 9 a taking trips. It was like me getting away from 10 everything. 11 Q. My question to you was did your depression, 12 anxiety, self-consciousness, feeling disgusting, having 13 flashbacks and not being able to eat and sleep, memory 14 problems, did any of those symptoms cause you not to go 15 on a spring break since you've been in college? 16 MR. HOROWITZ: Form. 17 THE WITNESS: No, that was why l went on 18 spring break was to get away from everything. 19 BY MR. CRITTON: 20 Q. Okay. And in the summer you are going to 21 Italy for a month. 22 A. Yes. 23 Q. Is that another escape so you can get away 24 from things? 25 A. No, it's just something I always wanted to do 1 2 3 4 5 6 7 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 Page 261 A. No. I mean I would have to stay late. My reason for working there, it was an internship. Q. But you got paid too? A. Yes, I got paid, but I had to work in a hospitality establishment for my internship and I had to do three internships, so that was my reason for working. Q. What did you — I'm sorry, what do you plan to do when you finish? A. I honestly have no idea, but hopefully get a job. Q. You have bola and now aS a minor: A. Llh huh. Q. Have you started looking for a job at all? A. No, not now. Q. Have you tried to do any internships through school where you could ultimately move into, like Cheyenne, is it a chain or is it just a sole building? A. It's actually closed down now. Q. All right. Have you talked to any other restaurant chains or any other hotels or hospitality type situations to see if you could get an internship so you could get into the program and work your way up? A. No, because I'm leaving for Italy, so I — there is no point in me starting to work somewhere now. Page 260 I. is study abroad. 2 Q. And how about separate and apart from last 3 summer, you stayed up in Orlando. Were you still in 4 school, or this past summer, 2009, did you stay in 5 school? 6 A. Yes. 7 Q. Okay. And did you work during that time 8 period? 9 A. Last summer, I think I worked at Cheyenne's. 10 Q. Cheyenne's is like a bar, saloon? 11 A. Like a restaurant. 12 Q. Restaurant. And what do you do there? 13 A. I was just waitressing. 14 g How long have you worked there? 15 A. I worked there for about a year. 16 Q. You make like a minimum wage plus tips? 17 A. Yes. 18 Q. And in addition to doing your waitressing, 19 were you also in college; that is, were you taking some 20 courses? 21 A. Yes. 22 Q. All right. And as well, would you go out 23 with this last year, Jane Doe 4 is with you hi '08, 24 so this last year you would go out with your friends or 25• stay out late when you finished your shifts? 1 2 3 4 5 6 7 B 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 Page 262 I want to wait until I get back. Q. So when you get back from Italy, you will have to then start looking for a job? A. Yes. Q. Do you plan to return to Orlando or do you plan to return home? A. I don't know yet. Q. What have your parents said, or I guess you are an adult, so you can decide what you want to do, right? A. Yes. Q. But you have made no plans? A. No, not yet. Q. Is there anything, is there any activity that you haven't done as a result of what you claim are injuries or damages you sustained from being at Mr. Epstein's home? Is there anything you haven't done? A. I don't really know. Q. You can't think of anything? MR. HOROWITZ: Form. THE WITNESS: I mean I don't know. BY MR. CRTITON: Q. All right As you're sitting here, you can't think of any activity or any trip or any school that you have not done or a course that you haven't taken as a 1561) 832-7500 nes.w.o.sea....cotadva. 35 (Pages 259 to 262) PROSE COURT REPORTING AGENCY, INC. (561) 832-7506 EFTA01107866
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Page 263 1 result of having been at Mr. Fpoein's home; is that 2 correct? 3 MR. HOROWITZ: Form. 4 THE WITNESS: Yes. 5 BY bollt. CRITTON: 6 Q. Let me show you Salt — are we on 7 Exhibit 4? 8 (The document was marked Defendant's 9 Exhibit 4 for identification.) 10 BY MR CRITTON: 11 Q. All right, let me show you Exhibit 4. Can 12 you — 13 A. I see you guys have access to my MySpace and 14 Facebook. 15 Q. My question is do you recognize that photo? 16 A. Yes, Id°. 17 Q. And who is that depicted in the photo? 18 A. That's.. 19 Q. And? 20 A. And me. 21 Q. All right. And where were you at the time? 22 A. We wore — it was Halloween. We were 23 somewhere for Halloween. 24 Q. All right So is it, Halloween is usually, I 25 think it's October 30th? Page 265 1 MR. HOROWITZ: I didn't raise my eyes. I said 2 she was responding to your question. 3 You wanted her to say that she could still 4 haveagoodtime- 5 MR. CRITTON: Let Rachel read the question 6 back. Don't use up my time. 7 (A portion of the record was read by the 8 reporter.) 9 BY MR. CRITTON: 10 Q. Let me repeat the question so ifs clear. 11 Exhibit 4 depicts you and out at 12 Halloween in costumes drinking 27 days after the police 13 interviewed you, and you told your parents for the first 14 time what, at least a wuncated version of what occurred 15 at Mr. Epstein's house, right? 16 A. Yes. 17 Q. And you were able, certainly not just 18 Halloween, but before that, after that you continued to 19 party and go to parties, correct? 20 A. I told you I used that, like me going to 21 parties has nothing to do with my anxiety and all of 22 that. 23 It's me trying to get, just trying to get ova 24 everything and hang out with my friends and forget about 25 everything that was going on. Page 2€1 1 MR. HOROWITZ: Every year. 2 BY MR. CRITTON: 3 Q. Every year, or 3Ist, whatever it is. Probably 4 the 31st So that would have been October 3Ist That 5 would have been approximately 27 days after the police 6 took your, or interviewed you in the beginning of 7 October of 2005; is that correct? 8 A. Yes. 9 Q. So you were still able to go out, go to 10 parties, do those kinds of things even after the police 11 interviewed you? 12 A. A lot of times l use drinking as like a way to 13 help me forget about what happened and forget about, you 14 know, the stress I was under because of it and about the 15 whole thing. 16 MR. CRITTON: Okay. I'm going to move to 17 strike as nonresponsive. So let me have Rachel 18 read the question back to you and see if you can 19 answer my question. 20 MR. HOROWITZ: That was responsive. 21 MR. CRITTON: Yeah, right. 22 MR. HOROWITZ: It's not the response you 23 wanted, but it's responsive. 24 MR. CRITTON: Stop rolling your eyes or 25 raising your eyebrows in support of your position. ObIRIOgietuAo...4?....4.citadareasmt.cacangde.4".. (561) 832-7500 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 Page 266 Q. Before you ever went to Mr. Epstein's house, you hung out with your friends, right? A Yes. Q. Before you ever went to Mr. Epstein's house, while you may not have taken drugs, you did drink alcohol, didn't you? A. Not really. Q. So if people say before you ever went to Mr. Epstein's you never had alcohol or you had alcohol — I've got to start again. Is it your testimony that you never drank alcohol before you went to Mr. Epstein's? A. I don't remember if I ever drank or not, but it definitely wasn't like I do now. Like I wasn't partying. I might have had a beer or two beers, but I don't really remember. I remember starting to chink around my junior year of college. Q Olcay. A I mean, sorry, high school. Q. And is it now your testimony that you arc relating your drinking because you went to Mr. Epstein's? A. Pm not relating. It just helps me cope with eve2thirsiand forjet about it. 36 (Pages 263 to 266) PROSE COURT REPORTING AGENCY, INC. (561) 832-7506 EFTA01107867
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Page 267 1 Q College kids are notorious for drinking, 2 right? I mean kids drink in college? 3 MR HOROWITZ: Form. 4 IIIE WI NESS: Yes. 5 BY MR. CRITTON: 6 Q. • All right. And you drink and you drink to 7 excess from time to time, just like other college kids 8 do? 9 A. Yes. 10 Q Okay, because your college experience is very 11. similar to what other college kids' experience is, from 12 what you've observed, true? 13 A. I don't think ifs half as similar as what 14 other college kids had to go through. And if they had 15 to go through this, Fm sure they would drink too in 16 excess. 17 MR- CRITTON: I'll move to strike as 18 nonresponsive. 19 BY MR. CRAYON: 20 Q. My question to you is other college kids go 21 out and party two, three, four times a week; that's not 22 unusual, is it? 23 A. I mean some do, some don't. 24 Q. All right. And you are with a crowd that does 25 and you like to do that, don't you? Page 269 1 BY MR. CRITTON: 2 Q. What did I say? 3 A. Faoebook. 4 Q. Facebook, okay, MySpace. Do you still have a 5 MySpace account? 6 A. I do. 7 Q. Do you have a Facebook as well? 8 A. Em sure you guys know. Yes, I do. 9 Q. I get to ask questions. I don't even know 10 what I know sometimes. You still use Facebook? 11 A. Yes. 12 Q. And is it still — what's your — what's the 13 word that you key into if someone wanted to look at your 14 MySpace? They would look at what? What would they have 15 to print in? 16 MR. HOROWITZ: Form. 17 THE WITNESS: What do you mean? 18 BY MR. CRITTON: 19 Q. What do you use as like your call — I should 20 know this, as your location. There is a word for that 21 and I can't — it says Jane Doe 7 on it, but what would 22 I type in to come to your MySpace page? 23 MR. HOROWITZ: Are you asking her for a 24 password? I don't think she has to give you that. 25 MR. CRITTON: No, I'm not asking for a 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 Page 268 MR. HOROWITZ: Form. THE WITNESS: I mean I like to hang out with my friends and drink. BY MR. CRITTON: Q. All right. And you have described what your symptoms are after the last time you saw Mr. Epstein as being — lees see what you described it -- as depressed, anxious, felt disgusting, self-conscious, flashbacks, can't eat and sleep. Let me show you Exhibit 5. MR. HOROWITZ: I'm going to object to these exhibits, particularly under rule 26. You guys got to turn this stuff over. You can't just come to a deposition with these things. And you haven't produced tin (The document was marked Defendant's Exhibit 5 for identification.) MR. CRITTON: Here. MR. HOROWITZ: Take a look at this. BY MR. CRITTON: Q. Do you recognize this as being part of your Facebook space from the 2005 time period? MR. HOROWITZ: Form. THE WITNESS: No. It's part of my MySpace. Page 270 1 password, but just to get on your Facebook. 2 THE WITNESS: You have to fiend request me. 3 BY MR. CRITTON: 4 Q. I'm sorry? 5 A. You have to friend request me. 6 Q. If I just typed in Jane Doe 7, would your name 7 come up under MySpace? 8 A. Yes. 9 Q. Same thing with Facebook? 10 A. Yes 11 Q. And then you would decide whether you want me 12 to be your friend? 13 A. Yes. 14 Q. And I would be pretty confident that if I 15 wrote to you, you would say no, right? 16 A. Probably, yes. 17 Q. All right, good. Let's stick with Exhibit S. 18 This is your Faceboolc? 19 A. My MySpace. 20 Q. I'm sorry, MySpace. It has Jane Doe 7's 21 blurbs, which means that you would have created that 22 yourself, tight? 23 A. Yes. 24 Q. Could you read for the ladies and gentlemen of 25 the jury what you have under your blurb? (561) 832-7500 37 (Pages 267 to 270) PROSE COURT REPORTING AGENCY, INC. (561) 832-7506 EFTA01107868
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Page 271 Page 273 17 18 19 20 21 22 A. Where is my blurb at? Q. Under the Welcome. A. This is ridiculous. I mean everybody has a MySpace. Q. I'm just asking you to read it, nufam. A. quote. Q. All I'm asking you is to read it. I don't want you to editorialize, please. A. I mean I see how you are going to turn everything around, so — Q. Please continue readin: A. Page 272 6 Q. And if you go over to page two, you say "Who rd like to meet" That's also what you wrote; Is that true? 9 A. Yes. 10 Q. Read to the ladies and gentlemen of the jury 11 what you put in December of '05, or at least what was on 12 your MySpace account in December of '05. 13 A. "I like guys who are fun and outgoing. Hike 14 guys who like to go out but at the same time don't mind 15 staying in and watching a movie. Being too serious or 16 conceited is a turnoff. I don't like guys that are 17 really jealous either. I don't like getting hurt, so 18 Pm not one to get attached to one guy quickly. I 19 believe there is someone for everyone. Ws just a 20 matter of them finding you? 21 Q. Look on the pictures or page two. Do you get 22 to choose the pictures that you put on MySpace? 23 A. Yes. 24 Q. Okay. So like the Dior one would be something 25 you would have chosen and put in? 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 (561) 832-7500 PROSE COURT 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 1 A. Yes. 2 Q. Where the lady is buying on her back with the 3 foot on maybe the pool attendant, is that a picture tha 4 you would have chosen? 5 A. Yeah, I was a fan of Paris Hilton. 6 Q. Is that Paris? 7 A. Yes. 8 Q. All right. The Jane Doe 4 again on page two, 9 is the Jane Doe 4 there, is that — that's not Jane Doe 4, is it, or is it or can y0u tell? A. Yeah, that's Jane Doe 4. Q Jane Doe 4 who? A. Jane Doe 4. Q Oh, that is Jane Doe 4, all right. Ova on page four, where it says, which is that? Q. All right. And over on page six there is an In fact, at the top of page six it has Jane Doe 4, 11/29105. "Jane Doe 7, you need to call me. I was drunk last night when you called and only remember bits of what was going on. Call me, love you all." Is that Jane Doe 4? A. Yes. Q. And under that is. also the same day. Page 274 1 Says "I'm having a party, party girl. Talk to 2 about it. Losay2u." 3 Is than who you took to Mr. Epstein's 4 home? 5 A. Yes. 6 Q. So did you continue to remain friends with her 7 fora period of time? 8 A. Yes. Q. Do you ever hear from her now? A. Uhuh. Q. I'm sorry? A. No. Q. Let me show you what I'll show you as Exhibit 6. (The document w MS marked Defendant's Exhibit 6 for identification.) MR. HOROWITZ: I'm going to again object in that the defendant to this day has not produced these things, despite their obligation under Wile 26. BY MR. CARTON: Q. Now this is again from your MySpace pag A. Yes. Q All right. And again, the photographs or 11e information say it's on_page one, that's you, correc 38 (Pages 271 to 274) REPORTING AGENCY, INC. (561) 832-7506 EFTA01107869
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Page 275 Page 277 left side? A. Yes. Q. And in fact, this one says last login, 7/14/2006. Does that mean that's the date, that is tlx: 6 last time you would have logged in to this? 7 MR. HOROWITZ: Form :3 THE WITNESS: At that time. 9 BY MR. CRITTON: 10 Q. All right. It says "Jane Doe Ts interests. 11 If you go to page two, it has Jane Doe Ts interests. 12 This is now, this is you on July 14 of '06 13 that you would have beeii.lis would have been the 14 end of your first year at 15 A. (Witness nods head up and down.) 16 Q. Correct? 17 A. Yes. 18 Q. Did you stay up in Orlando during that time 19 period? 20 A. Yes. 21 Q. All right. What does it say Jane Doe Ts 22 interests are, general? Could you read that to the 23 ladies and gentlemen of the jury? 24 A. "I love anything on the water and getting a 25 tan. I rode horses since I was like four and still love 1 A. Yes. 2 Q. All right. And then hanging out in the lofts 3 pool. Lofts is where you were living at the time? 4 A. Yes. 5 Q. The guy, do you know him? 6 A. Yeah, he's a friend of mine. 7 Q. Boyfriend or just a guy friend? 8 A. Just a friend. 9 Q. It says "Getting some sun in South Beach." 10 The picture on the right, who is that? 11 A. Me and. 12 Q 13 A. Yes. • 14 Q. Is that when you had met Mario? 15 A. Yes. 16 Q. All right. Pictures on.page three, and again, 17 let me, if I go back to page two where it gives a little 18 history of yourself, again, 19 again, that's what you put on Facebook, correct? 20 A. IvIYSPace• 21 Q. I'm sorry, MySpace. All right, and then the 22 pictures on page four, those again were ones that you 23 chose, true? 24 A. Yes. 25 MR. HOROWITZ: Bob, how is it that you didn't Page 276 1 it. I also like relaxing girls' nights out, surfing, 2 the beach, goofing off, partying, being in love, coming 3 up with funny dnmken sayings. I'm not going to lie. 1 4 like to watch football. I'm a huge Steele fan and I 5 like baseball. Watching the Steelers isn't too bad 6 either." 7 Q. Are you pretty active even today on Facebook 8 and MySpace? 9 A. Just Facebook. I don't use MySpace anymore 10 really. 11 Q. MI right. Over on, the bottom picture on 12 page two, who is in that picture? 13 MR. HOROWITZ: Form 14 BY MR. CRITTON: 15 Q. Can you tell? 16 A. Right here? 17 • Q. Pardon? 18 A. • 'tight here? 19 Q. No, the lower picture, it has three females. 20 A. Me and Jane Doe 4 and.. 21 Q. Jane Doe 4 ant ? 22 A. Yes. 23 Q. All right. Go over to page three. It has 24 pictures again. It has "A dangerous combo." Is that 25 you in the truck? Page 278 1 produce these things? I'm having a hard time, I'm 2 still sat of wrestling with this. 3 MR. CRITTON: If you want to file a motion, 4 that's fine, and I'll explain to the Judge. 5 MR. HOROWITZ: I want her not to answer any 6 questions about this stuff 7 MR. CRITTON: I think this is all impeachment 8 information anyway. 9 MR. HOROWITZ: I don't care, you have to 10 produce it. 11 MR. CRITTON: No, I don't 12 MR. HOROWITZ: Yes, you do. 13 MR. CRITTON: We will respectfully disagree. 14 BY MR. CRITTON: 15 Q. If you to to page II. 1.6 THE WITNESS: Do I have to answer this? • 17 MR. HOROWITZ: I don't know what the question 18 is, but l might tell you not to. 19 BY MR. CRITTON: 20. Q. On page 11 it has a Jane Doe 4 and it looks 21 Ifice the two of you were, or two faces arc hanging there 22 . with their tongues out. Who is that? 23 MR. HOROWITZ: Is that impeachment? 24 Don't answer it. You guys aren't playing 25 tinder the rules. You are not producing stuff that l-Lo..Coar-muwiac-J.kt....V. , %12.17.3.144g46faNNIAINISJosinh•OA "IMPIIMIWaia,'••••••• .(561) 832-7500 832-7500 39 (Pages 275 to 278) PROSE COURT REPORTING AGENCY, INC. (561) 832-7506 EFTA01107870