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Page 371 
Page 373 
1 
A. Yes. 
2 
Q. All right. It's part of life. You had seen 
3 
it on TV before? Yes? 
4 
A. Yes. 
5 
Q. lied you seen it in the movies before? 
6 
A. Yes. 
7 
Q. All right. Had you ever seen it in person 
8 
before? 
9 
A. No. 
10 
Q. All right. So you figured that's what he was 
11 
doing under the towel, right? 
12 
A. Yes. 
13 
Q. All right. You didn't see it, you just 
14 
assumed that's what was going on? 
15 
MR. HOROWITZ: Form. 
16 
THE WITNESS: Yes. 
17 
BY MR. CRITTON: 
18 
Q. All right. So had he let go of you Men? He 
19 
put his hand on your butt and pulled you toward him, 
20 
when you said you felt awkward, scared and nervous and 
21 
he sensed that and you said "Im nervous," did he let go 
22 
of you? 
23 
A. No. 
24 
Q. Okay. Did he continue to hold on to your 
25 
butt? 
1 
Q. Okay. Did he get up then? 
2 
A. Yes. 
3 
Q. Keep the towel around him? 
4 
A. I know he like put on, grabbed a new towel, 
5 
and then I walked around the side and he got his money 
6 
and gave me the $200. 
7 
And then he asked me for my number. And he 
8 
told me ifl had a friend, asked me if I had a friend 
9 
that wanted to make money. 
10 
Q. And you said? So he asked you for your number 
11 
and said if you had a friend who would like come --
12 
A. Yes, 
13 
Q. What? 
14 
A. l le said if I brought a friend, then I would 
15 
make money. 
16 
Q. Okay. And he gave you $200. You felt 
17 
awkward, scared and nervous. 
18 
Did you give him your phone number or did you 
19 
give him just a fake phone number? 
20 
A. I gave him mine. 
21 
Q. But you could have said "No, thanks, I'm done, 
22 
Pm not going to give you my phone number," right? 
23 
A. Yes. I just felt scared and intimidated, so I 
24 
gave him my number. 
25 
Q. But you could have given him any phone number, 
Page 372 
1 
A. Yes. 
2 
Q. Did you ever — had you removed any clothing? 
3 
A. No. 
4 
Q. Had he ever asked you to remove any clothing? 
5 
A. I think the first time, I fen so like nervous 
6 
and awkward, I don't think he asked me, no. 
7 
Q. Well, all right. So your best recollection is 
8 
he didn't ask you to take any of your clothes oft? 
9 
A. The first time. 
10 
Q. So he pulled you towards him. You felt 
11 
awkward, scared and nervous, right? 
12 
A. Uh huh. 
13 
Q. You told him — yes? 
14 
A. Yes. 
15 
Q. And you told him that? 
16 
A. Yes. 
17 
Q. Okay. And then he was, from your perspective, 
18 
was masturbating under the towel? 
19 
A. Yes. 
20 
Q. And then what happened? 
21 
A. And then he was just making noises. And I 
22 
didn't see him ejaculate, but I'm assuming he 
23 
ejaculated, because he stopped. And then that was --
24 
Q. That was it? 
25 
A. Yes. 
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Page 374 
true? 
A. 
Q. 
A. 
Q. 
A. 
Q. Did you feel in any way embarrassed or 
humiliated? 
A. I was kind of confused. Like he was like an 
older, powerful man and, you know, I just felt confused 
about the whole situation at that point. 
MR. CRITTON: Okay. Let's take a break. 
THE VIDEOGRAPHER: Going off the record at 
5:28 pm. This marks the end of tape three. 
(Disclicsion held off the record.) 
THE VIDEOGRAPHER: We are back on the record 
at 531 p.m. This marks the beginning of tape 
four. 
BY MR. CRITTON: 
Q. You said that you thought Mr. Epstein — did 
you know what his last name was at that time or you just 
knew his name was Jeffrey? 
A. I thinkl knew, just thought it was Jeffrey. 
Q. You said when he walked in the room, obviously 
you knew that he was, you know what his approximate age 
Umm, I suppose. 
Okay. Did you feel intimidated? 
Yes. 
Did you feel uncomfortable? 
Yes. 
(561) 832-7500 
20 (Pages 371 to 374) 
PROSE COURT REPORTING AGENCY, INC. 
(561) 832-7506 
Electronically signed by Rachel Bridge (201-n2-6n-4627) 
Electronically signed by Rachel Bridge (201.272.617.4627) 
to3b2074-4669.4Md-ac93-064699fd7921 
EFTA01107896
Sivu 22 / 41
Page 375 
Page 377 
1 
was? 
2 
A. He looked older, yes. 
3 
Q. All right. When you say older, how old does 
4 
that mean? 
5 
A. He looked like he was like 45, 50. 
6 
Q. You said he was powerful. What made you think 
7 
he was powerful? 
8 
A. 1 could just tell by his house. 
9 
Q. Just because he had a big house? 
10 
A. Yes. 
11 
Q. Did you know anything about him? 
12 
A. No. 
13 
Q. During the eight to ten times you claim that 
14 
you went, did you ever learn anything about him, what he 
15 
did fora living? 
16 
A. Yes, I think he told somebody — 
17 
Q. No, what he told you, not somebody. 
18 
MR. HOROWITZ: No, no, that's how she learned. 
19 
She is explaining to you. 
20 
BY MR. CRITTON: 
21 
Q. Let me stick with my question. Did you ever 
22 
learn from him what he did? 
23 
A. No, he would talk about his friends in finance 
24 
and he would be on phone calls sometimes when I was like 
25 
giving him massages. 
1 
money foe.? 
2 
A. No. 
3 
Q. Did you well, let me strike that. He gave 
4 
you $200 he asked for your phone number and you 
5 
voluntarily gave it to him, correct? 
6 
A. Yes. 
7 
Q. He asked you if you ever wanted to bring 
8 
someone else that wanted to come, he'd pay you to do 
9 
that? 
10 
A. Yes. 
11 
Q. Did he tell you how much he'd pay you to do 
12 
that? 
13 
A. 200. 
14 
Q. And I think you described yourself at that 
15 
point as awkward, you felt the situation was awkward. 
16 
scared, I think you used the word weird, you thought it 
17 
was inappropriate and you felt uncomfortable. Fair? 
MR. HOROWITZ: Form. 
19 
THE WITNESS: Yeah. 
20 
MR. HOROWITZ: Confused too. 
21 
BY MR. CRITTON: 
22 
Q. Let's put confused there too. I'll add that. 
23 
So as you left, you gave him your phone 
24 
number, you listened to what he said about bringing 
25 
somebody else, and what happened then? Did he go off? 
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Q. Yawn he gave you the $200, did he give you any 
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Page 376 
And then he talked to me about how his friends 
like own yachts and, you know sail, because I told him I 
wanted to get into hospitality and travel. So he told 
me about his friends, and he said he would introduce me 
to one of his friends if I wanted to, because his friend 
has like a yacht, and 1 could work on his yacht and just 
stuff like that. So 1 just kind of assumed things. 
Q. The friends, did he ever tell you who his 
friends were? 
A. I saw pictures of like Bill Clinton, I think, 
10 
and 1 saw a picture with Donald Trump. He never told me 11 
who they were. 
12 
Q. He just said he had friends? 
13 
A. Yes. 
14 
Q. And you saw some pictures? 
15 
A. Yes. 
16 
Q. And you dont know whether those people were 
17 
his friends or not, you just know that you saw pictures 
18 
with those people? 
19 
A. I mean he had his arm around them and they 
20 
looked like they were friends. 
21 
Q. So Mr. Epstein was in the picture, one picture 
22 
with Trump, another picture with Clinton? 
23 
A. Yes. 
24 
1 
2 
3 
4 
5 
6 
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Page 379 
A. Yeah, I just left witty 
Q. No, no, did he go off before you went back 
downstairs? 
A. Like walked off? 
Q. Did he leave the room? 
A. I think he just walked me to the stairs. 
Q. And he still had a towel around him? 
A. I think so, yeah, or a robe maybe. 
Q. You never saw him completely naked that day, 
did you? 
A. No. 
Q. Then he wallatyau to the stairs, you went 
back down the staff rl= 
was still there? 
A. Yes. 
Q. And did you have anything to eat or drink 
before you left? 
A. No. 
Q. Did you see 
again? 
A. Yeah, l saw 
w 
I was leaving. 
Q. Did she say anything to you? 
A. Just goodbye, I think. Something like that. 
Q. And what did you say? 
A. Just said bye. Just wanted to get out of 
there. 
Q. You wanted to get out of there because you 
(561) 832-7500 
PROSE COURT REPORTING AGENCY, 
21 (Pages 375 to 378) 
INC. 
(561) 832-7506 
Electronically signed by Rachel Bridge (201-272-6174627) 
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Sivu 23 / 41
a 
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it? 
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Page 379 
1 
thought it was a really weird situation; fair statement? 
2 
A. Yes. 
3 
Q. And you were very uncomfortable and scared and 
4 
nervous, true? 
S 
MR. HOROWITZ: Form. 
6 
THE WITNESS: I mean yeah, I was confused by 
everything. I saw like a rich, powerful guy, and 
then he was, you know, and very nice to me, but at 
the same time like I, you know, Mt uneasy and 
just confused by everything that was going on. 
BY MR. CRITTON: 
Q. Had you ever been with a guy before, a male 
before where he had masturbated, even if you didn't see 
A. No. 
Q. Had you ever been with one of your, a guy 
friend and the guy had masturbated? 
A. No. 
Q. Or you thought he was masturbating? 
A. No. 
Q. You both leave the kitchen, you leave the 
house, you get back in the truck. 
A. (Witness nods head up and down.) 
Q. Do you start screaming a= 
going "What in 
God's name did you get me into here" 
Page 381 
1 
A. Yeah. 
2 
Q. All right. You just went to that beach, 
3 
parked at the meters, and just went down to the beach 
4 
fee a while? 
5 
A. Yes. 
6 
Q. And then to get home from there, what is it, 
7 
about a 30-minute ride? 
8 
A. Yes. 
9 
Q. So you ancM. go to the beach fora period 
10 
of time and you ride home. Were you aware wheth.
11 
had received any money at that point? 
12 
A. I don't remember. 
13 
Q. Did you learn later that H.R. had received 
14 
money? 
15 
A. Yes. 
16 
Q. Did she tell you? 
17 
A. I don't remember if she told me. I think she 
18 
did. 
19 
Q. Did she tell you how much money she received? 
20 
A. I think just 200, like he pays everybody. 
2 1 
Q. And were you offended that she had received 
22 
S200 for bringing you? 
23 
A. I don't remember what I thought back then. 
24 
Q. Dld, when you were on the beach or on the way 
25 
home, so there bad to have been at least 30 minutes plus 
Page 380 
1 
A. Actually, I was just like really embarrassed 
2 
about everything, and I forget my conversation with her 
3 
that day, though. 
4 
Q. Well, did you say to her — did she say 
5 
anything to you like "Well, everything go okay?" 
6 
A. No. 
7 
Q. So how far — did she take you home or did you 
8 
guys go to the beach? 
9 
A. I believe we went to the beach after that. 
10 
Q. How long did you stay at the beach? 
11 
A. I don't remember. 
12 
Q. An hour, ten minutes, five minutes? 
13 
A. I have no idea. 
14 
Q. Did you go in the ocean? 
15 
A. I don't remember. I just remember we went to 
16 
the beach after that. 
17 
Q. And then you went home. Did she drive you 
18 
home? 
19 
A. Yes. 
20 
Q. What's it from Palm Beach to the beach — did 
21 
you go to the beach off of Worth Avenue, that area? 
22 
A. Just when you keep driving straight down 
23 
Okeechobee to -- yeah, the one straight, all the way 
24 
down. 
25 
Q. The end on Royal Palm Way? 
Page 382 
1 
the time you rode from Mr. Epstein's house to the beach, 
2 
sat there a while
nutes, an hour, maybe longer, 
3 
did you ever, di 
ever ask you what had happened or 
4 
if you were okay, what had happened? 
5 
A. I don't remember. It was seven years ago. I 
6 
don't remember what we talked about. 
7 
Q. Well, depending on the time period, maybe five 
8 
years ago. 
9 
A. Five, 
10 
Q. Maybe six years ago, maybe seven years, fm 
11 
not sure, based on your
r testimony. 
12 
So you woe wi 
Did you express any 
13 
anger-
14 
A. I'm mean I'm sure I was angry —
15 
Q. Let me finish the question. Did you express 
16 
any anger or anxiety to her with regard to what had 
17 
occurred between you and Mr. Epstein? 
18 
A. I mean Fm sure she could tell I was 
19 
uncomfortable and upset because of what happened, but I 
20 
don't rernanber what I said to her, what she said to me 
21 
exactly. 
22 
Q. Why would she notice that you were upset? 
23 
A. Because she didn't tell me everything that was 
24 
going to go on, so of course I would have been upset. 
25 
Q. Why? How would she know that you were upset 
(561) 832-7500 
"...4.6•1•••••••• 
22 (Pages 379 to 382) 
PROSE COURT REPORTING AGENCY, INC. 
(561) 832-7506 
Electronically signed by Rachel Bridge (201-272-617-4627) 
Electronically signed by Rachel Bridge (201-272417-4627) 
fo3b20 74.4 669-4a4d-ac93-e54696fd7921 
EFTA01107898
Sivu 24 / 41
Page 383 
1 
if you didn't express it? 
2 
A. I don't remember if I said something about 
3 
her -- I mean I'm sure I did say something like why 
4 
didn't you tell me the whole story or something like 
5 
that, but I don't --
6 
Q. Did you feel that you had been misled? 
A. Yes. 
3 
Q. Did you feel that. 
had deceived you? 
9 
A. Yes. 
10 
Q. Did you feel that she had misrepresented the 
11 
circumstances of you giving the massage? 
12 
A. Yes. 
13 
Q. Did you feel she had lied to you? 
14 
A. I just felt like she didn't tell me everything 
15 
that was going to go on. 
16 
Q. All right. So did you express something like 
17 
that to her? 
18 
A. I'm sure I did. !just don't remember exactly 
19 
what I said. 
20 
Q. Okay. And did you tell her, do you remember 
21 
telling her you felt the situation was awkward, you were 
22 
scared, you were nervous, you were confused, you were 
23 
uneasy, you thought that his actions were inappropriate, 
24 
you felt uncomfortable? 
25 
Did you tell her all that? 
Page 385 
1 
deceived you and misrepresented what was going to occur, 
2 
why didn't you then at that point say no way under God's 
3 
green earth am I going back to Mr. Epstein's house again 
4 
under any circumstances? 
5 
A. Just because I was young and I wasn't thinking 
6 
and I was just confused, and I heard my friends started 
7 
going there and then, you know, waited a little bit. 
8 
And I mean, I don't know, I just wasn't in the right 
9 
mindset. I was — 
10 
Q. Well, you knew that he couldn't force you to 
11 
go back, right? 
12 
A. Yes. 
13 
Q. And you knew he had no power over you? Once 
14 
you left that house, from your perspective, you were no 
15 
longer committed to anything, you never had to go back. 
16 
you never had to go back to Mr. Epstein's house for any 
17 
reason under any circumstances, did you? 
18 
A. No. 
19 
Q. Okay. And you could have said I found what I 
20 
did inappropriate, Pm embarrassed, I'm humiliated about 
21 
going, I'm not going back? 
22 
MR. HOROWITZ: Form. 
23 
BY MR. CRITTON: 
24 
Q. You could have marksaigt decision right then 
25 
and there on the beach with= that day, right? 
3 
Page 384 
1 
MR. HOROWITZ: Form. 
2 
BY MR. CRITTON: 
3 
Q. Or something like that? 
4 
A. I'm sure I did. I don't remember exactly what 
5 
I told her. 
6 
Q. All right. So at that point, that is, after 
7 
that, describe that as a pretty miserable experience for 
8 
you yourself? 
9 
A. Yes. 
10 
Q. So this miserable experience having occurred, 
11 
I assume you made a decision right then and there that 
12 
you would never go back to Mr. Epstein's house, because 
13 
why would you put yourself in such a situation which was 
14 
awkward, where you would be weird, you would be scared, 
15 
nervous, anxious, and what he did from your view was 
16 
inappropriate and uncomfortable for you? 
17 
MR. HOROWITZ: Form.
18 
THE WITNESS: Well, you know I went eight to 
19 
ten times, so obviously you know l went back after 
20 
that. 
21 
BY MR. CRITTON: 
22 
Q. That's my question to you, was if you found 
23 
the situation awkward, weird, you were scared, nervous, 
24 
you felt what he did was inappropriate and you were 
25 
uncomfortable and confused and you felt Ilia 
ad 
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Page 386 
A. Yes. 
Q. All right. And you felt embarrassed and 
humiliated, didn't you? 
MR. HOROWITZ.: Form. 
THE WITNESS: Yes. 
BY MR. CRITTON: 
Q. All right. Did you think it was kind of 
traumatic what he had done? You had never seen a guy or 
you had never been in the presence where another male 
had masturbated. Even though you didn't see him, that's 
what you thought he was doing, right? 
A. Yes. 
Q. All right. And that you found completely 
inappropriate, right? 
A. I mean yes. I was just confused at the time. 
Q. What's there to be confused about? You came 
away from that experience having been embarrassed and 
humiliated. You felt the situation was inappropriate. 
You were uncomfortable, scared and nervous. 
What would you ever be thinking why you would 
have any interest in going back to Mr. Epstein's after 
that occasion? 
A. Well, I wasn't planning on going back for a 
Italia 
And then I just heard girls stared going 
and 
alled me and asked me if I wanted to bring 
(561) 832-7500 
23 (Pages 383 to 386) 
PROSE COURT REPORTING AGENCY, INC. 
(561) 832-7506 
Electronically signed by Rachel Bridge (201-272417-4627) 
Electronically signed by Rachel Bridge (201.2724174627) 
fe3b2074-4669-4a4d-ac93-064696fd7921 
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Sivu 25 / 41
Page 387 
1 
anybody, and tibriLotber girls started going, and that's 
2 
when I believe= asked me about it (MI one of 
3 
them. And that's when I took one of those girls. 
4 
Q. All right Soon the second occasion is when 
5 
you took somebody else? 
6 
A. Yes. 
7 
Q. All ri t. So on the second occasion you took 
8 
either
, right? 
9 
A. Yes. 
10 
Q. Do you remember which one now, having thought 
11 
about it? 
12 
A. No. I mean I {mow now I'm pretty sure it 
13 
wa., 
but I can't remember which one I 
14 
took first. 
15 
Q. All right. And, all right, on the second 
16 
occasion you said= called you and asked you whether 
17 
you wanted to come back or whether you had someone else 
18 
that would like to come? 
19 
A. Yeah, she said either. 
20 
Q. All right. And did she say to you when she 
21 
called you 'Do you have someone else that would like to 
22 
give Mr. Epstein a massage?" 
23 
A. Yes. 
24 
Q. Or did she say to come and work? What did she 
25 
say? 
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Page 389 
Q. And did you say sit back and think — did you 
say to yourself I'm sorry I ever gave him my phone 
number? 
A I just tried not like to think about it I 
just, I don't remember. 
Q. Did you say geez, that was a traumatic 
experience for me, l don't want to go back there or have 
anything to do with those people? 
MR. HOROWITZ: Form. 
THE WITNESS: I don't remember exactly. 
BY MR. CRITTON: 
Q. Okay. But again, when you heard iron= 
did all those feelings of being uncomfortable and 
anxious and scared, did all those feelings come back to 
you when she called you? 
A. Yeah, a little bit. 
....
And did you say to yourself, you know, when 
strike that. 
Wher=called you and asked you if you 
wanted to bring someone else, did you say no? 
MR. HOROWITZ: Form. 
THE WITNESS: I believe I just said I didn't 
know and I'd call her back. 
BY MR. CRITTON: 
Q. All right Did you then decide right, I'm not 
Page 388 
1 
A. She asked me both if I wanted to come work or 
2 
if 1 knew somebody what wanted to come work. 
3 
Q. Those were her exact words? 
4 
MR. HOROWITZ: Form. 
5 
THE WITNESS: Pretty much. 
6 
BY MR. CRTTTON: 
7 
Q.Whssibitsaid that — again, you have never 
8 
texted widt= have you? 
9 
A. I don't remember. I don't think so. 
10 
g You never communicated by Facebook or social 
11 
networking "= 
12 
A. No. 
13 
Q. Or Imam on behalf of Mr. Epstein? 
14 
MR. HOROWITZ: Fenn 
15 
THE WITNESS: No. 
16 
BY MR. CRITTON: 
17 
Q. All right And when you talked witMand 
18 
she said would you like to come and work or do you have 
19 
a friend that would like to come and work, you said 
20 
what? 
21 
A. 'told her that I didn't know and that I would 
22 
call her back. 
23 
Q. And did you at that time — how much time had 
24 
passed since the time you were there the first time? 
25 
A. I'm not sure. I think like two weeks or so. 
Page 390 
1 
calling this lady back, I want nothing to do with them? 
2 
A. I don't know what I decided o 
than I 'Int 
3 
ranembe= found out about it
4 
asked me if I went and if I could bring her. 
5 
Q. And did you say you had been there? 
6 
A. Yes. 
7 
Q. Okay. And why didn't you, when you said you 
8 
had been there and she said "Could you take me," why 
9 
didn't you just say "Go talk t'
 I have got no 
10 
interest in going back"? 
11 
A. Because she asked me to take her and I 'mew I 
12 
could make money. And I told her, you know, what 
13 
happened. And she said that she wanted to make money or 
14 
needed money, so —
15 
Q. So you were going to make money of. 
16 
making money by taking her to Mr. Epstein's. Did you 
17 
consider yourself acting as a pimp? 
18 
MR. HOROWITZ: Form. 
19 
THE WITNESS: No. 
20 
BY MR. CRITTON: 
21 
Q. Pardon? 
22 
A. No. 
23 
Q. What did you consider yourself doing? What 
24 
was your role? 
25 
A. If she, if I brought her there and told her 
24 (Pages 387 to 390) 
(561) 832-7500 . 
PROSE COURT REPORTING AGENCY, INC. 
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Electronically signed by Rachel Bridge (201.272-617-4627) 
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Page 391 
nothing lit, 
did mc, there is like a difference. 
Q. Okay. So did you to 
what had happened 
with you? 
A. Yes. 
Q. Okay. a 
you told her exactly what you 
just told us had happened? 
MR. HOROWITZ: Fam. 
THE WITNESS: Yes, at the time I told her what 
happened. 
BY MR. CRITTON: 
Q. And did you tell her that you had massaged 
him, including his chest, he had turned over and then he 
had masturbated under a towel? 
A. Yes. 
Q. And she said what, no problem? 
A. She said she still wanted to go. 
Q. All right. And did you tell her that you 
found the whole situation with Mr. Epstein weird and 
awkward? 
A. Yes, Fm sure I said that. 
Q. And did you tell her you were scared and 
nervous when you were up there? 
A. I told her it was, you know, awkward. I felt 
weird and I told her what happened, but I don't remember 
exactly what words I used. 
1 
2 
3 
4 
5 
6 
7 
9 
1 0 
11 
12 
13 
14 
15 
16 
17 
18 
19 
20 
21 
22 
23 
24 
25 
Page 393 
A. I don't remember. 
Q. What was her reputation around school? 
A. It was good. 
Mill
All right. So what did you do? Did you call 
. baNclair 
"Yep, iyrcal
m bonginga .friend"?then
I toll illir 
I, yes, I had a friend that wanted to 
con 
Q. And she said,Maid "Okay, just set up a 
time"? 
A. Yes. 
mid
 And did you set up a time and did you take 
ere? 
•I'remember. 
Q. 
, was she driving at the time? 
A. Yes. 
Q. Did you say you were in the same class? 
A. Yes. 
Q. So one of the two of you drove, and I think 
you told us earlier maybe M. went, you just don't 
remember, or you think just
 two of you went? 
A. I don't remember. 
Q. So you drive over there. Din 
ask you any 
questions as you were going over there? 
A. I don't remember. 
Page 392 
1 
Q. Did you tell her the 
hadn't told you the 
2 
truth, that she had deceived you and misrepresented what 
3 
was going to happen? 
4 
A. I don't remember if I told her that. 
5 
Q. Okay. Did you tell her — did she say "Well, 
6 
would you go back up there with him?" 
7 
A. She never asked me that. 
8 
Q. Okay. So you told her you were, it had been 
9 
awkward and weird, that you were scared and nervous? 
10 
Did you tell her that? 
11 
A. I don't remember. 
12 
Q. Did you tell her that he had grabbed your 
13 
butt? 
14 
A. Yes. 
15 
Q. Okay. And she gill said "I'll go"? 
16 
A. Yes, 
17 
Q. Okay. What was S.V.'s reputation at school? 
18 
Was she someone who dated a bunch of guys? 
19 
MR. HOROWITZ: Form. 
20 
BY MR. CRITTON: 
21 
Q. I mean was she someone who had intimate 
22 
relationship with guys, from what you knew? 
23 
A. I mean she had boyfriends. 
24 
Q. Do you know whether she was in a sexual 
25 
relationship with those boyfriends? 
Page 394 
1 
Q. Did you feel like you had give= full 
2 
disclosure as to at least what your experience was? 
3 
MR. HOROWITZ: Form. 
4 
THE WITNESS: Yes. 
5 
BY MR. CRITTON: 
6 
Q. So even though yours waslit 
ble 
7 
experience, you found it frame • 
11 wanted to 
8 
go? 
9 
MR. HOROWITZ: Form. 
10 
THE WITNESS: Yes. 
11 
BY MR. CRMON: 
12 
Q. So you get over there. You go into the 
13 
kitcza
was
do ythere
ou seta: alit
14 
15 
Q. Anyone else? 
16 
A. And 
wn-haired girl. I forget her name. 
17 
I thinIcit's the 
'rt. 
Q. Who is th
18 
girl? 
19 
A. The brown-haired girl that was always over 
20 
there. 
21 
Q. Did you meet her at some point? 
22 
A. Yes. 
23 
Q. What did she look like? 
24 
A. She's like really tall and skinny and brown 
25 
hair, pretty. 
(561) 832-7500 
PROSE COURT REPORTING AGENCY, 
25 (Pages 391 to 394) 
INC. 
(561) 832-7506 
Electronically signed by Rachel Bridge (201-272-617-4627) 
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Sivu 27 / 41
Page 393 
1 
Q. S'
 have been there an
2 
A. Sarah was there. 
3 
Q. And what happened? The two of you come in. 
4 
everybody says hi, and what happens next? 
5 
A. I just introduce
., andMi 
6 
talked t=. 
fora little bit, and they went upstairs 
7 
and I waited in the kitchen. 
8 
Q. Okay. And how long w-
 gone? 
9 
A. For about half an hour. 
10 
Q. She comes back down the stairs? 
11 
A. Yes. 
12 
Q. Okay. Did you ever see Jeffrey that day? 
13 
A. Yes. 
14 
Q. Did he come down the stairs wit.? 
15 
A. Yes. 
16 
Q. What did he say to you? 
17 
A. We went over in like his living room and then 
18 
he just gave meauzey. I forget what he said to me. 
19 
Q. And diet
 see you getting money for 
20 
bringing her? 
21 
A. I don't remember. 
22 
Q. Did she understand that you were going to get 
23 
money for bringing ha? 
24 
MR. HOROWITZ: Form. 
25 
THE WITNESS: I don't remember. 
1 
2 
3 
4 
5 
6 
7 
8 
9 
1.0 
11 
12 
13 
14 
15 
16 
17 
18 
19 
20 
21 
22 
23 
24 
25 
Pc..1 
her like it had been to you? 
MR. HOROWITZ: Form. 
THE WITNESS: She didn't go into any detail. 
I'm sure she was embarrassed. 
BY MR. CIUTTON: 
Q. As you had been, right? 
A. Yes. 
Q. Okay. And did she say anything else? 
A. Not that I can remem 
Q. To your knowledge, :lie. 
ever go back to 
Mr. Epstein's? 
A. I don't know. 
Q. You never took her? 
A. No. I never took her again. 
Q. All right. On the third occasion that you 
went to Mr. Epstein's, is this when you would have taken 
A. Yes, I believe so. 
Q. So the third time, how did that happen? 
A. I don't remember exactly. 'just remember me 
taking her there. I think I mi t have drove, and 
basically the same 
wt 
Q. Did you tel 
what your experience had 
been? 
A. Yes, but she also heard about it from other 
Page 396 
1 
BY MR. CRITFON: 
2 
Q. Did you ever tell her? 
3 
A. I don't remember. 
4 
Q. When you got back in the car, did you go back 
5 
home, both of you? 
6 
A. Yes. 
7 
Q. Did you askencnv was it," or what was 
8 
your — you know, "Everything go okay?" 
9 
A. I don't remember exactly what we talked about. 
10 
I just, I knew she said something about lute he was 
11 
weird and, you know, she was kind of creeped out. And 
12 
that's, she didn't really go into detail with me. 
13 
Q. So she thought Mr. Epstein was weird and she 
14 
was creeped out by the whole experience. 
15 
MR. HOROWITZ: Form. 
16 
TIM WITNESS: Yes. 
17 
BY MR. ORITION: 
18 
Q. Okay. And she told you that? 
19 
A. Yes. That's what I, the summary of what I 
20 
remember. 
21 
Q. Okay. And that was consistent with how you 
22 
felt after the fast time, because you thought it was 
23 
weird and you were creeped out too, weren't you? 
24 
A. Yes. 
25 
Q. Did she seem to be a traumatic experience to 
Page 398 
1 
girls at school, so she also kind of knew what was going 
2 
on. 
3 
Q. Had she, did she say, after told her your 
4 
experience — I mean you told her again that he had 
5 
grabbed your butt. 
6 
A. (Witness nods head up and down.) 
7 
Q. Yes? 
8 
A. Yes. 
9 
Q. Okay. You told her that you had massaged his 
10 
legs, he had turned over and he had masturbated, at 
11 
least from your perception, under the towel? 
12 
A. Yes. 
13 
Q. Okay. And did she seem to be bothered by that 
14 
stall? 
15 
MR. HOROWITZ: Form. 
16 
THE WITNESS: I don't remember. 
17 
BY MR. CRITTON: 
18 
Q. Had she heard that, though, from other girls? 
19 
A. I think so, yes. 
20 
Q. And she left you with that impression, "Yeah, 
21 
I've heard he does that"? 
22 
A. Yes. 
23 
Q. Did you tell her that you had taken 
24 
A. I don't remember. 
25 
Q. Okay. Well, did you tell her as you ton 
(561) 832-7500 
26 (Pages 395 to 398) 
PROSE COURT REPORTING AGENCY, INC. 
(561) 832-7506 
Electronically signed by Rachel Bridge (201-272-617-4627) 
Electronically signed by Rachel Bridge (201-272.617.4627) 
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Sivu 28 / 41
Page 399 
1 
that you found the situation weird and awkward and you 
2 
were uncomfortable, confused, and nervous and scared? 
3 
MR. HOROWITZ: Form. 
4 
THE WITNESS: I don't remember, because she 
5 
already kind of knew about it, so I don't remember 
6 
what I said to her. 
7 
BY MR. CRITTON: 
8 
Q. But you told her that you didn't feel 
9 
comfortable being there, didn't you? 
10 
MR. HOROWITZ: Fr. 
11 
THE WITNESS: I don't remember. 
12 
BY MR. CRITTON: 
13 
Q. Well, did you mislead her and misrepresent 
14 
what was going to happen, or did you tell her that it 
15 
was a very uncomfortable experience for you? 
16 
MR.. HOROWITZ: Form. 
17 
THE WITNESS: I don't know if she asked me 
18 
about it, but she already knew what was going on. 
19 
BY MR. CRITTON: 
20 
Q. Well, do you remember telling her your 
21 
experience? That's what Pm interested in. I mean 
22 
whether she knew it from somebody else, did you tell her 
23 
your experience? 
24 
MR HOROWITZ.: Forth. 
25 
THE WITNESS: I don't remember. 
Page 401 
1 
this occasion? 
2 
A. I believeMand maybe, the girl, 
3 
brown-haired girl. 
4 
Q. I'm sort 
and, an
5 
A. Yeah, 
6 
Q. You pull into the kitchen. Was the cook 
7 
there? 
8 
A. I think so, yeah. There was usually a cook 
9 
there. 
10 
Q. Did you have anything to eat? 
11 
A. I don't remember. 
12 
. So you sat in the kitchen and did. 
take 
13 
oPstaks? 
14 
A. Yes. 
15 
Q. How long was she up there, about 30 minutes? 
16 
A. Yes-
17 
Q. She comes back down. Did Mr. Epstein come 
18 
back down again? 
19 
A. Umm, umm, actually I think that was the time 
20 
that Sarah brought me up there and Jeffrey was, was in 
21 
Ike a smaller room kind of by the bathroom. 
22 
And he gave me the money and he said something 
23 
Ike "good job," and then just tried to grab my butt 
24 
again. And then I was kind
e pulled away, and he 
25 
gave me the money and 
came out and then we 
Page 400 
1 
BY MR. CRITTON: 
2 
Q. Okay. Well, whether she asked you whether she 
3 
could go a not, you were in a situation that you found 
4 
traumatic, you thought he acted inappropriately, you 
5 
felt uncomfortable, nervous, scared, and confused. 
6 
Did you disclose — didn't you feel you had an 
7 
obligation to disclose that to her before you allowed 
8 
her or took her to the house? 
9 
MR. HOROWITZ: Form. 
10 
THE WITNESS: She already knew like what was 
11 
the deal, like what was going on. So ifs not like 
12 
I hid anything from her. And any time they would 
13 
ask me, I would tell them straight up, you know. 
14 
BY MR. CRITTU 
15 
Q. So you an 
o. You think she !mew 
16 
everything at least that you knew, plus she had heard 
17 
stuff from other girls? 
18 
A. Yes. 
19 
Q. So you felt that she had full knowledge, full 
20 
disclosure, so to speak? 
21 
MR HOROWITZ: Form. 
22 
BY MR. CRITTON: 
23 
Q. Is that fair? 
24 
A. Yes. 
25 
Q. You go in the house. Who was in the house on 
Page 402 
1 
left 
2 
Q. So when he reached out for your butt, you 
3 
moved away? 
4 
A. Yes. 
5 
Q. So the third occasion, so you an. 
then 
6 
walked downstairs? 
7 
A. Yes. 
8 
Q. Did you go to the beach? Did you go shopping, 
9 
or did you take her home? 
10 
A. I don't rer»ember what we did. A lot of times 
11 
I would go to the beach after, but I don't remember 
12 
specifically. 
an. 
13 
Q. Were you 
friends? 
14 
A. Yes. 
15 
Q. Did 
anything about the episode? Did 
16 
she say 
said, like "This is really weird, 
17 
this really creeped me out"? 
18 
A. Yeah, I think she was kind of — I think ever) 
19 
girl that watt kind of had that feeling — like not 
20 
every girl, but I mean a lot of the girls, the first 
21 
time theysvere kind of confused by everything. 
22 
Q. S 
ave you at least the impression she 
23 
thought it was weird and she was kind of creeped out 
24 
too? 
25 
A. I mean she didn't tell me, but I would assume. 
27 (Pages 399 to 402) 
(561) 832-7500 
PROSE COURT REPORTING AGENCY, INC. 
(561) 832-7506 
Electronically signed by Rachel Bridge (201.272-617-4627) 
Electronically signed by Rachel Bridge (201.272-6174627) 
fo3b2074.4669-4a4d-ac93-e54696fd7921 
EFTA01107903
Sivu 29 / 41
Page 403 
1 
Q. You don't have to assume. I want to know what 
2 
she said. Did she say anything to you? 
3 
MR. HOROWITZ: Form. 
4 
THE WITNESS: I don't remember what she said 
5 
to me. 
6 
BY MR. CRITTON: 
7 
Q. Well, did she say anything or did she suggest 
8 
to you — strike that 
9 
Did she tell you that anything inappropriate 
10 
had happened? 
1/. 
MR. HOROWITZ: Form. 
12 
THE WITNESS: I don't remember. 
13 
BY MR. CRUTON: 
14 
Q. Okay. Did she say he had touched her in any 
15 
way or assaulted her? 
16 
A. No. She didn't say assaulted. 
17 
Q. Well, did she say that anything had happened 
18 
that was in any way inappropriate? 
19 
MR. HOROWITZ: Form. 
20 
THE WITNESS: I don't remember. 
21 
BY MR. CRITTON: 
22 
Q. Again, neither 
ever came down 
23 
looking distraught or crying or upset, did they? 
24 
A. I mean yeah, they kind of looked like upset 
25 
and weirded out. None of them ever cried, but — 
Page 405 
1 
money. You had a job at the time or you didn't have a 
2 
job? 
3 
A. I don't think I had a job, no. 
4 
Q. So did you ask your parents for money? 
5 
A. My parents like rarely gave me money. Like 
6 
just when I needed things like bad, like for school. 
7 
Q. Who paid for your gas? 
8 
A. I would have to like wash my dad's car or 
9 
clean the yard. I would have to do chores to get —
10 
Q. Soto speak, an honest days work for an 
11 
honest days pay? 
12 
A. Pretty much. 
13 
Q. All right. So and how about for insurance, 
14 
who paid the car payment and the insurance payment for 
15 
the car, your parents? 
16 
A. My dad. 
17 
Q. All right. Did your parents ever ask you 
18 
where you went when you were going over to Palm Beach, 
19 
or did they not know you were going to Palm Beach? 
20 
A. They didn't Icnigr agoing. 
21 
Q. All right So i 
Iled, you said you 
22 
needed some money, so you said you'd go again? 
23 
A. Yes. 
24 
Q. Now the fourth time, this is the fourth of the 
25 
eight to ten times you went? 
Page 404 
1 
Q. Did they ever call for help when they were 
2 
there? 
3 
A. No. 
4 
Q. Did you after the first visit ever call the 
5 
Palm Beach Police Department? 
6 
A. No. 
7 
Q. Okay. Diver 
say, "You know what? 
8 
This guy did something unappropriate, we should call the 
9 
pollee? 
10 
A. No. 
11 
Q. How about and you? DiMisay anything 
12 
to you about calling the police that maybe what was 
13 
going on was inappropriate? 
14 
A. No. 
15 
Q. All right. So you made another 200 bucks for 
16 
taking somebody else, right? 
17 
A. Yes. 
18 
Q. Okay. The fourth time now you went, how did 
19 
it happen that you went a fourth time? 
20 
A. I just heard about, you know girls going, and 
21 
then I just needed money and 
like kept calling me, 
22 
so then I just decided to go back, but it's hard to 
23 
distinct from time to time. !just remember like major 
24 
things that happened when I was there. 
25 
Q. Okay. The fourth time, you say you needed 
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 406 
A. Yes. 
Q. So you go on the fourth time, you go. Who was 
in the kitchen at the time? 
MR. HOROWITZ: Form. 
BY MR. CRITTON: 
Q. Let me strike that. 
Was there anyone in the kitchen at the time? 
MR. HOROWITZ: No, that's not my objection. 
BY MR. CRITTON: 
Q. Fourth visit 
MR. HOROWITZ: That is a better question. 
BY MR. CRITTON: 
Q. You went to his house the fourth time. 
correct? 
A. Yes. 
Q. You went to the 
did you always go to the 
kitchen entrance? 
A. Yes. 
Q. Did you ring the bell? 
A. No. 
Q. You just walked in? 
A. I think so, yeah. 
Q. Was anyone in the kitchen? 
A. I don't remember exact like lime to time. I 
just, I remember usually there was a cook in the 
(561) 832-7500 
28 (Pages 403 to 406) 
PROSE COURT REPORTING AGENCY, INC. 
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Electronically signed by Rachel Bridge (201.272417-4627) 
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103b2074-4669-4a4d-ac93-054696fd7921 
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Sivu 30 / 41
Page 407 
Page 409 
1 
kitchenaape I saw Shairl there. One time 
2 
1 saw dein 
there
 was usually always 
3 
there. 
4 
Q. Can you tell me, can you identify the fourth 
5 
time and what happened at the fourth time? 
6 
A. I think the fourth time was when he was in the 
7 
shower and I went up there. 
8 
Q. So you went up. Dialtake you up or you 
9 
just !mew how to get up there? 
10 
A. I think she took me up. 
11 
Q. Okay. Now this is the fourth time you went. 
12 
You went one time, you were, you felt the situation 
13 
completely inappropriate, you were traumatized, you were 
14 
scared and confused. 
15 
The next two times you take friends. You 
16 
explain to them what was going to go on, and they knew, 
17 
they heard it from other people. 
18 
Why did you put yourself in a position to go 
19 
back now a second time yourself after the first 
20 
experience was traumatic and awful for you? 
21 
MR. HOROATfZ: Form. 
22 
THE WITNESS: I don't know, I just, I wanted 
23 
money. And I mean a lot of my high school 
24 
girlfriends were going and I thought it was kind of 
25 
like, you know, getting to be normal almost. And 
1 
right? 
2 
MR. HOROWITZ: Form. 
3 
THE WITNESS: Like I said earlier, I just, I 
4 
was confused. I wasn't thinking. I was young. 
And a lot of my friends were going and I just 
6 
started getting more comfortable because my friends 
7 
were going. It wasn't like he was a mean man. He 
was like really nice to me, and I mean other than 
9 
what he did. But I mean I don't know why. 
10 
BY MR. CRITTON: 
11 
Q. Okay. Each of the subsequent times, each of 
12 
the times from the fourth time through the eighth or the 
13 
tenth time, whatever it was, with the second and third 
14 
time taking someone else and not you participating, you 
15 
voluntarily consented to go to Mr. Epstein's home, true? 
16 
A. Yes. 
17 
Q. And in each instance, when you were asked 
18 
whether you wanted to come and work, you had to make a 
19 
decision to say, number one, yes; and then number two, 
20 
to get in the car and to transport yourself over there? 
21 
A. lb huh. 
22 
Q. Yes? 
23 
A. Yes. 
25 
toldOX AN 
 
right. And in any instance you could have 
24 
that you had no interest incoming 
Page 408 
1 
don't know, I was just young and confused, and so I 
2 
went there again. 
3 
BY MR. CRITTON: 
4 
Q. But had you ever had had you ever put your 
5 
hand on or near a kitchen — do you have a gas or an 
6 
electric range? 
7 
A. Gas. 
a 
Q. Okay. Did you ever put your hand too close to 
9 
the flame and it bums? 
10 
A. Yes. 
11 
Q. Not a pleasant experience, right? 
12 
A. Yes. 
13 
Q. What's it teach you? Even as a small child, 
14 
you learn you don't do that again, right? 
15 
MR. HOROWITZ: Form. 
16 
THE WITNESS: Yes. 
17 
BY MR. CRITTON: 
18 
Q. All right. So in this instance you had a very 
19 
unpleasant experience with Mr. Epstein —
20 
A. Yes. 
21 
Q. — from the first occasion. Traumatic, as 
22 
you've described it. 
23 
So why would you put yourself back in that 
24 
position again? I mean you had a lot of time to think 
25 
it before you ever went back a second time for yourself. 
Page 410 
1 
back to Mr. Epstein's house, correct? 
2 
A. Yes. She would call me a lot, though. 
3 
Q. I'm sorry? 
4 
A. She called me a lot. 
5 
Q. All you had to do was say don't, do not call 
6 
me again, correct? 
7 
A. Yes. 
8 
Q. That's all you had to say? 
9 
MR. HOROWITZ: Form. 
10 
BY MR. CRITTON: 
11 
Q. Did you ever al= 
"Don't call me 
12 
anymore, I have no interest in coining to your house"? 
13 
A. No. 
14 
Q. Okay. Have you ever told someone — my guess 
15 
is you've told males before who wanted to date you, you 
16 
have said "Look, I have no interest in dating you, don't 
17 
call me anymore." 
You have said that to men, haven't you? 
19 
A. Yes. 
20 
Q. And my guess is you probably said that to some 
21 
females over the years, some people that you don't want 
22 
to associate with if they call you and say "Look, I'm 
23 
sorry I did this to you. Look, don't call me" 
24 
You have said that to people, haven't you? 
25 
A. Yes. 
(561) 832-7500 
PROSE COURT REPORTING AGENCY, 
29 (Pages 
407 to 410) 
INC. 
(561) 832-7506 
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Page 411 
1 
Q. And you could have said that t•MI could 
2 
you not? 
3 
A. Yes. 
4 
Q. All right. But you chose not to for whatever 
5 
reason, true? 
6 
A. Uh huh. 
7 
Q. Yes? 
8 
A. Yes. 
9 
Q. All right. So the fourth time you go over, 
10 
you say you saw him, he was in the shower. 
11 
A. Yes. 
12 
Q. All right. So what did you do? 
13 
A. He was just talking to me while he was in the 
14 
shower. And I think he asked me how school was or 
15 
something. 
16 
And he said he needed to take a shower because 
17 
he just went for a jog, and we were just briefly 
18 
talking. Then he got out and he grabbed a towel. He 
19 
was like all naked and just kind of dried off and then 
20 
asked me if I was ready to do the massage. 
21 
Q. Were you looking at him when he got out of the 
22 
shower or did you turn away? 
23 
A. !saw him naked and then I tamed away. 
24 
Q. Okay. Did you say anything to him when you 
25 
say him naked, say "Look, you know, I don't need that"? 
Page 413 
1 
Q. Again, you are there. Were all these sessions 
2 
about a half hour? 
3 
A. Yes. 
4 
Q. So you massage his feet and his legs again. 
5 
Is he talking to you? 
6 
A. Yes. 
7 
Q. Does he ever ask you your age? 
8 
A. No. 
9 
Q. Do you ever tell him your age? 
10 
A. I don't think so. I remember telling him I 
11 
was in high school. 
12 
Q. You did ever show him your fake IDs? 
13 
A. No. 
14 
Q. Did you tell him you had a fake ID? 
15 
A. No. 
16 
Q. If he had asked for the ID, you would have 
17 
given him the fake ID? 
18 
MR. HOROWITZ: Form. 
19 
THE WITNESS: NO. 
20 
BY MR. CRITTON: 
21 
Q. Why not? 
22 
A. I mean why would I have? 
23 
Q. Were you concerned at all about your age? 
24 
MR. HOROWITZ: Form. 
25 
T E WTTNESS: No. 
Page 412 
1 
A. I mean no, I was kind of nervous. I was just 
2 
put in an awkward situation, pretty much. 
3 
Q. So again, you felt in a very awkward and 
4 
unoomfortable position? 
5 
A. Uh huh. 
6 
Q. Yes? 
7 
A. Yes. 
8 
Q. All right. Did you say, you know, "I really 
9 
don't feel like doing this, I don't feel well, I think 
10 
III go downstairs"? 
11 
A. No. 
12 
Q. Okay. I mean you've gotten out of other 
13 
events in your life, whether it's a party or going out 
14 
with someone by saying "Look, I don't feel well, I have 
15 
got a headache, l feel sick," and then you didn't have 
16 
to go to dinner with the person or didn't have to go 
17 
out? 
18 
You have done that before? 
19 
A. Yes. 
20 
Q. All right. So he puts a towel around himself 
21 
Does he come over and get on the table then? 
22 
A. Yes. 
23 
Q. Did you start massaging his feet and his legs 
24 
again? 
2 5 
A. Yes. 
Page 414 
1 
BY MR. CRITTON: 
2 
Q. So again the fourth time, but the second time 
3 
you alone, you massage his feet and his legs. 
4 
What happens? Is it the exact same as the 
5 
fast occasion? 
6 
A. No. 
7 
Q. How is it different? 
8 
A. It was worse. Like every time it gradually 
9 
got worse. That was the time when he like grabbed my 
10 
buttocks and pulled me closer and after the massage, and 
11 
then he tried grabbing my breasts and asked me to take 
12 
my shirt off. 
13 
And I think I always wore like a bathing suit 
14 
there, and he told me that I had like a nice body and I 
15 
was pretty. And then he would ask me things, like if l 
16 
was still a virgin. 
17 
Q. I'm just talking about the fourth visit now. 
18 
A. Okay. 
19 
Q. This all happened on the fourth visit, the 
20 
second time you were there alone? 
21 
A. I can't distinct visit to visit. I just 
22 
remember the fourth until certain big events that 
23 
happened. 
24 
Q. You say they got worse and worse. So as of 
25 
the second time, you say he grabbed your butt again. 
30 (Pages 411 to 414) 
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Page 415 
1 
A. Yes. 
2 
Q. And then you said he tried grabbing your or 
3 
touching your breasts? 
4 
A. Yes. 
5 
Q. Did he? 
6 
A. I don't lmow if he did it on the tomtit or the 
7 
fifth time, but eventually, yes, he did. 
8 
Q. Okay. But on the fourth at least he tried is 
9 
what you are saying? 
10 
A. Yes. 
11 
Q. And you described, you felt that this was a 
12 
worse situation than the first time that you had been 
13 
there alone? 
14 
A. Yes. 
15 
Q. All right. Did you feel more scared? 
16 
A. Yes. 
17 
Q. More anxious? 
18 
A. Yes. 
19 
Q. And did you feel that his conduct was more 
20 
inappropriate? 
21 
A. Yes, 
22 
Q. And vane you more traumatized because he was 
23 
more what you perceived to be a little more aggressive? 
24 
MR. HOROWITZ: Form. 
25 
THE WITNESS: Yes. 
Page 417 
1 
Q. And you had your swimsuit on underneath? 
2 
A. Yes. 
3 
Q. Which would have been the top and the bottom? 
4 
At IA huh, yeah. 
5 
Q. Your swimsuit, was it a thong or full 
6 
swimsuit? 
7 
A. It was like a full swimsuit. 
8 
Q. Um a two-piece? 
9 
A. Yes. 
10 
Q. But not like a thong bikini? 
11. 
A. No. 
12 
Q. So on the fourth time did he masturbate again, 
13 
or what you perceived to be masturbating? 
14 
A. Yes. 
15 
Q. And again, under the towel? 
16 
A. Yes. 
17 
Q. And at the end of the session, at the end of 
18 
the massage session, were you again anxious, scared, 
19 
very uncomfortable? 
20 
A. Yes. 
21 
Q. All right. Felt again traumatized by the 
22 
events? 
23 
A. Yes, I felt upset about everything and 
24 
embarrassed, yeah. 
25 
Q. And he again paid you 200 bucks? 
Page 916 
1 
BY MR. CRITTON: 
2 
Q. Okay. Did he ask you — did you remove any of 
3 
your clothing on that visit? This is the second — the 
4 
fourth time recognizing — I don't want to keep 
5
repeating this, but the same 
you brought and 
6 
the third time you brou
7 
So the fourth time, did you remove any of your 
8 
clothing? 
9 
A. 1 remember, I just remember him grabbing my 
10 
butt and trying to grab my boobs and just like being 
11 
more rough with me than the first time I went there. 
12 
I don't know if It was the fourth or the fifth 
13 
time when I took off my shirt. 
14 
Q. All right. So whether it was the fourth or 
15 
the fifth, we'll kind of combine those two, but between 
16 
the fourth and the fifth, did it get worse from your 
17 
perspective than two? 
18 
A. Yes. 
19 
Q. Did he ask you to take off your shirt on 
20 
either let's say on the fifth time? 
21 
A. Yes. 
22 
Q. And did you have a tank top cm? 
23 
A. I don't remember exactly what I was wearing. 
24 
I usually just wear like a skirt and cute shirt, tank 
25 
top. 
Page 418 
1 
A. Yes. 
2 
Q. And when you left that time, you had come 
3 
alone, so you went home alone, right? 
4 
A. Yes. 
5 
Q. And did you make a vow to yourself, I'm not 
6 
going back there again, this was worse than the last 
7 
time, than the first time when I was there alone, I have 
8 
no interest in ever going back to this place? 
9 
A. No. I would wait a little bit again and then 
10 
just kind of, you know, just wait. And ther
would 
11 
keep calling me again, and then I finally gave in again 
12 
and went. And I mean yeah. 
13 
Q. The fifth time, so between the fourth time and 
14 
the fifth time, how much time transpired? How much time 
15 
usually transpired between visits? 
16 
MR. HOROWITZ: Form. 
17 
THE WITNESS: I don't remember, sometimes a 
18 
week, sometimes a month. 
19 
BY MR. CRITFON: 
20 
Q. Were you telling other people, were your 
21 
Mends aware that you had gone back? 
22 
A. Just Jane Doe 4, and I dont know if I told 
23 
Jane Doe 3. 
24 
Q. Okay. Did you tell them what was going on? 
25 
A. I don't remember what I told them. 
(561) 832-7500 
31 (Pages 
415 to
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Page 419 
1 
Q. Well, did the three of you talk about what 
2 
went on when you were there? 
3 
A. I mean I don't remember generally. I'm sure 
4 
we talked about it, but I don't remember what was said. 
5 
Q. Okay. Did you know or did Jane Doe 4, did she 
6 
ever mention that he masturbated? 
7 
A. I don't remember. 
8 
Q. Did Jane Doe 3 ever tell you that Mr. Epstein 
9 
masturbated when she was there? 
10 
A. I don't remember. 
11 
Q. The fifth time you say you removed your shirt, 
12 
but you still had your top on. 
13 
A. Yes. 
• 
14 
Q. Did he touch you in any way? 
15 
A. Yes. He touched my breast. 
16 
Q. Over your swimsuit? 
17 
A. Yeah, and tried to reach under it 
18 
Q. He tried, but he didn't? 
19 
A. The fifth time he didn't. He just kept trying 
20 
to grab my breast. 
21 
Q. Did you tell him not to? 
22 
A. Youth, I kind of liked pulled away and I was 
23 
like 1 don't feel comfortable." 
24 
And he's like "Well, you know, yottve been 
25 
here before, you should know." He said something like 
Page 421 
1 
Q. And he said something to the effect of well. 
2 
you've been here before. 
3 
A. (Witness nods head up and down.) 
4 
Q. And you still moved away from him? 
5 
A. Yes. 
6 
Q. Is that correct? 
7 
A. Yes. 
8 
Q. All right. So as of the sixth visit, you had 
9 
tatter' your top off, he had put his hand on your butt and 
10 
pulled you closer each time; is that true? 
11 
A. Yes. 
12 
Q. All right. And he tried to touch your breast, 
13 
but was not successful, correct? That is, under your 
14 
swimsuit? 
15 
A. Yes. 
16 
Q. And on each of the visits did he masturbate, 
17 
at least from your perception, under the towel? 
18 
A. Yes. 
19 
Q. All right. What happened on the — what event 
20 
occurred next, whether it was the seventh or the last 
21 
visit, if the last visit was the eighth, what happened 
22 
next? 
23 
A. Well, I remember being just like, I took off 
24 
my bottoms and I was just in a bathing suit. 
25 
Q. Is this now the last time you went? 
Page 420 
1 
that. 
2 
Q. Did he ever pay you more than S200? 
3 
A. No. 
4 
Q. So he ahvays paid you $200? 
5 
A. Yes. 
6 
Q. Okay. Now on that occasion, on the sixth now, 
7 
you say again — well, were you on the fifth or the 
8 
sixth? 
9 
A. They kind of blend together forme, so —
10 
Q. On the fifth or the sixth, what happened 
11 
again — now let's go to the sixth. What happened 
12 
differently on the sixth than the fifth? 
13 
MR. HOROWITZ: Form 
14 
THE WITNESS: I honestly can't remember every 
15 
visit. I just remember like really the things that 
16 
stood out. Like it's so painful for me to 
17 
remember, like I don't know, ifs hard to bring 
18 
backup, and I just remember the main things that 
19 
happened. 
20 
BY MR. CRITTON: 
21 
Q. Well, at some visit, whether it was the fifth 
22 
or the sixth, you say he tried to touch your breasts. 
23 
You moved away from him and said you didn't feel 
24 
comfortable with that. 
25 
A. Yes. 
Page 422 
1 
A. No, this is around the sixth or the seventh 
2 
time probably, and I was just in my bathing suit And 
3 
then he pretty much did the same thing. 
4 
And then he just kept asking me more like 
5 
vulgar questions every time and —
6 
Q. Vulgar questions? 
7 
A. Yes. 
8 
Q. Me what? 
9 
A. Like asked me what I have done with guys and 
10 
why I was still a virgin. 
11 
Q. Because you told him that you had done nothing 
12 
with guys? 
13 
A. Yes. 
14 
Q. Other than kissing, making out? 
15 
A. Yes. 
16 
Q. I think you testified earlier that you had not 
17 
had sexual intercourse with a man by then? 
18 
A. No. 
19 
Q. And you had not engaged in oral sex, either 
20 
giving or receiving; is that correct? 
21 
A- Yes. 
22 
Q. So you said, whatever question he asked, you 
23 
said, "I haven't engaged in sex, it was my own choice," 
24 
right? 
25 
MR. HOROWITZ: Form. 
cab 
(561) 832-7500 
32 (Pages 419 to 422) 
PROSE COURT REPORTING AGENCY, INC. 
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Electronically signed by Rachel Bridge (201-272-617.4627) 
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Sivu 34 / 41
Page 423 
1 
BY MR. CRITTON: 
2 
Q. Strike that. Did you tell him when he said 
3 
"Why arc you still a virgin," what did you say? 
4 
A. I said I hadn't fallen in love yet and 1 was 
5 
waiting until I found somebody I fell in love with. 
6 
Q. So you certainly had the presence of mind with 
7 
other males, males your age or a few years older or 
8 
younger, my guess is guys had encouraged you to by to 
9 
have sex with them? 
10 
MR.11OROWITZ: Form. 
11 
THE WITNESS: I mean not really. I just, I 
12 
just, I mean I'm sure guys like hit on tne and this 
13 
and that, but I've never really been in that 
14 
position where 1 was with Jeffrey wherel felt so 
15 
obligated to do things and just like in that 
16 
situation. 
17 
BY MR. CRITTON: 
18 
Q. Ur me ask you this. Before you ever went to 
19 
Mr. Epstein's house, had you ever been in a position 
20 
with a boy who tried to get more aggressive than just 
21 
kissing you, with a male? 
22 
A. I mean I don't think so. I don't remember. 
23 
Q. So you're either 15, 16 or 17 when you are 
24 
going to Mr. Epstein's house, depending on what your 
25 
interrogatories and what you have told us today and what 
Page 425 
1 
BY MR. CRITION: 
2 
Q. Go ahead. 
3 
A. I don't remember. Maybe like I, I don't — it 
4 
was so long ago, I don't remember exactly what happened 
5 
in high school and what guys, you )(now, tried to touch 
6 
me or if a guy tried to touch me. Irernernber, of 
7 
course, I made out with people and, you know. 
8 
Q. Had you ever tried to touch a guy? 
9 
A. No. 
10 
Q. All right. So you are at Mr. Epstein's house. 
11 
It's now the sixth or the seventh time. You are in a 
12 
bathing suit. 
13 
On each occasion you felt that he acted 
14 
inappropriately, both from a physical standpoint and 
15 
from a verbal standpoint at this point, right? The 
16 
questions he was asking you? 
17 
A. Yes. 
18 
Q. All right. You felt that the questions were 
19 
becoming more inappropriate? 
20 
A. Yes. 
21 
Q. And making you more uncomfortable. 
22 
A. Yes. 
23 
Q. And you were uncomfortable not only with the 
24 
questions that he was asking you, but with his actions, 
25 
that is, in pulling you close to him by putting his hand 
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 424 
you told the Palm Beach police, whatever that date or 
whatever that time period was, is it your testimony that 
no male had, or that you had done nothing with a male 
other than kissing them? 
MR. HOROWITZ: Form. 
THE WITNESS: While I was going to Jeffrey's? 
BY MR. CRITTON: 
Q. Yes, during the torte that you were going to 
Jeffrey's. 
MR. HOROWITZ: Fenn. 
THE WITNESS: Yeah, I was a virgin. I didn't 
do anything. 
BY MR. CRITTON: 
Q. And no guy, no male had ever put his hand on 
your breast, either on the exterior of your clothes, 
under your bra; is that what you arc testifying to? 
MR. HOROWITZ: Form. 
THE WITNESS: I don't really remember. It was 
high school. Fm sure some guy tried to touch me 
or —
BY MR. CRITTON: 
Q. Had a guy touched you? 
MR HOROWITZ: Hold on. You are cutting her 
off. Go ahead. 
Page 426 
1 
on your buttocks, right? 
2 
A. Yes. 
3 
Q. And trying to reach and touch your breast over 
4 
your swimsuit? 
5 
A. ' Yes. 
6 
Q. And again, you felt awkward, scared, nervous, 
7 
and you felt the situation was weird? 
8 
A. Yes, but at the same time he was also like 
9 
very nice to me and would ask me questions and say that 
10 
he would like get me jobs and he was a good person to 
11 
know, so I was confused by the whole situation. It was 
12 
kind of conflicting in my head. 
13 
Q. You may have had some conflict, but on each 
14 
occasion when you came away from Mr. Epstein's, 
15 
certainly as of the sixth or seventh time, you felt that 
16 
the situation from your perspective was escalating, was 
17 
getting worse, right? 
18 
A. Yes. 
19 
Q. And you felt more uncomfortable than you had 
20 
the first time and with each time thereafter felt 
21 
equally -- in fact, more uncomfortable? 
22 
A. Yes. 
23 
Q. And you felt his behavior was more 
24 
uncomfortable each time? 
25 
A. Uh huh. 
(561) 832-7500 
33 (Pages 423 to 426) 
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Sivu 35 / 41
1 
2 
3 
4 
I 
5 
Page 427 
Q. Yes? 
A. Yes. 
Q. And so on any of those occasions, whether 
before you went back on the fifth, the sixth, the 
seventh or the eighth, all you had to do was tell 
a
I'm not coming, I don't feel comfottable," 
net 
8 
A. Yes. 
9 
MR. HOROWITZ: Form. 
10 
BY MR. CRITTON: 
11 
Q. You didn't even have to give a reason, all you 
12 
had to do was say Tm not coming"? 
13 
MR. HOROWITZ: Form. 
14 
THE WITNESS: Yes. 
15 
BY MR. CRITION: 
16 
Q. "Ifs over, I have no interest in corning 
17 
anymore," true? 
18 
A. Yes. 
19 
Q. And you could have told Mr. Epstein when you 
20 
were there and he is asking you these questions that you 
21 
felt were inappropriate, WI you had to do was say 
22 
"Jeffrey, I'm never coming back here if you keep asking 
23 
me questions like that." 
24 
Did you ever say that? 
25 
A. I remember telling him something like "I don't 
Page 429 
1 
MR. HOROWITZ: Form 
2 
BY MR. CRITTON: 
3 
Q. On the eighth time, the next time, what event 
4 
happened? Is the next time the last tint you were 
5 
there? 
6 
MR. HOROWITZ: Form. 
7 
THE WITNESS: Yeah, the last time was the 
8 
worst. 
9 
BY MR. CRITTON: 
10 
Q. Okay. So on the eighth time when you were 
11 
there, what happened? 
12 
MR. HOROWITZ: Form. 
13 
THE WITNESS: The last time he I had my 
14 
shkt off. I had a bra and underwear on, and I 
15 
gave him a massage. And then that time he was just 
16 
the most aggressive with me. And that's when be 
17 
like pulled me close to him and he asked me to take 
18 
my underwear off, and I said no. 
19 
And then he tried to grab it and pull it down, 
20 
and I was like "No, I just don't feel comfortable." 
21 
And he was Illce "You've been here plenty of 
22 
times before." And then he — I took my shirt off. 
23 
And then he was grabbing my breast, and I kept 
24 
pulling away and he kept grabbing it. 
25 
And then he just like pulled me closer to him. 
Page 428 
1 
feel comfortable telling you about, you know, guys and 
2 
talking about this," and then he just kept pressuring me 
3 
and asking me why not. 
4 
Ink just he's good at talking and he's good 
5 
at making you feel like you could tell him stuff; and 
b 
he's good at like making you feel like it's okay to do 
7 
stuff. 
3 
Q. But you knew, you felt it was inappropriate, 
9 
right? 
10 
So whether he is trying to make you feel 
11 
comfortable or not, you in your own mind knew that the 
12 
questions were very uncomfortable and inappropriate, 
13 
true? 
14 
A. Yes, and I told him about it. 
15 
Q. All right. So seventh time, now you are in 
16 
your swimsuit, he's asking you more direct questions. 
17 
You felt even more uncomfortable. 
18 
Again, be masturbated under the towel? 
19 
MR. HOROWITZ: Form. 
20 
THE WITNESS: Yes. 
21 
BY MR. CRITTON: 
22 
Q. All right. And then you would, he would get 
23 
up and go take a shower or he would leave the room and 
24 
you would take your 200 bucks and leave the house? 
25 
A. Yes. 
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 430 
And that's when he like tried to like reach under 
my — well, he did reach under my underwear and 
touch my vagina and he was, like tried fingering 
me. 
BY MR. CRITTON: 
Q. This last time, were you still giving him a 
massage? 
A. Well, I was like massaging his chest while he 
was like doing this. 
Q. But you were doing the same kind of massage 
you had done before, you were doing his feet, his legs 
and then he would turn over? 
A. Uh huh 
Q. Ms. jane Doe 7, you say he got a little more 
aggressive. So did you take off your bra? 
A. I don't remember. I think he tried to unhook 
it and pull it down — 
Q. But you didn't let him do that? 
A. — and grab my breast. I think he pulled it 
down. I didn't take it all the way off, but he pulled 
it down. 
Q. Did he touch your breast? 
A. Yes. 
Q. Both or just one? 
A. I know he touched one. I think he touched 
34 (Pages 427 to 430 
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PROSE COURT REPORTIN 
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Page 431 
Page 433 
9 
10 
11 
12 
13 
14 
15 
16 
17 
18 
19 
20 
21 
22 
23 
24 
25 
1 
both. 
2 
Q. If he was lying on the table, how is he able 
3 
to do that? 
4 
A. Touching, Ince going from — this is so 
5 
embarrassing. 
6 
Q. With his left hand or with his right hand? 
MR. HOROWITZ: Take your time. Just try to 
answer the question as best you can. 
THE WITNESS: It was with his left hand. 
BY MR. CRITfON: 
Q. Okay. So you are saying he pulled down your 
In and then was able to touch your breast with the same 
hand that he was pulling your bra down? 
A. Well, he pulled it down and then grabbed it. 
Q. When he pulled it down, did you move away from 
him? 
A. Yeah, and then he pulled it down again and he 
was being very aggressive. 
Q. When he gabbed your bra and pulled it down, 
why didn't you just move away from him? 
A. I did move away. 
Q. Well, why did you ever move back near him 
then? 
A. Because he pulled me back near him with his 
arm. 
1 
want to tell anybody. 
2 
Q. That's the last time you went Mr. Epstein's? 
3 
A. Yes. 
4 
Q. And on that last occasion that you went to his 
5 
house, when you left, where did you go? 
6 
A. I don't remember. I think I went home. 
7 
Q. All right. Did you ever tell anyone about it? 
8 
A. No. 
9 
Q. Did you ever tell Jane Doe 47 
10 
A. I mean Jane Doe 4 is maybe the only person ] 
11 
ever told. 
12 
Q. Did you tell her at the time? 
13 
A. I don't remember. 
14 
Q. At some point did you tell her? 
15 
A. I don't remember. 
16 
Q. So you don't even lmow what you told Jane 
17 
Doe 4? 
18 
MR. HOROWITZ: Form. 
19 
THE WITNESS: I don't exactly icn nber what I 
20 
told Jane Doe 4 why I stopped going, like if I told 
21 
her everything. I mean I was embarrassed. I 
22 
didn't want to like share all my details. 
23 
BY MR. CRITP0N: 
24 
Q. Did anyone, did Sarah ever call you again to 
25 
work? 
Page 432 
1 
Q. Did you say something to him like "Let me go"? 
2 
A. Yeah. I said, I just told him, I was like "I 
3 
just can't do this," like no. I don't remember the 
4 
exact words I used. 
5 
And he just made me feel like really stupid 
6 
and belittled. He was like "You have been here so many 
7 
times and, you know, you should know like what goes on 
8 
by now." 
9 
And then I just felt like in that position 
10 
where like I just felt like obligated or just like I was 
11 
just put in that weird position. And then that's when 
12 
he pulled me closer to him again, and that's when he 
13 
pulled down my underwear, and then that's when he 
14 
touched my vagina and tried to finger me. 
15 
And then after that, I was just, I was like 
16 
no, Fin done after that. And I was just so, I was fed 
17 
up with everything. I was like this has gone way too 
18 
far. 
19 
Q. Did you tell him that? 
20 
A. Yeah, I was like fm done. He knew I felt 
21 
really in shock And then he was like okay, okay. And 
22 
then he was just mad at me and just like gave me dirty 
23 
looks and just made me feel stupid. 
24 
Q. Did you ever call for help? 
25 
A. No. I mean I was so embarrassed. I didn't 
Page 434 
1 
A. Yes. 
2 
Q. What did you tell her? 
3 
A. !just like ignored her phone calls. 
4 
Q. And you could have done that after the very 
5 
first time you had been at Mr. Epstein's home, true? 
6 
A. Yes. 
7 
Q. So at least after the eighth visit, you were 
8 
. able 03 ignore 
phone calls without a problem at 
9 
all? 
10 
MR. HOROWITZ: Form. 
11 
THE WITNESS: Yeah, l was just in shock and 
12 
over it. And I just felt so embarrassed and like 
13 
ashamed of myself. And then so that was the last 
14 
time. 
15 
MR. HOROWITZ: Critton, it's now 6:30. 
16 
How far in this tape are we, sir? 
17 
THE VIDEOGRAPHER: Fifty-seven minutes into 
18 
this tape, sir. 
19 
MR. HOROWITZ: Tick, tick, tick. 
20 ' 
MR. CRITTON: Let's go off the record for just 
21 
a minute. 
22 
711E VIDEOGRAPHER: Going off the record at 
23 
6:29 p.m. 
24 
(A recess was taken.) 
25 
THE VIDEOGRAPHER: We are back on the record 
(561) 832-7500 
PROSE COURT-REPORTING AGENCY, 
35 (Pages 431 to 434) 
INC. 
(561) 832-7506 
Electronically signed by Rachel Bridge (201-272-617-4627) 
Electronically signed by Rachel Bridge (201-272.617-4627) 
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Sivu 37 / 41
Page 435 
Page 437 
1 
at 6:36 p.m. 
2 
BY MR. CRITTON: 
3 
Q. Ma'am, the last time that you went, you were 
4 
at Mr. Epstein's house, did he masturbate or not? 
A. Yeah, I believe he was masturbating. Well, he 
6 
was masturbating. I don't know if he finished, 
7 
because —
8 
Q. He climaxed? 
9 
A. Yes. 
10 
Q. He had the towel over himself again? 
11 
A. Yes. I mean 1-
12 
Q. You always, each time you were there, he had a 
13 
towel ova himself and you believe that he was 
14 
masturbating? 
15 
A. I knew he was masturbating. 
16 
Q. You )(new it because you could what? 
17 
A. I could tell by his hand. I could feet it. I 
18 
know. 
19 
Q. All right. But you never saw him masturbate, 
20 
you just saw him doing it under the towel, coned? 
21 
A. Yes, and I neva wanted to look. rd always 
22 
look the other way while he was doing it 
23 
Q. He always had a towel on? 
24 
A. Yes. 
25 
Q. The only time, if I understood, that you saw 
1 
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8 
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Q. Anything else in the drawer? 
A. I don't remember what else was in the drawer. 
Q. What were you doing in the drawer? 
A. The drawer was open. 
Q. And what did the vibrator look like or the 
massager look like? 
MR. HOROWITZ: Form. 
THE WITNESS: I'm pretty sure it was just 
white. 
BY MR. CRITTON: 
Q. Do you know the difference? Have you ever 
used a vibrator? 
MR. HOROWITZ: Form. 
THE WITNESS: Yeah 
no, I mean like a 
massager? 
BY MR. CRITTON: 
Q. Well, your lawyer was laughing when I 
interchanged the massager for the vibrator. 
MR. HOROWITZ: That's because she called it a 
vibrator and you are calling it a massager. 
MR. CRITTON: Well, I'm not sure what it is, 
so we're going to find out. So you don't have to 
laugh and nobody else does too. 
MR. HOROWITZ: I wasn't laughing. 
Page 436 
1 
him naked was one timei he got out of the shower before 
2 
he put a towel around himself? 
3 
A. I believe so. 
4 
Q. And if I also understood your testimony, you 
5 
never took off your swimsuit, nor your bra, nor your 
6 
underwear at any time, correct? 
7 
MR. HOROWITZ: Form. 
8 
THE WITNESS: Well, my bra did come like down, 
9 
but not completely off. 
10 
BY MR. CRITTON: 
11 
Q. But you never took it off? 
12 
A. No. 
13 
Q. Did he ever ask you to take your bra off? 
14 
A. Yes. 
15 
Q. And you declined? 
16 
A. Yes. 
17 
Q. Did you ever tell -- strike that. 
18 
Did he ever use any type of -- he, 
19 
Mr. Epstein, did he ever have a massage or any kind of 
20 
what you would have perceived to be a sexual toy? 
21 
A. Yeah, he had a vibrator, but he never used it 
22 
with me. 
23 
Q. How do you know he had one? 
24 
A. Because Jane Doe 4 and them told me about it 
25 
and also it was laying right there in the drawer he had. 
Page 438 
1 
BY MR. CRITTON: 
2 
Q. Do you know what the distinction between a 
3 
massager and a vibrator? 
4 
A. Yes. 
5 
Q. Okay. What do you understand a massager is? 
6 
A. Massager, I just, I know the difference. I'm 
7 
not - 
8 
Q. Okay. What you saw in the drawer, was it a 
9 
massager or it was a vibrator? 
10 
A. It looked to me like a vibrator. 
11 
Q. What did it look like? Describe it, please. 
12 
A. The one I saw was just white and it had like, 
13 
I don't know, a big thing on the end that was white. 
14 
Q. Did it look like something that you would get 
15 
at like an adult store or did it look like something you 
16 
would get from Brookstone, or do you know? 
17 
A. I mean I don't know. I mean I heard he uses 
18 
that as the, as the vibrator. So I'm assuming that was 
19 
the vibrator. 
20 
Q. You heard that from Jane Doe 4? 
21 
A. Yes. 
22 
Q. From anyone else? 
23 
A. I don't think so. 
24 
Q. And as to whether it was a vibrator or a 
25 
massager, if you purchased it, whether it would be 
(561) 832-7500 
36 (Pages 435 to 438) 
PROSE COURT REPORTING AGENCY, INC. 
(561) 832-7506 
Electronically signed by Rachel Bridge (201-272-617.4627) 
Electronically signed by Rachol Bridge (201-272417-4627) 
fe7b2074-4669-4a4d-ac93-0546961d7921 
EFTA01107912
Sivu 38 / 41
Page 439 
1 
considered a vibrator or a massager, you don't know; 
2 
would that be a fair statement? 
3 
MR. HOROWITZ: Form. 
4 
THE WITNESS: Yes. 
5 
BY MR. CRITTON: 
6 
Q. Okay. But he never used that on you, nor did 
7 
he ever attempt to use that on you, whatever it was, 
8 
correct? 
9 
A. Yes. 
10 
Q. That's correct? 
11 
A. Yes. 
12 
Q. Did you ever discuss with your boyfriends, 
13 
even the long terms, a 
from 107, '08 and '09, 
14 
did you ever tell them anything about Mr. Epstein? 
15 
A. Absolutely not. 
16 
Q. Okay. You said that you bad flashbacks. 
17 
Describe what you mean by a flashback. 
18 
A. Just when somebody would say his name or I 
19 
would just even hear Jeffrey, just like me being there, 
20 
the massage table, him in the shower, I would just get 
21 
flashbacks. 
22 
Q. You had bad memories of that? 
23 
A. Yes. Even, sometimes even nobody had to say 
24 
anything. Like I would just be lilt's in a bad mood or 
25 
upset and I would just get, you know, just memories or 
Page .; 
1 
Q. Okay. 
2 
A. It was like a really bad dream. 
3 
Q. Is that the last dream you've had about that 
4 
separate and apart from the flashbacks? 
5 
A. I remember having other dreams, but they 
6 
weren't like as bad. They weren't like, nothing like 
7 
significant that I could remember. I just ri.nomtber that 
8 
one, like I woke up crying and felt like I was having a 
9 
panic attack. 
10 
A 
vas, actually it was when I 
11 
worked I 
aloon, because I had a dream that lie 
12 
came there to Visit me. And my parents were there and 
13 
it was just like a really bad nightmare that I had. 
14 
Q. Okay. Is that the last time you had a dream 
15 
about it separate and apart from the flashbacks? 
16 
A. I mean I've seen him, like I have had dreams, 
17 
but none that 1 could really remember like 
18 
significantly. 
19 
Q. Okay. 
20 
MR. CRITTON: How about another five minutes 
21 
and then I'm done. 
22 
MR. HOROWITZ: Five is fine. You are on the 
23 
clock. 
24 
BY MR. CRII7ON: 
25 
Q. I asked you earlier when's.- 
culd call 
Page 440 
1 
fit 
2 
Q. Does that happen very often or is that just 
3 
really if you, if someone brings up the episode, like if 
4 
you have something to do with this case or you would 
5 
read about Mr. Epstein, then you would think back of the 
6 
time that you were there? 
7 
A. I mean the flashbacks like have always 
8 
happened. 
9 
Q. I'm sorry? 
10 
A. They have always happened, but it gets worse 
11 
when, you know, I hear about the case or somebody says 
12 
something to me about it or I have to, you know, talk to 
13 
somebody about it. 
14 
Q. Did in terms of have you ever had a dream? 
15 
A. Yes. 
16 
Q. How often do you have a dream or how many 
17 
dreams have you ever had about having been at 
18 
Mr. Epstein? 
19 
MR. HOROWITZ: Form. 
20 
THE WITNESS: I don't 
exactly, but I 
21 
remember one that like stood out really clearly. 
22 
BY MR. CARTON: 
23 
Q. How long ago? 
24 
A. It was about when l was talking to the FBI, so 
25 
probably about three years ago. 
(561) 832-7500 
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Page 442 
you, and I think — well, let me strike that. 
When I asked you earlier, I think you said 
that Sarah never texted you through the phone, nor did 
she ever communicate with you over the computer, 
correct? 
A. I don't believe, I definitely never had any 
e-mails or computer, but I don't think she ever texted 
me. 
Q. All right. And the only communication 
sePtrapart 
from the conversation that you had 
wi 
the voice message that she left you when 
you were with the Palm Beach poilitiagg they wore 
interviewing you, all other calls f
 were dealing 
with could you come or could you bring someone else to 
come to work? 
MR. HOROWITZ: Form. 
THE WITNESS: Yes. 
BY MIL CRITTON: 
Q. And you understood that to mean could you come 
and give Mr. Epstein a massage? 
MR. HOROWITZ: Form. 
THE WITNESS: Yes. Well, she said -- well, 
basically, yeah. 
BY MR. CRITTON: 
Q. And she never, that i 
never said to 
37 (Pages 439 to 442) 
PROSE COURT REPORTING AGENCY, INC. 
(561) 832-7506 
Electronically signed by Rachel Bridge {201-272-617-4627) 
Electronically signed by Rachel Bridge (201-272-617.4627) 
le3b2074.4669-444d-ac93-e54696M7921 
EFTA01107913
Sivu 39 / 41
Page 443 
1 
you "I want you to come to work to provide sexual 
2 
services for Mr. Epstein"? 
3 
She never said that, did she? 
4 
MR. HOROWITZ: Form. 
5 
THE WITNESS: No. 
6 
BY MR. CRITTON: 
7 
Q. All 
based on what you told me, 
8 
just told me 
never attempted to persuade or to 
9 
induce or to entice you to engage in any sexual conduct 
10 
with Mr. Epstein during any phone conversation, did she? 
11 
MR. HOROWITZ: Form. 
12 
THE WITNESS: Just the massages and basically 
13 
that. 
14 
BY MR. CRITTON: 
15 
Q. Right. And she's the only one who ever called 
16 
you, true? 
17 
A. I think so. 
18 
Q. Has anyone, separate and apart from the 
19 
allegations you have made in this complaint, has anyone 
20 
ever attempted to sexually assault you or to rape you? 
21 
A. No. 
22 
Q. At any time? Have you ever been attacked by 
23 
anyone? 
24 
A. No. 
25 
Q. Other than your trip to Italy this coming 
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Page 445 
Q. Does she work now? 
A. Yes. 
Q 
IS her boyfriends name? 
A 
A. 
a 
- 
don't know. 
. Is that 
that used to be friends 
A. No. 
Q. Different 
A. Yes, differen 
Q. Did you know nice 
A. Yes. 
Q. Since Jane Doe 4 an'
 broke up —
A. Yes. 
Q. -- have you seen= 
at all since then? 
A. I think I just saw him once when I was 
downtown. 
Q Okay. Did you consider him kind of a scary 
character? Was he someone you were scared of? 
A. I was never scared of him. !just thought he 
was, thought he was an asshole. I never really liked 
him because of what happened with Jane Doe 4. 
. Did ou ever know Jane Doe 4's boyfriend, 
Page 444 
: 1 
summer, any other plans for trips, vacations --
2 
A. No. 
3 
Q. — when you finish college? 
4 
A. No. fm just saving up for Italy. 
5 
Q. Do you plan to stay, when you finish your 
6 
month in Italy, do you plan to try to save up enough 
7 
money so you can travel a little bit before you can come 
8 
to the states? 
9 
A. I don't think so. llure are certain dates, 
10 
it's only like a month, and everybody is pretty much 
n 
leaving together. 
12 
Q. Are any of your friends going with you? 
13 
A. Not — there are just people from school. 
14 
Q. Okay. I asked you earlier -- this is my last 
15 
short series. I asked you, you said Jane Doe 4 is your 
16 
best friend. Who is your next best friend? 
17 
A. 
can probablM 
18 
QM? 
19 
A. Yes. 
20 
Q. Next down the scale from. would be whom? 
21 
A. J 
3. 
22 
Q. I 
still in town, in the West Palm Beach 
23 
area, Palm Beach County? 
24 
A. Sometimes she's in town became her parents 
25 
live here, but she lives with her boyfriend in Atlanta. 
1 
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Page 446 
A. Yes. 
Q. Nice guy? 
A. Really nice guy. 
MR. CRITTON: Okay, that's all I've got. 
Thuile you. Read? 
MR. HOROWITZ: We'll read, and we'll take a 
copy if it's ordered. 
THE VIDEOGRAPHER: Going off the deposition at 
6:49. This is the end of the deposition. 
(Witness excused.) 
(Deposition was concluded.) 
.:a•l•teesas•brualtatalr•N•• 
. 
• 
38 (Pages 443 to 4 4 6) 
(561) 832-7500 
PROSE COURT REPORTING AGENCY, INC. 
(561) 832-7506 
Electronically signed by Rachel Bridge (201-272-6174627) 
Electronically signed by Rachel Bridge (201.272.617.4627) 
te3b2074-4669-4a4d-ac93-e54696fd7921 
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Sivu 40 / 41
Page 447 
Page 449 
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1 
CERTIFICATE OF OATH 
2 
STATE OF FLORIDA 
3 
COUNTY OF PALM BEACH 
4 
5 
6 
I, the undersigned authority, certify that 
7 
Jane Doe #7 personally appeared before me and was duly 
sworn on the 15th day of March, 2010. 
Witness my hand and official seal this 25th 
day of March, 2010. 
Rachel W. Bridge, RMR, 
17 
Notary Public - State of Florida 
My Commission Expires: 
5/11 
18 
My Commission No.: DD 607230 
19 
20 
21 
22 
23 
24 
25 
15 
16 
17 
18 
Ftachd W. Bridge. RAIL ad 
PROSE COURT REPORTING AGENCY 
19 
250 Amnion Mama Scud; MI500 
W
pbecatrinlit 
33401 
1 
DATE: Morn 25, 2010 
2 
TO. 
Jaw Dee te7 
do Adam Diforowlis, Esq. 
3 
Parmelstein & Horowio, P.A. 
18205 Bivouac Boulevard 
Sale 2218 
Mimi, Florida 33160 
5 
6 
7 
The transcript of your deposition taken on 
3. 5.10 has been completed and amity reading and 
8 
sigiung. As recousty ameech the trans* well to 
finished to you through you, counsel 
9 
Attend of the ttansonpt youwillfmdas
cram sheet As son read your deposition, my dames 
10 
or met mottos that you wish to make should he noted on 
the arse sheet Ming page and tine number of said 
II 
thane, Onto yea hurt read the transcript and noted any 
changes, be sure to sign and date the errata Meet and 
12 
Mtn there pager to me 
If yet: do not lewd and ogs the deposition 
13 
within a numonahle time, the original. which has 
already been formided to the ordering canny, tray be 
14 
filed with the Ckric of the Court. If re wish to wave 
your signature, lign you name in the blank at the 
boom of this Icon and ;duns it to to 
Sincerely, 
20 
21 
I dobertby waive my swam. 
22 
23 
bee Dan 
24 
25 
!BRE: /ane Doe No. 2 vt. Epstein 
Page 448 
1 
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5 
CERTIFICATE 
STATE OF FLORIDA 
COUNTY OF PALM BEACH 
Reehd W. Bridge, Certified Realtime 
Reporter and Notary Public in and for the State of 
6 
Florida at Large, do hereby catify this the 
aforementioned witness was by me first duly swam to 
7 
testify the a** truth; that I was authorized to and 
did report said deposition in stenotype and that the 
8 
foregoing pages numbered 1 to 446, inclusive, we a true 
and correct transcription of my shorthand notes of said 
9 
deposition. 
10 
1 further certify that said deposition was 
taken at the time and place beronaberee set forth and 
11 
that the taking of said deposition was commented and 
completed as hereirebOVe set Cu. 
12 
I gather candy that I am not attorney or 
13 
counsel of any of the parties, nor am 1 a relative or 
employee of any attorney or counsel of potty connected 
14 
with the *elite, nor am I financially imerested in the 
action 
15 
• 
The foregoing certification of this transcript 
16 
does not apply to any reproduction of the urns by any 
means unless under the direct control and/or direction 
17 
of the certifying reponer. 
18 
19 
is 25th day of March, 2010. 
20 
Ilieb
acd. Bridge, 
CRR 
21 
22 
14-). 
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Page 450 
CERTIFICATE 
THE STATE OF FLORIDA 
COUNTY OF PALM BEACH 
I hereby certify that I have read the 
foregoing deposition by me given, and that the 
statements contained herein are true and correct to the 
best of my knowledge and belief; with the exception of 
any corrections or notations made on the errata shed, 
if one was executed. 
Dated this 
day of 
2010. 
JANE DOE #7 
39 (Pages 
447 Lo 450) 
( 561 ) 832-7500 
PROSE COURT REPORTING AGENCY, INC. 
(561) 832-7506 
Electronically signed by Rachel Bridge (201-272-617-4627) 
Electronically signed by Rachel Bridge (201.272.617.4627) 
fe3b2074-4669-4a4d-ac93-0546961d7921 
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