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FBI VOL00009
EFTA01246464
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Page 1 Page 3 UNITED STATES DISTRICT COURT 1 IN THE CIRCUIT COURT OF THE 15TH JUDICIAL CIRCUIT SOUTHERN DISTRICT OF FLORIDA 2 IN AND FOR PALM BEACH COUNTY. FLORIDA CASE NO. 502008CA028051 XXXXMB AB CASE NO. 08-CIV-801 19-MARRA/JOHNSON 3 4 JANE DOE NO. 2. Plaintiff. 5 . Plaintiff. -vs- VOLUME I OF III 6 -vs- VOLUME I OF III JEFFREY EPSTEIN. 7 JEFFREY EPSTEIN. Defendant 8 Defendant. I I 9 Related eases: 10 08-80232. 08-08380. 08-80381. 08-80994 11 08-80993. 08-8081 1. 08-80893. 0940469 12 VIDE TAPED DEPOSITION OF 09.80591. 09-80656. 09-80802. 09-81092 r 13 14 VII SMON OF 15 Wednesday. March 24.2010 MMI 10:37 - 6:51 p.m. 16 Wednesday. March 24. 2010 17 10:37 - 6:51 p.m. 18 250 Australian Avenue South Suite 1500 250 Australian Avenue South 19 West Palm Beach. Florida 33401 Suite 1500 20 West Palm Beach. Florida 33401 21 22 Reported By: Reported By: Cynthia Hopkins. RPR. FPR Cynthia Hopkins. RPR. FPR 23 Notary Public. State of Florida Notary Public. State of Florida Prose Court Reporting Services Prose Court Reporting Services 24 Job No.: 1484 Job No.: 1484 25 Page 2 Page 4 1 IN THE CIRCUIT COURT OF THE 15TH JUDICIAL CIRCUIT 1 DI THE CIRCUIT COURT OF THE FIFTEENTH JUDICIAL IN AND FOR PALM BEACH COUNTY. FLORIDA CIRCUIT IN AND FOR PALM BEACH COUNTY. FLORIDA 2 CASE NO. 502008CA028058XXXXMB AD 2 CASE No302008CA037319XXXXMB AB 3 3 M. 4 5 Plaintiff. Plaintiff. 6 -vs- VOLUME I OF III 5 7 VOLUME I OF III 8 JEFFREY EPSTEIN. J AN EFISISI, Defendant. 8 9 / Defendants. 10 9 11 VI SITION OF 10 12 13 11 12 VItSITION OF 14 Wednesday. March 24. 2010 13 10:37 - 6:51 p.m. 14 Wednesday. March 24. 2010 15 10:37 - 6:51 p.m. 16 15 17 250 Australian Avenue South 16 17 250 Australian Avenue South Suite 1500 Suite 1500 18 West Palm Beach. Florida 33401 16 West Palm Beach. Florida 33401 19 19 20 20 21 21 22 Repotted By: 22 Repotted By: Cynthia Hopkins. RPR. FPR Cynthia Hopkins. RPR. FPR 23 Notary Public. State of Florida 23 Notary Public. State of Florida Prose Court Reporting Services Prose Court Reporting Services 24 Job No.: 1484 24 Job No.: 1484 25 25 1 (Pages 1 to 4) PROSE COURT REPORTING AGENCY, INC. CONFIDENTIAL 3501.125-025 Page 1 of 47 EFTA_00065318 EFTA01246464
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Page 5 Page 7 APPEARANCES: 1 2 On behalf of the Plaintiffs. : 2 INDEX SPENCER T. KUVIN. ESQUIRE 3 LEOPOLD KUVIN 4 2925 PGA Boulevard 5 EXAMINATION DIRECT CROSS REDIRECT' 5 Suite 201) Palm Beach Garden. Florida 33410 6 Phone: 6 7 7 On behalf of the Plandiffs...... and BY MR. KUVIN 9 Jane Doe: a 8 9 9 MATTHEW WEISSING. ESQUIRE 10 EXHIBITS 10 FARMERJAFTE MUSSING. EDWARDS FISTOS & LBIRNIAN.P.L 11 12 _ _ _ 425 North Andimvx Avenue 13 EXHIBIT DESCRIPTION PAGE 11 Suite 2 14 Fort Lauderdale Florida 33301 PLAINTIFFS EX. 1 PHOTO 16 12 13 Phone: On behalf of Jane Does I throu5h K: 15 PLAINTIFFS EL 2 MOE INC.. 24 14 ADAM D. HOROWITZ- ESQUIRE PASSENGER MANIFEST' MERNIEI-STEIN it HOROWITZ. P.A. 16 PLAINTIFFS EX. 3 HYPERION AIR. INC.. 15 18205 Biscayne Boulevard PASSENGER MANIFEST Suite 22114 17 PLAINTIFFS EX. 6 PHOTO 63 16 Miami. a t i PLAINTIFFS EL 7 PHOTO 65 Phone: 18 PLAINTIFFS EX. 8 PHOTO 68 17 E-mail: PLAINTIFFS EX. 9 PHOTO 71 16 On behalf of the PI:midis. 101. 102 and 103: 19 PLAINTIFFS EL 10 PHOTO 100 19 KATHERINE W. EZELI- ESQUIRE PLAINTIFFS EL 11 PHOTO 101 AMY JOSEFSBERG EDERI. ESQUIRE 20 PLAINTIFFS EL 12 PHOTO 103 20 PODHURST ORSECK 25 wear Flatlet Street PLAINTIFFS EX. 4 PHONE MESSAGE PADS 21 Suite WO 21 PLAINTIFFS EL 5 CELLPHONE RECORDS 22 Miami.iiiiiiiiii Phone: 22 PLAINTIFFS EL 13 PHOTO 144 23 1Via telephoner 23 24 24 25 25 Page 6 Page 8 1 Appearances continued... 1 PROCEEDINGS 2 On behalf of the Plaintiff. Jane Doe ll: 3 ISIDRO MANUEL GARCIA. ESQUIRE 2 — — — GARCIA. ELKINS & BOEHRINGER 3 THE VIDEOGRAPHER: We are now on video 4 224 Datum Avenue. Suite 900 4 record. This is Media No. 1 in the videotaped 5 West Palm Fl Beach ida 33401 Phone: 5 deposition of in the matter of 6 6 Jane Doe versus Jeffrey Epstein, et al. Today 7 8 On behalf of the Defendant: JACK ALAN GOLDBERGER. ESQUIRE 7 is Wednesday. March 24th. 2010. It is ATTERBURY. GOLDBERGER & WEISS. P.A. 8 10:36 a.m. We are here at Prose Court 9 250 Australian Avenue South 9 Reporting. 250 South Australian Avenue. West Suite 1400 10 West ida 33401-5012 Phony 10 11 Palm Beach. Florida. My name is Joe Kozak. I'm the 11 12 12 videographer. The reporter is Cindy 13 On f h Win • 13 Hopkins from Prose Court Reporting Agency. 1 4 19 Would counsel please introduce 1 5 16 yourselves, and then the court reporter will swear in the witness. 17 MR. KUVIN: Good morning. Spencer Kuvin 17 18 on behalf of one of the Plaintiffs. 18 19 MR. HOROWITZ: Adam Horowitz on behalf of 19 20 ALSO PRESENT: 2 0 Jane Does 2 through 8. And just for the record 21 Jessica Cadwell. Paralegal 21 purposes. the deposition is also being taken in 22 Burman. Critton. Lanier & Coleman. P.A. Joseph Kozak. Videographer 22 the federal cases, I believe, case being Prose Court Reporting Services 2 3 Jane Doe 2 versus Jeffrey Epstein. 23 24 MR. WEISSING: Matt Weissing on behalf of 24 25 25 three of the Plaintiffs. 2 (Pages 5 to 8 PROSE COURT REPORTING AGENCY, INC. CONFIDENTIAL 3501.125-025 Page 2 of 47 EFTA_00065319 EFTA01246465
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Page 9 Page 11 1 MR. GARCIA: Sid Garcia for Jane Doe. 1 privilege. 2 Roman Numeral II. 2 MR. KUVIN: I'll agree with that 3 MR. GOLDBERGER: Jack Goldberger on behalf 3 procedure. 4 of Jeffrey Epstein. 4 MR. Anyone object to that 5 MS. CADWELL: Jessica Cadwell. paralegal. 5 procedure? 6 on behalf of Jeffre stein. 6 MR. GOLDBERGER: Actually I think if, in 7 MR. on behalf 7 fact, this deposition is used in a trial, 1 a of the witness. 8 think you would want the lengthier answer as 9 MR. KUVIN: Kathy. your turn. 9 being the answer that is played to the jury. 10 MS. EZELL: Okay. Kathy Ezell and Amy 10 So either you guys can agree that it gets cut 11 Ederi on behalf of Plaintiff, Jane Doe 103. 11 in or she's going to have to -- I can't tell 12 Thereupon. 12 you what to do, but I would suggest that she 13 l l 13 give the lengthier answer each time. 14 Having been first duly sworn or affirmed, was 14 But there's got to be a way that you 15 examined and testified as follows: 15 guys can reach an agreement though, that 16 DIRECT EXAMINATION 16 from a technology perspective, that the 17 BY MR. KUVIN: 17 lengthy answer that she just gave would be 18 Q. Good morning. 18 used during any trial testimony. Can that 19 A. Morning. 19 be done? 20 21 Q. Couldyougive us your full name, please. A. . 20 21 MR. KUVIN: I don't know procedurally whether it can be done. 22 Q. il aiave a middle name? 22 MR. GOLDBERGER: I think -- 23 A. 23 MR. KUVIN: I don't know that, well -- 24 Q. Would ou s II that for us? 24 GOLDBERGER: And again, it's not my, 25 A. 25 MR. ifs not my deal. I'm just telling you how Page 10 Page 12 1 Q. What's our current address? 1 we've done it in the past. 2 MR. I'm going to instruct the 2 MR. KUVIN: I hear you. and I have a 3 witness not to answer that question on the 3 number of issues primary, primarily of which 4 basis of her Fifth and 14th Amendment 4 that you're not here to represent anyone S privileges against self-incrimination. 5 currently. 6 MR. KUVIN: Okay. We had spoken before 6 MR. GOLDBERGER: Yeah. I am. I'm 7 with respect to there are likely going to be 7 actually. I'm actually here representing 8 answers similar to that throughout this 8 Jeffrey Epstein. so... 9 deposition. I have agreed to a procedure that 9 MR. KUVIN: Okay. With respect to all the 10 we can do a shortened answer. However you want 10 civil cases. though. you're not here to 11 to handle that. I leave it up to you. But I do 11 represent anyone, so -- 12 agree that whatever the shortened answer is, 12 MR. GOLDBERGER: Yes. I am. 13 that it will satisfy the length. lengthy answer 13 MR. KUVIN: With the exception -- 14 that she would like to give. 14 MR. GOLDBERGER: I represent -- I am --1 15 So, do we want to do that with this 15 don't mean to interrupt you. but I am counsel 16 question, or how do you want to handle 16 of record in the civil cases. 17 that procedurall ? 17 MR. KUVIN: Oka . Okay. 18 MR. Well. I think I have given 18 MR. If we have a stipulation, 19 the instruction. I think she, will give her 19 what's the problem? Are you -- 20 the same instruction in the future to the 20 MR. KUVIN: There is none. 21 extent that it's relevant, and I think that if 21 MR. -- worried about a waiver? 22 we can all just agree that if she simply says 22 MR. GOLDBERGER: No. I'm not worried abou 23 or I simply say "The Fifth Amendment," that 23 that at all. I'm worried about what is played 24 will qualify as giving a sufficient answer to 24 to a jury if this gets tried. 25 -- a, a matter of law. and will invoke that 25 MR. KUVIN: Okay. And I appreciate you 3 (Pages 9 to 12) PROSE COURT REPORTING AGENCY, INC. CONFIDENTIAL 3501.125-025 Page 3 of 47 EFTA_00065320 EFTA01246466
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Page 13 Page 15 1 coaching M. but I think he can handle 1 I choose to invoke my Fifth Amendment right. 2 himself pretty adequately now -- 2 BY MR. KUVIN: 3 MR. GOLDBERGER: I have -- 3 Q. Would ou agree with me that you're 4 MR. KUVIN: So I leave it up to -- 4 approximatel 5 MR. GOLDBERGER: I have all the confidence 5 MR. : Same instruction. 6 in . 6 THE WITNESS: On the advice of my lawyer, 7 MR. KUVIN: Mr. with respect to 7 I must invoke my Fifth Amendment right. 8 how you want to handle it. I think we have an 8 BY MR. KUVIN: 9 10 agreement. MR. : I'm satisfied that we have 9 10 Would you agree with me that your eyes are 11 a stipulation, and I assume if there is ever a 11 MR. Same instruction. 12 trial, that would be played or produced to the 12 THE WITNESS: On the advice of my lawyer, 13 jury that simply by using shorthand, what she's 13 I choose to invoke my Fifth Amendment right. 14 really saying is the lengthier answer now. I'm 14 BY MR. KUVIN: 15 satisfied with that. 15 Q. Would you agree with me that you were born 16 MR. KUVIN: And I agree with that. 16 in 17 BY MR. KUVIN: 17 MR. : Same instruction. 18 Q. Okay. Ma'am, what is your current 18 THE WITNESS: On the advice of my lawyer, 19 address? 19 I choose to invoke my Fifth Amendment right. 20 MR. : Again, I will instruct the 20 BY MR. KUVIN: 21 witness not to answer the question. 21 Q. What are the names of your parents? 22 THE WITNESS: On the instruction of my 22 MR. : Same instruction. 23 lawyer. I choose to invoke my Fifth Amendment 23 THE WITNESS: On the advice of my lawyer, 24 right. 24 I must invoke my Fifth Amendment right. 25 25 Page 14 Page 16 1 BY MR. KUVIN: 1 BY MR. KUVIN: 2 Q. What is our current phone number? 2 Q. Areyou married or single? 3 MR. : Same instruction. 3 MR. : Same instruction. 4 THE WITNESS: On the advice of my lawyer, 4 THE WITNESS: On the advice of my lawyer, 5 I choose to invoke my Fifth Amendment right. 5 I must to invoke my Fifth Amendment right. 6 BY MR. KUVIN: 6 (Plaintiffs Exhibit No. I was marked for 7 8 Q. What is our cell hone number? MR. : Same instruction -- 7 8 identification.) MR. KUVIN: I'm going to show you what 9 THE WITNESS: On the advice of my lawyer, 9 we'll mark as Plaintiffs Exhibit I. 10 I choose to invoke m Fifth Amendment right. 10 And I'll ask the videographer to zoom 11 MR. : You have to let me speak 11 in here fora second. 12 before you answer in case there's an objection 12 BY MR. KUVIN: 13 or any of the other lawyers have an objection. 13 Q. Okay. Ma'am, I am going to show you a 14 BY MR. KUVIN: 14 photograph we've marked as Plaintiffs Exhibit 1 and 15 Q. I am going to show you a photograph. Oh, 15 ask you if you recognize this registered sex 16 what is your date of birth? 16 offender. 17 MR. : Same instruction. 17 MR. : First, object to the form 18 THE WITNESS: On the advice of my lawyer, 18 of the question. It assumes facts not before 19 I choose to invoke my Fifth Amendment right. 19 the witness, and I'll give the witness the same 20 MR. KUVIN: Let's make is easier. 20 instruction as to that question. 21 BY MR. KUVIN: 21 THE WITNESS: At the advice of my lawyer, 22 Q. would ou agree with me that 22 I must invoke my Fifth Amendment right. 23 your date of birth i 23 BY MR. KUVIN: 24 MR. : Same instruction. 24 Q. Would you agree with me that this 25 THE WITNESS: On the advice of my lawyer, 25 registered sex offender's name is Jeffrey Epstein? 4 (Pages 13 to 1 6) PROSE COURT REPORTING AGENCY, INC. CONFIDENTIAL 3501.125-025 Page 4 of 47 EFTA_00065321 EFTA01246467
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1 2 3 4 S 6 / 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 Page 17 MR. Same instruction, same objection. THE WITNESS: At the advice of my lawyer, I must invoke my Fifth Amendment right. BY MR. KUVIN: Q. Would you agree with me that Jeffrey Epstein is a sexual offender? MR. Object to the form of the question and instruct the witness not to answer on her Fifth Amendment privilege. THE WITNESS: On the advice of my lawyer I must invoke my Fifth Amendment right. BY MR. KUVIN: Q. Would you agree with me that Jeffrey Epstein sexual) abused you? MR. Objection to the form, both as to the form of the question as to harassing and instruct the witness not to answer, based on the Fifth Amendment privilege. THE WITNESS: On the advice of my lawyer. I must invoke my Fifth Amendment right. BY MR. KUVIN: Q. Would you agree with me that you were a minor when Jeffrey Epstein first had sexual relations with you? 1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 Page 19 question. It's ambiguous and compound. and I will instruct the witness not to answer based on her Fifth Amendment privilege. THE WITNESS: On the advice of my lawyer, I must invoke my Fifth Amendment right. BY MR. KUVIN: Q. And wh did ou do that? MR. : Object to the form. It's ambiguous, in fact that what? BY MR. KUVIN: Q. Why did you bring minor girls to Jeffrey Epstein for him to have sex with? MR. : Same objection as to forty and instruct the witness not to answer. THE WITNESS: On the advice of my lawyer, I must invoke my Fifth Amendment right. BY MR. KUVIN: Q. What do ou currently do for a job? MR. : Instruct the witness not to answer the question. THE WITNESS: On the advice of my lawyer, I must invoke my Fifth Amendment right. BY MR. KUVIN: I. Page 18 Page 20 1 MR. Object to the form. It 1 MR. Instruct the witness not 2 assumes facts not before the witness. It is a 2 to answer the question. 3 compound question and I would instruct the 3 THE WITNESS: On the advice of my lawyer, 4 witness not to answer based on her Fifth 4 I must invoke my Fifth Amendment right. S Amendment privilege. 5 BY MR. KUVIN: 6 THE WITNESS: On the advice of my lawyer. 6 ii 7 I must invoke my Fifth Amendment right. I 8 BY MR. KUVIN: 8 MR. Same instruction. 9 Q. Would you agree with me that you have had 9 THE WITNESS: On the advice of my lawyer, 10 sex with Jeffrey E tein? 10 I must invoke my Fifth Amendment right. 11 MR. Same instruction. 11 BY MR. KUVIN: 12 THE WITNESS: On the advice of my lawyer. 12 I. 13 I must invoke my Fifth Amendment right. 14 BY MR. KUVIN: 9 15 Q. Would you agree with me that you first had 15 MR. Instruct the witness not 16 sex with Jeffrey Epstein when you were under the age 16 to answer the question. 17 of 18? 17 THE WITNESS: On the instruction of my 18 MR. Same instruction. 18 lawyer, I must invoke my Fifth Amendment right. 19 THE WITNESS: On the advice of my lawyer. 19 BY MR. KUVIN: 20 I must invoke my Fifth Amendment right. 20 • 21 BY MR. KUVIN: 22 Q. Would you agree with me. ma'am, that you 23 brought numerous underage girls to Jeffrey Epstein 23 MR. Object to the form. It's 24 so that he could have sex with them? 24 compound and assumes facts not present before 25 MR. Object to the form of the 25 the witness, and I instruct the witness not to S (Pages 17 to 20) PROSE COURT REPORTING AGENCY, INC. CONFIDENTIAL 3501.125-025 Page 5 of 47 EFTA_00065322 EFTA01246468
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Page 21 Page 23 1 answer the question based on her Fifth 1 witness, and I will instruct the witness not to 2 Amendment privilege. 2 answer based on her Fifth Amendment privilege. 3 THE WITNESS: On the instruction of my 3 THE WITNESS: On the instruction of my 4 lawyer, I must invoke my Fifth Amendment right. 4 lawyer, I must invoke my Fifth Amendment right. 5 BY MR. KUVIN: 5 BY MR. KUVIN: 6 Q. Who introduced you to Jeffrey Epstein the 6 Q. Would you agree with me that 7 first time that ou met him? 7 Jeffrey Epstein owns numerous planes, private 8 MR. Same instruction. 8 planes? 9 THE WITNESS: On the instruction of my 9 MR. Instruct the witness not 10 lawyer, I must invoke my Fifth Amendment right. 10 to answer. 11 BY MR. KUVIN: 11 THE WITNESS: On the instruction of my 12 Q. Did Ghislaine Maxwell introduce you to 12 lawyer, I must invoke my Fifth Amendment right. 13 Jeffrey Epstein for the first time? 13 BY MR. KUVIN: 14 MR. Same instruction. 14 Q. And you've been on every one of those 15 THE WITNESS: On the instruction of my 15 private planes: isn't that true? 16 lawyer, I must invoke my Fifth Amendment right. 16 MR. : Object to the form. It 17 BY MR. KUVIN: 17 assumes facts not before the witness, and I 18 Q. When was the first time you were in 18 will instruct the witness not to answer based 19 Jeffrey Epstein's home located on El Brillo Way on 19 on her Fifth Amendment privilege. 20 Palm Beach Island? 20 THE WITNESS: On the instruction of my 21 MR. Object to the form of the 21 lawyer, I must invoke my Fifth Amendment right. 22 question as compound and assuming facts not 22 BY MR. KUVIN: 23 before the witness. And I instruct the witness 23 Q. Ma'am, isn't it true that you've seen the 24 not to answer based on her Fifth Amendment 24 passenger manifest for Jeffrey Epstein's plane? 25 privilege. 25 MR. Object to the form. It Page 22 Page 24 1 THE WITNESS: On the instruction of my 1 assumes facts that are not established as known 2 lawyer, I must invoke my Fifth Amendment right. 2 to this witness, and I instruct the witness not 3 BY MR. KUVIN: 3 to answer the question based on her Fifth 4 Q. Would you agree with me that 4 Amendment privilege. 5 Jeffrey Epstein owns a home at 358 El Brillo Way, 5 THE WITNESS: On the instruction of my 6 Palm Beach Island. Florida? 6 lawyer, I must invoke my Fifth Amendment right. 7 MR. : Instruct the witness not 7 MR. KUVIN: Let me show you what we'll 8 to answer based on her Fifth Amendment 8 mark as Exhibit 2. 9 privilege. 9 10 THE WITNESS: On instruction of my 10 (Plaintiff's Exhibit No. 2 was marked for 11 counsel, I must invoke my Fifth Amendment 11 identification.) 12 right. 12 MR. KUVIN: Thank you. 13 BY MR. KUVIN: 13 MR. : Do you want to zoom in on 14 Q. Would you agree with me that you've been 14 it like you did the last time? 15 in that home numerous times? 15 MR. KUVIN: No. that's fine. 16 MR. Instruct the witness not 16 MR. : Take your time. 17 to answer the question based on her Fifth 17 MR. KUVIN: And flip through. 18 Amendment privilege. 18 BY MR. KUVIN: 19 THE WITNESS: On instruction of my lawyer, 19 Q. All right. Ma'am. would you agree with me 20 I must invoke my Fifth Amendment right. 20 that this is a passenger manifest for one of 21 22 BY MR. KUVIN: Q. Would you agree with me that you have gone 21 22 Jeffrey Epstein's ai lanes? MR. : Instruct the witness not 23 24 on Jeffrey E stein 's lane numerous times? MR. . Object to the form. It 23 24 to answer the question based on her Fifth Amendment privilege. 25 assumes fact. that are not present for the 25 THE WITNESS: On the instruction of my 6 (Pages 21 to 24) PROSE COURT REPORTING AGENCY, INC. CONFIDENTIAL 3501.125-025 Page 6 of 47 EFTA_00065323 EFTA01246469
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Page 25 Page 27 1 lawyer I must exercise my Fifth Amendment 1 Amendment privilege. 2 right. 2 THE WITNESS: On the instruction of my 3 BY MR. KUVIN: 3 lawyer, I must invoke my Fifth Amendment right. 4 Q. And would you agree with me that you 4 BY MR. KUVIN: 5 appear as a passenger on these flight manifests on 5 Q. Would you also agree with me that the two 6 numerous occasions? 6 unknown females listed on the passenger manifest 7 MR. Object to the form. It 7 marked as Exhibit 2 were underage girls, under the 8 assumes facts not established as known to this 8 age of IS? 9 witness, and I instruct the witness not to 9 MR. : Object to the form. It 10 answer the question. 10 calls for speculation. Also it's not been 11 THE WITNESS: On the instruction of my 11 established this witness has any knowledge of 12 lawyer, I must exercise my Fifth Amendment 12 this document and instruct her not to answer 13 right. 13 based on her Fifth Amendment privilege. 14 BY MR. KUVIN: 14 THE WITNESS: On the instruction of my 15 Q. Would you agree with me that your name 15 lawyer, I must invoke my Fifth Amendment right. 16 does, in fact, appear on the passenger manifest for 16 BY MR. KUVIN: 17 these planes for this lane? 17 Q. Would you agree with me that the girls 18 MR. Same objection and same 18 that are listed as females one, and the second 19 instruction. 19 female for this flight of January II, 2005, from 20 THE WITNESS: On the advice of my lawyer, 20 West Palm Beach to the U.S. Virgin Islands, that 21 I must invoke my Fifth Amendment right. 21 those two females were under the age of 17? 22 BY MR. KUVIN: 22 MR. : Same objection. It has 23 Q. Who are the two females that appear on the 23 not been established the witness has any 24 passenger manifest for January II, 2005. on the 24 knowledge of this document. It calls for her 25 first page of Exhibit 2? 25 to speculate, and I instruct her not to answer Page 26 Page 28 1 MR. I'll object to the form, 1 based on her Fifth Amendment privilege. 2 and it has not been established this witness 2 THE WITNESS: On the instruction of my 3 knows anything about this document, and I will 3 lawyer, I must invoke my Fifth Amendment right. 4 instruct her not to answer based on the Fifth 4 BY MR. KUV1N: S Amendment privilege. 5 Q. Would you agree with me that the two 6 THE WITNESS: On the instruction of my 6 females shown on the flight with you of January II, 7 8 lawyer I must invoke my Fifth Amendment right. BY MR. KUVIN: 7 8 2005 were under the a e of 16? MR. Same objection as to form 9 Q. Do you agree with me that you took a 9 It has not been established this witness knows 10 flight on Jeffrey Epstein's plane from West Palm 10 anything about whether there were these 11 Beach to the U.S. Virgin Islands. St. Thomas on 11 witnesses, these females and who they are, so 12 January II, 2005? 12 it's asking her to speculate. and I instruct 13 MR. Instruct the witness not 13 her not to answer based on her Fifth Amendment 14 to answer the question based on her Fifth 14 privilege. 15 Amendment privilege. 15 THE WITNESS: On the instruction of my 16 THE WITNESS: On the instruction of my 16 lawyer, I must invoke my Fifth Amendment 17 lawyer I must invoke my Fifth Amendment right. 17 privilege. 18 BY MR. KUVIN: 18 BY MR. KUV1N: 19 Q. Would you agree with me that on that 19 Q. Ma'am, you were on that flight of 20 flight were you. Jeffrey Epstein, 20 January 11. 2005. wereyou not? 21 and two unknown females? 21 MR. I instruct the witness not 22 MR. Object to the form. Again 22 to answer based on her Fifth Amendment 23 assumes facts that have not been established 23 privilege. 24 this witness has any knowledge of and instruct 24 THE WITNESS: On the instruction of my 25 the witness not to answer based on her Fifth 25 lawyer I must invoke my Firth Amendment right. 7 (Pages 25 to 28) PROSE COURT REPORTING AGENCY, INC. CONFIDENTIAL 3501.125-025 Page 7 of 47 EFTA_00065324 EFTA01246470
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1 Page 29 BY MR. KUVIN: 1 Page 31 MR. Same instruction. 2 Q. You also agree with me that the two girls 2 THE WITNESS: On the instruction of my 3 that are listed as on that flight with you of 3 lawyer, I must invoke my Fifth Amendment right. 4 January 11, 2005, were under the age of 15 years 4 BY MR. KUVIN: 5 old? 5 Q. Who is 6 MR. Object to the form. It 6 MR. : Same instruction. 7 calls for speculation, lack of personal 7 THE WITNESS: On the advice of my lawyer, 8 knowledge, and instruct the witness not to 8 I must invoke my Fifth Amendment right. 9 answer based on her Fifth Amendment privilege. 9 BY MR. KUVIN: 10 THE WITNESS: On the instruction of my 10 Q. Who is Mark Zeff. 11 lawyer, I must invoke my Fifth Amendment right. 11 MR. Same instruction. 12 BY MR. KUVIN: 12 THE WITNESS: On the advice of my lawyer, 13 Q. Would you agree with me that the two 13 I must invoke my Fifth Amendment right. 14 females listed as being on that flight with you of 14 BY MR. KUVIN: 15 January I 1 of 2005 were under the age of 14 years 15 Q. Who is David Mullen? 16 old? 16 MR. : Same instruction. 17 MR. Object to the form. It 17 THE WITNESS: On the advice of my lawyer, 18 calls for speculation. The witness has no 18 I must invoke my Fifth Amendment right. 19 personal knowledge and instruct the witness not 19 BY MR. KUVIN: 20 to answer based on her Fifth Amendment 20 Q. Who is Todd Meister? 21 privilege. 21 MR. : Same instruction. 22 THE WITNESS: On the instruction of my 22 THE WITNESS: On the advice of my lawyer, 23 lawyer, I must invoke my Fifth Amendment right. 23 I must invoke my Fifth Amendment right. 24 BY MR. KUVIN: 24 BY MR. KUVIN: 25 Q. Would you agree with me that the two 25 Q. Who is Jean-Luc Brunel? Page 30 Page 32 1 females listed as being on the flight with you of 1 MR. Same instruction. 2 January II, 2005, from West Palm Beach to the U.S. 2 THE WITNESS: On the advice of my lawyer, 3 Virgin Islands, with Jeffrey Epstein as well, were 3 I must invoke my Fifth Amendment right. 4 under the age of 13 years old and you were aware of 4 BY MR. KUVIN: S that? 5 Q. Ma'am, would you agree with me that all of 6 MR. Object to the form both as 6 the names I just recently mentioned where you 7 compound. it also assumes facts that it has not 7 invoked your Fifth Amendment, were involved in a 8 been established this witness has any knowledge 8 conspiracy to abuse underaged girls, girls under the 9 of. calls for her to speculate, and I instruct 9 age of 18 for sexual ain and pleasure? 10 her not to answer based on her Fifth Amendment 10 MR. : Object to the form of the 11 privilege. 11 question. It calls for a legal conclusion. It 12 THE WITNESS: On the instruction of my 12 is compound. It calls for her to speculate. 13 lawyer I must invoke my Fifth Amendment right. 13 There is no basis for her to be able to give a 14 BY MR. KUVIN: 14 legal opinion as to what a conspiracy is, and I 15 Q. Who is ? 15 instruct her not to answer based on her Fifth 16 MR. I'm sony. Can you repeat 16 Amendment privilege. 17 the name? 17 THE WITNESS: On the advice of my lawyer. 18 MR. KUVIN: 18 I must invoke my Fifth Amendment right. 19 MR. I'll instruct the witness 19 BY MR. KUVIN: 20 not to answer based on her Fifth Amendment 20 Q. Would you agree with me that all of the 21 privilege. 21 names I just mentioned were individuals that were 22 THE WITNESS: On instruction of my lawyer, 22 working together for their own sexual gain and 23 I must invoke my Fifth Amendment right. 23 pleasure? 24 BY MR. KUVIN: 24 MR. : Object to the form of the 25 Q. Who's Ohislaine Maxwell? 25 question as ambiguous and compound. I instruct 8 (Pages 29 to 32) PROSE COURT REPORTING AGENCY, INC. CONFIDENTIAL 3501.125-025 Page 8 of 47 EFTA_00065325 EFTA01246471
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Page 33 Page 35 1 her not to answer based on her Fifth Amendment 1 BY MR. KUVIN: 2 privilege. 2 Q. Would you agree with me that Jeffrey 3 THE WITNESS: On the advice of my lawyer I 3 Epstein worked closely with Jean-Luc Brunel in order 4 must invoke my Fifth Amendment privilege. 4 to obtain girls from out of state and bring them to 5 BY MR. KUVIN: 5 Florida for their own sexual pleasure? 6 Q. What is MC S •oared? 6 MR. Object to the form as 7 MR. I instruct the witness not 7 ambiguous. whose own sexual pleasure. and 8 to answer based on her Fifth Amendment 8 instruct the witness not to answer the question 9 privilege. 9 based on her Fifth Amendment privilege. 10 THE WITNESS: On the advice of my lawyer I 10 MR. KUVIN: Perfectly good objection. She 11 must invoke my Fifth Amendment right. 11 doesn't have to answer the question. Let me 12 BY MR. KUVIN: 12 clarify. 13 Q. Would you agree with me that MC Squared is 13 BY MR. KUVIN: 14 a modeling agency that was funded by 14 Q. Would you agree with me, ma'am. that both 15 Jeffrey Epstein? 15 Jean-Luc Brunel and Jeffrey Epstein worked together 16 MR. I instruct the witness not 16 to obtain underage girls from out of state and bring 17 to answer based on her Fifth Amendment 1"/ them to Florida for both of their own sexual 18 privilege. 18 pleasure? 19 THE WITNESS: The advice of my lawyer I 19 MR. I'm going to object as 20 must invoke my Fifth Amendment right. 20 compound and instruct -- I object to the form 21 BY MR. KUVIN: 21 as compound. and instruct the witness not to 22 Q. Would you agree with me that MC Squared 22 answer based on her Fifth Amendment privilege. 23 24 was wholly funded b Jeffrey Epstein? MR. • Object to the form of the 23 24 THE WITNESS: On the instruction of my lawyer I must invoke my Fifth Amendment right. 25 question as to what "wholly funded" means, and 25 Page 34 Page 36 1 I would instruct the witness not to answer the 1 BY MR. KUVIN: 2 question based on her Fifth Amendment 2 A. Would you agree with me that 3 privilege. 3 Ghislaine Maxwell. Jean-Luc Brunel- and Jeffrey Epsteit 4 THE WITNESS: On the advice of my lawyer I 4 worked together to obtain underage girls from out of 5 must invoke my Fifth Amendment right. 5 state and bring them into the State of Florida for their 6 BY MR. KUVIN: 6 own sexual .lea ure? 7 Q. Would you agree with me that 7 MR. : Object to the form of the 8 Jeffrey Epstein is the sole individual whose money 8 question as compound and ambiguous. and 9 was used to start the corn • any. MC Squared? 9 instruct the witness not to answer based on her 10 MR. Instruct the witness not 10 Fifth Amendment privilege. 11 to answer the question based on her Fifth 11 THE WITNESS: On the instruction of my 12 Amendment privilege. 12 lawyer. I must invoke my Fifth Amendment right. 13 THE WITNESS: On the advice of my lawyer I 13 (Katherine Ezell and Amy Ederi 14 must invoke my Fifth Amendment right. 14 entered the deposition.) 15 BY MR. KUVIN: 15 MR. GOLDBERGER: That's why we're -- 16 Q. Would you agree with me that 16 MR. KUVIN: That's why we lost them. 17 Jean-Luc Brunel worked with Jeffrey Epstein to 17 MR. : Do you want to take a 18 obtain underage girls for both of their sexual 18 one-minute break so we can -- 19 pleasure? 19 MR. KUVIN: Yeah, let's take a quick 20 MR. Object to the form of the 20 one-minute break. 21 question as ambiguous and instruct the witness 21 THE VIDEOGRAPHER: We're now off video 22 not to answer based on her Fifth Amendment 22 record. The time is 10:56 a.m. 23 privilege. 23 (A brief recess was held.) 24 THE WITNESS: On the advice of my lawyer I 24 (Plaintiffs Exhibit No. 3 was marked for 25 must invoke my Fifth Amendment right. 25 identification.) 9 (Pages 33 to 36) PROSE COURT REPORTING AGENCY, INC. CONFIDENTIAL 3501.125-025 Page 9 of 47 EFTA_00065326 EFTA01246472
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Page 37 Page 39 1 THE VIDEOGRAPHER: We're now on video 1 personal knowledge and instruct her not to 2 record at 11:01 a.m. 2 answer based on her Fifth Amendment privilege. 3 MR. KUVIN: Just for the video record and 3 It's also compound. 4 for the written record Katherine Ezell and Amy 4 THE WITNESS: On the instruction of my 5 Eden have now appeared and are present in 5 lawyer I must invoke my Fifth Amendment 6 person. 6 privilege. 7 MR. GOLDBERGER: Just one more matter for 7 BY MR. KUVIN: 8 the record. Jack Goldberger. on behalf of 8 Q. The witness says that you may not have 9 Jeffrey Epstein. Rather than impose a form 9 knowledge or we don't know whether you have 10 objection to every question. I think we have 10 knowledge regarding this passenger manifest, so let 11 reached an agreement that on behalf of 11 me ask you, do you have any knowledge about this 12 Mr. Epstein. I am adopting the form objections 12 passenger manifest? 13 that Mr. is making on behalf of his 13 MR. Object to the form of the 14 client nunc pro tunc to the beginning of this 14 question as ambiguous as to this and what a 15 deposition. 15 manifest is, and also her knowledge, and I will 16 MR. KUVIN: No objection. 16 instruct her not to answer based on her Fifth 17 MR. GOLDBERGER: Okay. 17 Amendment privilege. 18 BY MR. KUVIN: 18 THE WITNESS: On the instruction of my 19 Q. All right. All right. would 19 lawyer, I must invoke my Fifth Amendment 20 you agree with me that there was an agreement 20 privilege. 21 between Jeffrey Epstein, Ghislaine Maxwell. 21 BY MR. KUVIN: 22 Jean-Luc Brunel. yourself and to 22 Q. Based on the objection, do you know what a 23 bring in girls from out of state that were underage? 23 manifest is? 24 MR. : Object to the form of the 24 MR. Object to the form of the 25 question as leading, as compound, and instruct 25 question as ambiguous and instruct her not to Page 38 Page 40 1 the witness not to answer based on her Fifth 1 answer based on her Fifth Amendment privilege. 2 Amendment privilege. 2 THE WITNESS: On the instruction of my 3 THE WITNESS: On the instruction of my 3 lawyer I must invoke my Fifth Amendment right. 4 lawyer I must invoke my Fifth Amendment right. 4 BY MR. KUVIN: 5 BY MR. KUVIN: 5 Q. Have ou heard the word "manifest" before? 6 Q. Would you agree with me that there was an 6 MR. I'll instruct the witness 7 agreement between Jeffrey Epstein, 7 not to answer based on her Fifth Amendment 8 Ghislaine Maxwell, Jean-Luc Brunel, yourself and 8 privilege. 9 to bring in girls that were 9 THE WITNESS: On the instruction of my 10 underage from out of state for sexual contact? 10 lawyer I must invoke my Fifth Amendment right. 11 MR. : Object to the form of the 11 BY MR. KUVIN: 12 question as leading and compound, and I 12 Q. Would you agree with me, ma'am. that you 13 instruct the witness not to answer based on her 13 have seen this passenger manifest, listed as 14 Fifth Amendment privilege. 14 Exhibit 3, in the 'est? 15 THE WITNESS: On the instruction of my 15 MR. I'll instruct the witness 16 lawyer I must invoke my Fifth Amendment 16 not to answer based on her Fifth Amendment 17 privilege. 17 privilege. 18 BY MR. KUVIN: 18 THE WITNESS: On the instruction of my 19 Q. All right. Let me show you what we've 19 lawyer I must invoke my Fifth Amendment right. 20 premarked as Plaintiffs Exhibit 3. Do you 20 BY MR. KUVIN: 21 recognize this as the passenger manifest for one of 21 Q. Who is 22 Jeffrey Epstein's lanes? 22 MR. I'll instruct the witness 23 MR. : I object to the form of 23 not to answer based on her Fifth Amendment 24 the question. It assumes facts that this 24 privilege. 25 witness. evidence that this witness has no 25 THE WITNESS: On the instruction of my 10 (Pages 37 to 40) PROSE COURT REPORTING AGENCY, INC. CONFIDENTIAL 3501.125-025 Page 10 of 47 EFTA_00065327 EFTA01246473
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Page 41 Page 43 1 lawyer I must invoke my Fifth Amendment 1 listed in the risen er list to the left? 2 privilege. 2 MR. : Object to the form. the 3 4 MR. KUVIN: S ellin for the court reporter i 3 4 question is leading and the witness instruct not to answer based on the Fifth Amendment 5 BY MR. KUVIN: 5 privilege. 6 Q. Who is Eva Andersson, with two S's? 6 THE WITNESS: On the instruction of my 7 MR. • I'll instruct the witness 7 lawyer, I must invoke my Fifth Amendment right. 8 not to answer based on her Fifth Amendment 8 BY MR. KUVIN: 9 privilege. 9 Q. Would you agree with me that you were on a 10 THE WITNESS: On the instruction of my 10 plane with Jeffrey E stein on April 27. 2005? 11 lawyer, I must invoke my Fifth Amendment right. 11 MR. : Same instruction. 12 BY MR. KUVIN: 12 THE WITNESS: On the instruction of my 13 Q. Who is (phonetic)? 13 lawyer, I must invoke my Fifth Amendment right. 14 MR. Same instruction. 14 BY MR. KUVIN: 15 THE WITNESS: On the instruction of my 15 Q. Would you agree with me that on that plane 16 lawyer, I must invoke my Fifth Amendment right. 16 of April 27, 2005. from Teterboro. New Jersey. to 17 BY MR. KUVIN: 17 West Palm Beach. was a female who was under the age 18 Q. Who is (phonetic)? 18 of 16? 19 MR. Same instruction. 19 MR. : Object to the form. It 20 THE WITNESS: On the instruction of my 20 assumes facts not established. Any personal 21 lawyer I must invoke my Fifth Amendment right. 21 knowledge by this witness, and instruct her not 22 BY MR. KUVIN: 22 to answer based on her Fifth Amendment 23 Q. Who is Chris Valdez (phonetic)? 23 privilege. It also calls for speculation. 24 MR. Same instruction. 24 THE WITNESS: On the instruction of my 25 THE WITNESS: On the instruction of my 25 lawyer, I must invoke my Fifth Amendment Page 42 Page 44 1 lawyer I must invoke my Fifth Amendment right. 1 privilege. 2 BY MR. KUVIN: 2 BY MR. KUVIN: 3 Q. Who is James Stanley? 3 Q. Would you agree with me that on the flight 4 MR. Same instruction. 4 of April 27, 2005. from Teterboro. New Jersey to 5 THE WITNESS: On the instruction of my 5 West Palm Beach was a female on the plane with you 6 lawyer. I must invoke my Fifth Amendment right. 6 that was under the of 15? 7 BY MR. KUVIN: 7 MR. : Object to the form of the 8 Q. Who is S hia Stanley? 8 It requires speculation. It assumes 9 MR. Same instruction. 9 question. facts not established before this witness. 10 THE WITNESS: On the instruction of my 10 I'll instruct her not to answer based on her 11 lawyer I must invoke my Fifth Amendment right. 11 Fifth Amendment privilege. It's also 12 BY MR. KUVIN: 12 ambiguous. 13 Q. Who is Alexis Stanley? 13 THE WITNESS: On the instruction of my 14 MR. Same instruction. 14 lawyer,I must invoke my Fifth Amendment 15 THE WITNESS: On the instruction of my 15 privilege. 16 lawyer. I must invoke my Fifth Amendment right. 16 BY MR. KUVIN: 17 BY MR. KUVIN: 17 Q. Will you turn to May 6. 2005, please. And 18 Q. Ma'am, if you would, in Exhibit 3, would 18 this is, for the record, in Exhibit 3. On May 6th. 19 you turn to the date of April 27.2005. for me? 19 2005, ma'am. will you agree with me that you took a 20 21 through It's about halfway the packet. April 27, '05. Are you there? 20 21 flight from Teterboro. New Terse West Palm Beach. with Jeffre E. tein 22 A. Uh-huh. 22 David Mullen. Larry 23 Q. Okay. On this particular date, will you 23 Morrison and another female? 24 agree with me that you flew from Teterboro. 24 MR. : Object to the form of the 25 New Jersey to %Vest Palm Beach on a plane with people 25 question as compound. calling for speculation. 11 (Pages 41 to 44) PROSE COURT REPORTING AGENCY, INC. CONFIDENTIAL 3501.125-025 Page 11 of 47 EFTA_00065328 EFTA01246474
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Page 45 Page 47 I instruct the witness not to answer based on 1 BY MR. KUVIN: 2 her Fifth Amendment privilege. 2 Q. Do you also agree with me on that flight 3 THE WITNESS: On the instruction of my 3 of June 20th, 2005. was an unidentified female, 4 lawyer, I must invoke my Fifth Amendment 4 according to thepassenger manifest? 5 privilege. 5 MR. Object to the form -- 6 BY MR. KUVIN: 6 excuse me -- as leading, and instruct the 7 Q. Would you agree with me, ma'am, that on 7 witness not to answer based on her Fifth 8 the flight of May 6th, 2005. that's shown in 8 Amendment privilege. 9 Exhibit 3, that the female identified in the 9 THE WITNESS: On the instruction of my 10 passenger manifest was under the age of 16? 10 lawyer, I must choose to invoke my Fifth 11 MR. : Object to the form. It 11 Amendment privilege. 12 assumes facts not established that this witness 12 BY MR. KUVIN: 13 has any personal knowledge. It calls for her 13 Q. Would you agree with me that that female 14 to speculate, and I'll instruct her not to 14 listed on the flight of June 20. 2005, was under the 15 answer based on her Fifth Amendment privilege. 15 age of 16 years old? 16 THE WITNESS: On the instruction of my 16 MR. Objection to the form as 17 lawyer, I must invoke my Fifth Amendment 17 leading and also requiring speculation. I'll 18 privilege. 18 instruct the witness not to answer based on her 19 BY MR. KUVIN: 19 Fifth Amendment privilege. 20 Q. Would you agree with me that the female 20 THE WITNESS: On the instruction of my 21 identified in the passenger manifest of May 6th, 21 lawyer, I must choose to invoke my Fifth 22 2005, was under the a e of 15? 22 Amendment privilege. 23 MR. : Same objection as the 23 BY MR. KUVIN: 24 previous question, same instruction. 24 Q. Would you agree with me that the 25 THE WITNESS: On the instruction of my 25 unidentified female on the passenger manifest of Page 46 Page 48 1 lawyer I must invoke my Fifth Amendment 1 June 20, 2005. was under the age of 14? 2 privilege. 2 MR. Objection, calls for 3 BY MR. KUVIN: 3 speculation, instruct the witness not to answer 4 Q. Would you agree with me that the female 4 based on her Fifth Amendment privilege. 5 listed in the passenger manifest of May 6th, 2005, 5 THE WITNESS: On the instruction of my 6 was under the a e. was under the age of 14? 6 lawyer, I must invoke my Fifth Amendment 7 MR. Same instruction as to the 7 privilege. 8 previous two questions and the same objection 8 BY MR. KUVIN: 9 as to those two questions. 9 Q. Turn to the date of June 30, if you would, 10 THE WITNESS: On the instruction of my 10 2005. Would you agree with me that you took a 11 lawyer I must invoke my Fifth Amendment 11 flight from Teterboro. New Jersey, to West Palm 12 privilege. 12 Beach on June 30. 2005. with Jeffrey Epstein? 13 BY MR. KUVIN: 13 MR. Object to the form as 14 Q. If you would turn to the date of June 20 14 leading and compound, instruct the witness not 15 of 2005 for me, please. On the date of June 20, 15 to answer based on her Fifth Amendment 16 2005, would you agree with me that you took a flight 16 privilege. 17 with Jeffrey Epstein from West Palm Beach to 17 THE WITNESS: On the instruction of my 18 Teterboro, New Jerse ? 18 lawyer I must, I must invoke my Fifth Amendment 19 MR. Object to the form as 19 right 20 leading. I'll instruct the witness not to 20 BY MR. KUVIN: 21 answer based on her Fifth Amendment privilege. 21 Q. Would you agree with me that 22 THE WITNESS: On the instruction of my 22 was on that fli t? 23 lawyer, I must invoke my Fifth Amendment 23 MR. Same instruction. 24 privilege. 24 THE WITNESS: On the instruction of my 25 25 lawyer I must invoke my Firth Amendment 12 (Pages 45 to 48) PROSE COURT REPORTING AGENCY, INC. CONFIDENTIAL 3501.125-025 Page 12 of 47 EFTA_00065329 EFTA01246475
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Page 49 Page 51 1 privilege. 1 THE WITNESS: On the instruction of my 2 BY MR. KUVIN: 2 lawyer I must invoke my Fifth Amendment 3 Q. Would you agree with me that there was 3 privilege. 4 also another female on that flight with you? 4 BY MR. KUVIN: 5 MR. Same instruction. 5 Q. Would you agree with me that on both of 6 THE WITNESS: On the instruction of my 6 those flights were girls that were under the age of 7 lawyer, I must invoke my Fifth Amendment 7 16? 8 privilege. 8 MR. : Same form objection as tc 9 BY MR. KUVIN: 9 compound, also ambiguous and requiring 10 Q. Would you agree with me that you had 10 speculation and instruct the witness not to 11 personal knowledge that that female on that 11 answer based on her Fifth Amendment privilege. 12 flight with you of June 30, 2005, was under the age 12 THE WITNESS: The instruction of my lawyer 13 of 16? 13 I must invoke my Fifth Amendment privilege. 14 MR. Object to the form as 14 BY MR. KUVIN: 15 compound and calling for speculation, and 15 Q. Would you agree with me, ma'am. that you 16 instruct the witness not to answer based on her 16 have flown on Jeffrey Epstein's plane from 17 Fifth Amendment privilege. 17 Teterboro. New Jersey. to West Palm Beach. on 18 THE WITNESS: On the instruction of my 18 numerous occasions where there were girls on the 19 lawyer, I must invoke my Fifth Amendment 19 plane under the a e of 16? 20 privilege. 20 MR. : Object to the form as 21 BY MR. KUVIN: 21 compound and ambiguous as to what numerous 22 Q. Would you agree with me that you had 22 means. Instruct the witness not to answer 23 personal knowledge that that young female on the 23 based on her Fifth Amendment privilege. 24 flight of June 30, 2005. was under the age of 15? 24 THE WITNESS: On the instruction of my 25 MR. Same instruction, calls 25 lawyer I must invoke my Fifth Amendment Page 50 Page 52 1 for speculation. 1 privilege. 2 THE WITNESS: On the instruction of my 2 BY MR. KUVIN: 3 lawyer, I must invoke my Fifth Amendment 3 Q. Would you agree with me that you have 4 privilege. 4 flown on Jeffrey Epstein's plane from Teterboro. New 5 BY MR. KUVIN: 5 Jersey. to West Palm Beach on at least 100 occasions 6 Q. Would you agree with me that you had 6 where there were girls on the plane with you under 7 personal knowledge that that young female on the 7 the age of 16? 8 flight of June 30. 2005. with you was under the age 8 MR. Object to the form as 9 of 14? 9 compound, requiring speculation and ambiguous, 10 MR. : Objection to form as to 10 and instruct her not to answer based on her 11 compound and requiring speculation. I'll 11 Fifth Amendment privilege. 12 instruct the witness not to answer based on her 12 THE WITNESS: On the instruction of my 13 Fifth Amendment privilege. 13 lawyer I must invoke my Fifth Amendment 14 THE WITNESS: On the instruction of my 14 privilege. 15 lawyer I must invoke my Fifth Amendment 15 BY MR. KUVIN: 16 privilege. 16 Q. Would you agree with me. ma'am. that you 17 BY MR. KUVIN: 17 have flown on Jeffrey Epstein's plane at least 100 18 Q. Ma'am, just so we can be quicker about 18 times from Teterboro, New Jersey to West Palm Beach 19 this, there are flights of July 5th, July IS. It 19 Florida. where there were girls under the age of IS 20 looks like those are the last two. Would you agree 20 on the plane with ou? 21 with me that on July 5th and July 15, you took 21 MR. Same objections as the 22 flights on Jeffrey E rein's plane? 22 previous question, same instruction. 23 MR. : Object to the form as 23 THE WITNESS: On the instruction of my 24 compound and instruct the witness not to answer 24 lawyer, I must invoke my Fifth Amendment 25 based on Filth Amendment privilege. 25 privilege. 13 (Pages 49 to 52) PROSE COURT REPORTING AGENCY, INC. CONFIDENTIAL 3501.125-025 Page 13 of 47 EFTA_00065330 EFTA01246476
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Page 53 Page 55 1 BY MR. KUVIN: 1 occasions where Jeffrey Epstein was flying with 2 Q. Would you agree with me that you have 2 girls under the age of 16 from Teterboro. New 3 flown on Jeffrey Epstein's plane from Teterboro. New 3 Jersey. to Florida, West Palm Beach, Florida, with 4 Jersey to West Palm Beach on at least 100 occasions 4 girls under the age of 16, was doing so, so that he 5 where there were girls on the plane with you that 5 could have sexual contact with them? 6 were under the a e of 14? 6 MR. : Object to the form. It's 7 MR. : Objection to the form. 7 compound and requires her to assume facts that 8 It's compound and ambiguous. calls for 8 have not been established, and it's ambiguous, 9 speculation and instruct her not to answer 9 and instruct her not to answer based on the 10 based on her Fifth Amendment privilege. 10 Fifth Amendment privilege. 11 THE WITNESS: On the instruction of my 11 THE WITNESS: On the instruction of my 12 lawyer, I must invoke my Fifth Amendment 12 lawyer, I must assert my Fifth Amendment right. 13 privilege. 13 BY MR. KUVIN: 14 BY MR. KUVIN: 14 Q. Do you agree with me that on the flights 15 Q. Would you agree with me that you have been 15 from West Palm Beach to Paris, where you were 16 on the plane, one of Jeffrey Epstein's -- strike 16 present on the plane with Jeffrey Epstein, that 17 that. 17 there were girls under the age of 16 that 18 Would you agree with me that you have 18 Jeffrey Epstein was having sexual contact with on 19 been on Jeffrey Epstein's plane with him to Paris 19 that plane? 20 where there have been girls on the plane with you 20 MR. : Same objections as 21 under the a e of 16? 21 previously stated. It's compound, ambiguous. 22 MR. Objection to the form as 22 and assumes facts that she has no knowledge, or 23 compound. assuming facts not established the 23 it has not been established that she has any 24 witness has any knowledge, and instruct the 24 knowledge of, and instruct her not to answer 25 witness not to answer based on her Fifth 25 based on the Fifth Amendment, and it's leading. Page 54 Page 56 1 Amendment privilege. It's also leading. 1 THE WITNESS: On the instruction of my 2 THE WITNESS: On the instruction of my 2 lawyer I must invoke my Fifth Amendment right. 3 lawyer. I must invoke my Fifth Amendment 3 BY MR. KUVIN: 4 privilege. 4 Q. Ma'am, you've been on the plane, you've 5 BY MR. KUVIN: 5 been on a plane with Jeffrey Epstein in the past, 6 Q. Would you agree with me that you have been 6 have you not? 7 on the plane with Jeffrey Epstein on flights to 7 MR. Objection to the form as 8 Paris where there have been girls on the plane with 8 leading, and instruct her not to answer based 9 you under the a e of 15? 9 on the Fifth Amendment privilege. 10 MR. : Same objection and same 10 THE WITNESS: On the instruction of my 11 instruction as the previous question. 11 lawyer, I must invoke my Fifth Amendment 12 THE WITNESS: On the instruction of my 12 privilege. 13 lawyer, I must invoke my Fifth Amendment 13 BY MR. KUVIN: 14 privilege. 14 Q. Have you been on a plane with 15 BY MR. KUVIN: 15 Jeffrey Epstein ever in our entire life? 16 Q. Would you agree with me that you have been 16 MR. Instruct the witness not 17 on those same flights we have been discussing where 17 to answer based on her Fifth Amendment right. 18 there have been:iris under the age of 14? 18 THE WITNESS: On the instruction of my 19 MR. : Same instruction and same 19 lawyer I must invoke my Fifth Amendment 20 objection as the previous two questions. 20 privilege. 21 THE WITNESS: On the instruction of my 21 BY MR. KUVIN: 22 lawyer, I must invoke my Fifth Amendment 22 Q. Have you ever been on a plane with 23 privilege. 23 Jeffrey Epstein where there was a girl on the plane 24 BY MR. KUVIN: 24 with you under the a e of 14? 25 Q. Would you agree with me that on the 25 MR. Same instruction. 14 (Pages 53 to 5 6) PROSE COURT REPORTING AGENCY, INC. CONFIDENTIAL 3501.125-025 Page 14 of 47 EFTA_00065331 EFTA01246477
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Page 57 Page 59 1 THE WITNESS: On the instruction of my 1 MR. Same objection as stated 2 lawyer, I must invoke my Fifth Amendment 2 to the previous question; it's ambiguous and 3 privilege. 3 instruct her not to answer based on the Fifth 4 BY MR. KUVIN: 4 Amendment. 5 Q. Ma'am, isn't it true that you've seen 5 THE WITNESS: On the instruction of my 6 Jeffrey Epstein have sex with girls under the age of 6 lawyer, I must invoke my Fifth Amendment right. 7 14 on his plane? 7 MR. KUVIN: Just to clarify, is the 8 9 MR. : Objection to the form. It assumes facts that it's not been established 8 9 ambigui the word "sex"? MR. : Sex and also assumes that 10 that she would have any knowledge of. and I'll 10 she's ever met Jeffrey Epstein in her life. 11 instruct her not to answer based on her Fifth 11 MR. KUVIN: Any other words in there I 12 13 Amendment right. THE WITNESS: On the instruction of my 12 13 need to clan ? MR. : No. 14 lawyer, I must invoke my Fifth Amendment 14 BY MR. KUVIN: 15 privilege. 15 Q. Okay. Ma'am, do you -- what's your 16 BY MR. KUVIN: 16 definition of the word "sex"? 17 Q. Would you agree with me that you've seen 17 MR. : Object to the form of the 18 Jeffrey Epstein have sex with girls on his plane in 18 question and instruct the witness not to answer 19 your presence Burin fli hts to Paris? 19 based on her Fifth Amendment privilege. 20 MR. Same objection previously : 20 THE WITNESS: On the instruction of my 21 stated, and it assumes facts that have not been 21 lawyer, I must invoke my Fifth Amendment right. 22 established and instruct her not to answer 22 BY MR. KUVIN: 23 based on her Fifth Amendment right. 23 Q. Would you agree with me that the word 24 THE WITNESS: On the instruction of my 24 "sex" means both vaginal intercourse as well as oral 25 lawyer, I must invoke my Fifth Amendment 25 sex? Would you agree with that definition? Page 58 Page 60 1 privilege. 1 MR. You can answer that. 2 BY MR. KUVIN: 2 THE WITNESS: No. 3 Q. Ma'am, isn't it true that you've seen 3 BY MR. KUVIN: 4 Jeffrey Epstein and Jean-Luc Brunel have sex with 4 Q. Okay. Would you agree with me that sex, 5 girls under the age of 14 on Mr. Epstein's plane on 5 for the purpose of our questions here today, will be 6 flights to Paris? 6 limited strictly to vaginal intercourse? 7 MR. Objection to the form. 7 A. Sorry. Can you repeat that? 8 It's compound. as to several answers all at the 8 Q. Yes. For the purpose of my questions here 9 same time and certain facts, and instruct her 9 today, will you agree that the word "sex" will be 10 not to answer based on her Fifth Amendment. 10 limited to vaginal intercourse between a man's penis 11 THE WITNESS: On the instruction of my 11 ma? 12 and a woman's va a? 12 lawyer, I must invoke my Fifth Amendment MR. If you're instructing her 13 privilege. 13 that in the future she should assume that 14 BY MR. KUVIN: 14 that's what you mean by your question, that's 15 Q. Ma'am, isn't it true that you have had sex 15 fine. 16 with Jeffrey E stein on his plane? 16 MR. KUVIN: Oka . 17 MR. : Instruct the witness not 17 MR. If that's what you mean, 18 to answer based on the Fifth Amendment 18 then that's understood. 19 privilege, also object to the form of the 19 MR. KUVIN: That's what I mean. 20 question as compound and ambiguous. 20 MR. Okay. 21 THE WITNESS: On the instruction of my 21 MR. KUVIN: All right. Let's go with that 22 lawyer, I must invoke my Fifth Amendment right. 22 definition. And for the purposes of my 23 BY MR. KUVIN: 23 questions, "oral sex" will mean contact between 24 Q. Isn't it true that you've had sex with 24 an individual's mouth and a man's sexual organ, 25 Jeffrey Epstein on hi, plane on flights to Paris? 25 penis. Fair enough? 15 (Pages 57 to 60) PROSE COURT REPORTING AGENCY, INC. CONFIDENTIAL 3501.125-025 Page 15 of 47 EFTA_00065332 EFTA01246478
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Page 61 Page 63 1 MR. : Understood. 1 Mr. Epstein's residence, as to her knowledge of 2 MR. KUVIN: Okay. 2 Mr. Epstein and other facts as to which she's 3 BY MR. KUVIN: 3 invoking her Fifth Amendment privilege. 4 Q. Working with those definitions if we 4 THE WITNESS: On the instruction of my 5 could, would you agree with me that you had sex with 5 lawyer, I must to invoke my Fifth Amendment 6 Jeffrey Epstein on his 'lane? 6 privilege. 7 MR. : Objection to the form. 7 MR. KUVIN: Let me show you what we'll 8 It's compound and instruct her not to answer 8 mark as Exhibit 6. And this one I'm going to 9 based on the Fifth Amendment privilege, because 9 show it to the camera real briefly, if I could. 10 to do so would implicitly admit that she's ever 10 Okay. 11 met Jeffrey Epstein in her life, and so as to 11 MR. : Let me see it. Thank you 12 that she's invoking the Fifth Amendment 12 (Plaintiffs Exhibit No. 6 was marked for 13 privilege. 13 identification.) 14 THE WITNESS: On the instruction of my 14 BY MR. KUVIN: 15 lawyer, I must invoke my Fifth Amendment 15 Q. Ma'am, do you recognize any of the girls 16 privilege. 16 shown in Exhibit 6? 17 BY MR. KUVIN: 17 MR. : I'll instruct the witness 18 Q. Would you agree with me that you have had 18 not to answer based on her Fifth Amendment 19 oral sex with Jeffrey Epstein on his plane? 19 privilege. 20 MR. : Same objection stated to 20 THE WITNESS: On the instruction of my 21 the previous question. It's compound and it 21 lawyer, I must invoke my Fifth Amendment right. 22 assumes facts that's not been established as to 22 BY MR. KUVIN: 23 which she is invoking her Fifth Amendment 23 Q. Would you agree with me that that is you 24 25 privilege. THE WITNESS: On the instruction of my 25 24 on the right in this hoto raph, the far right? MR. : I'll instruct the witness Page 62 Page 64 lawyer, I must invoke my Fifth Amendment 1 not to answer. 2 privilege. 2 THE WITNESS: On the instruction of my 3 BY MR. KUVIN: 3 lawyer, I must invoke my Fifth Amendment 4 Q. Would you agree with me that you have had 4 privilege. 5 6 7 sex with Jeffre tein in his home -- MR. : Object to the -- MR. KUVIN: -- here in West Palm, in West 5 6 7 BY MR. KUVIN: • Would ou agree with me that that is on the left in that photograph that 8 Palm Beach? 8 we marked as Exhibit 6? 9 MR. : I'll instruct the witness 9 MR. Same instruction. 10 not to answer based on her Fifth Amendment 10 THE WITNESS: On the instruction of my 11 privilege and same objection previously stated 11 lawyer, I must invoke my Fifth Amendment 12 to the last two questions. 12 privilege. 13 THE WITNESS: On the instruction of my 13 BY MR. KUVIN: 14 lawyer, I must invoke my Fifth Amendment 14 Q. How old areyou in this photograph? 15 privilege. 15 MR. Same instruction. 16 BY MR. KUVIN: 16 THE WITNESS: On the instruction of my 17 Q. Would you agree with me that you have had 17 lawyer, I must invoke my Fifth Amendment 18 oral sex with Jeffrey Epstein in his home in West 18 privilege. 19 Palm Beach? 19 BY MR. KUVIN: 20 MR. GARCIA: Is it West, or Palm Beach? 20 Q. How old is in this 21 MR. KUVIN: Palm Beach Island. I think 21 if ou know? 22 it's, because -- yeah, for clarity, his home on 22 photograph, MR. I'm going to object to the 23 Palm Beach. 23 form in that it assumes facts as to her 24 MR. : Object to the form. It 24 knowledge of anything about Ms. and 25 assumes facts as to her knowledge of 25 as to which she is in‘okino, her Fifth Amendment 16 (Pages 61 to 64) PROSE COURT REPORTING AGENCY, INC. CONFIDENTIAL 3501.125-025 Page 16 of 47 EFTA_00065333 EFTA01246479
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Page 65 Page 67 1 privilege. 1 THE WITNESS: On the instruction of my 2 THE WITNESS: On the instruction of my 2 lawyer, I must invoke my Fifth Amendment 3 lawyer. I must invoke my Fifth Amendment 3 privilege. 4 privilege. 4 BY MR. KUVIN: 5 MR. KUVIN: This is Exhibit 7. Let me 5 Q. Would you agree with me that 6 show you what well mark as Exhibit 7. 6 has been to Mr. Epstein's home on hundreds of 7 (Plaintiff's Exhibit No. 7 was marked for 7 occasions? 8 identification.) 8 MR. Object to the form as 9 BY MR. KUVIN: 9 compound and also assumes knowledge as this 10 Q. Do you recognize the girl that's shown in 10 witness has and instruct her to invoke her 11 Exhibit 7? 11 Fifth Amendment privilege relating to 12 MR. I need to consult with her 12 Ms. 13 one second. 13 THE WITNESS: On the instruction of my 14 MR. KUVIN: Sure. 14 lawyer, I must invoke my Fifth Amendment 15 THE VIDEOGRAPHER: Are we off the record? 15 privilege. 16 MR. KUVIN: No. no. 16 BY MR. KUVIN: 17 MR. Instruct the witness to 17 Would you agree with me that you directed 18 invoke her Fifth Amendment privilege as to 18 . on hundreds of occasions to bring girls 19 Exhibit 7. 19 under the a e of 16 to Mr. Epstein's house? 20 MR. KUVIN: She's clipped up. Okay. 20 MR. Object to the form of the 21 MR. Now you have to answer. 21 question as compound and ambiguous and assuming 22 THE WITNESS: On the advice of my lawyer, 22 facts as to which there is no factual basis 23 I must invoke my Fifth Amendment privilege. 23 that this witness has any knowledge and 24 BY MR. KUVIN: 24 instruct the witness not to answer based on her 25 Q. Would you agree with me that the girl 25 Fifth Amendment privilege. Page 66 Page 68 1 shown in Exhibit 7 is 1 THE WITNESS: On the instruction of my 2 MR. Instruct the witness not 2 lawyer, I must choose to invoke my Fifth 3 to answer based on the Fifth Amendment 3 Amendment right. 4 privilege. 4 BY MR. KUVIN: 5 THE WITNESS: On the instruction of my 5 Q. Would you agree with me that on hundreds 6 lawyer, I must invoke my Fifth Amendment 6 of occasions you directed to bring 7 privilege. 7 underage girls under the age of 16 to Mr. Epstein's 8 BY MR. KUVIN: 8 home for sex with Mr. E tein? 9 Q. Do you agree with me that was 9 MR. : Object to the form. It's 10 under the age of 16 when she was first asked to go 10 compound and it assumes facts as to this -- 11 to Mr. Epstein's home? 11 that this witness has no personal knowledge. 12 MR. Objection to the form. It 12 and it's been established by this record, and 13 assumes any knowledge witness as to the 13 instruct her to invoke her Fifth Amendment 14 person you identified as It's las 14 privilege. 15 compound and I would instruct her not to answer 15 THE WITNESS: On the instruction of my 16 based on her Fifth Amendment privilege. 16 lawyer, I must invoke my Fifth Amendment 17 THE WITNESS: On the instruction of my 17 privilege. 18 lawyer, I must invoke my Fifth Amendment 18 MR. KUVIN: We'll mark this as Exhibit 8. 19 privilege. 19 (Plaintiff's Exhibit No. 8 was marked for 20 BY MR. KUVIN: 20 identification.) 21 Q. Would ou agree with me that you know 21 BY MR. KUVIN: 22 personally 22 Q. Ma'am. do you recognize the person that's 23 MR. Instruct the witness not 23 shown in Exhibit 8? 24 to answer based on the Fifth Amendment 24 MR. : Let me consult one second. 25 privilege. 25 MR. KUVIN: Sure. 17 (Pages 65 to 68) PROSE COURT REPORTING AGENCY, INC. CONFIDENTIAL 3501.125-025 Page 17 of 47 EFTA_00065334 EFTA01246480
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Page 69 Page 71 1 MR. : I instruct the witness not 1 MR. GARCIA: He didn't make a Fifth 2 to answer the question based on her Fifth 2 Amendment objection. So can we just rephrase 3 Amendment privilege. 3 the question? 4 THE WITNESS: Based on the instruction of 4 MR. : I would instruct the 5 my lawyer, I must invoke my Fifth Amendment 5 witness not to answer based on the Fifth 6 right. 6 Amendment privilege to clarify. 7 BY MR. KUVIN: 7 MR. KUVIN: Okay. Let's mark this as 8 Q. Would you agree with me that the person 8 Exhibit 9. 9 shown on Exhibit 8 is ou? 9 MR. : And for the record. the 10 MR. : Same instruction. 10 basis is that it assumes her knowledge of 11 THE WITNESS: On the instruction of my 11 anything relating to Jeffrey Epstein, the 12 lawyer, I must invoke my Fifth Amendment 12 question assumed that. 13 privilege. 13 (Plaintiffs Exhibit No. 9 was marked for 14 BY MR. KUVIN: 14 identification.) 15 Q. Would you agree with me that this is a 15 BY MR. KUVIN: 16 modeling shot of you that was taken through one of 16 Q. Ma'am, do you recognize the girl shown in 17 Mr. Epstein's modelin a encies? 17 Exhibit 9? 18 MR. : Object to the form of the 18 MR. : I'll instruct the witness 19 question as compound and assuming facts as to 19 not to answer based on her Fifth Amendment 20 which there has been no basis that this witness 20 privilege. 21 has any personal knowledge, and she's going 21 THE WITNESS: On the instruction of my 22 invoke her Fifth Amendment privilege. 22 lawyer, I must invoke my Fifth Amendment right. 23 THE WITNESS: On the instruction of my 23 BY MR. KUVIN: 24 lawyer, I must invoke my Fifth Amendment 24 Q. Would you agree with me that the girl 25 privilege. 25 shown in Exhibit 9 is ? Page 70 Page 72 1 BY MR. KUVIN: 1 MR. Same instruction. 2 Q. Would you agree with me that you were 2 THE WITNESS: On the instruction of my 3 under the age of 18 in this photograph we've marked 3 lawyer, I must invoke my Fifth Amendment 4 as Exhibit 8? 4 privilege. 5 MR. : Same objection as to the 5 MR. KUVIN: I forgot to do one more thing. 6 previous question and same instruction. 6 If you could give that back to me for just one 7 THE WITNESS: On the instruction of my 7 second just for the record so we can see what 8 lawyer, I must invoke my Fifth Amendment right. 8 we're talking about here. 9 BY MR. KUVIN: 9 Okay. I will give you back Exhibit 10 Q. Would you agree with me that you were 10 9. 11 under the age of 17 in this photograph that we've 11 MR. Thank you. 12 marked as Exhibit 8? 12 BY MR. KUVIN: 13 MR. : Same objection as the 13 Q. Wouldyou agree with me that this 14 previous two question and the same instruction. 14 photograph of was taken when she 15 THE WITNESS: On the instruction of my 15 was under the a e of 18? 16 lawyer, I must invoke my Fifth Amendment right. 16 MR. Objection to the form. It 17 18 BY MR. KUVIN: Q. Would you agree with me that Jeffrey 17 18 assumes this witness has any knowleifihat the n in the photograph is, in fact. 19 Epstein kept this photograph of you in his home, if 19 Therefore,it's ambiguous and 20 you know. 20 compound. and I'll instruct her not to answer 21 MR. : Object to the form of the 21 based on her Fifth Amendment privilege. 22 question as compound and ambiguous, and I would 22 THE WITNESS: On the instruction of my 23 instruct the witness not to answer. 23 lawyer, I must invoke my Fifth Amendment right. 24 THE WITNESS: On the instruction of my 24 BY MR. KUVIN: 25 lawyer, I must invoke my Fifth Amendment right. 25 Q. Would you agree with me that the gill 18 (Pages 69 to 72) PROSE COURT REPORTING AGENCY, INC. CONFIDENTIAL 3501.125-025 Page 18 of 47 EFTA_00065335 EFTA01246481
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Page 73 Page 75 1 shown in that photograph -- strike that. 1 implicitly assumes that she does. I would 2 Would you agree with me that this 2 instruct her not to answer it based on her 3 photograph was ke t b Jeffrey Epstein in his home? 3 Fifth Amendment privilege. 4 MR. Objection to the form as 4 THE WITNESS: Upon the instruction of my 5 to being compound in that it assumes that she 5 lawyer, I must invoke my Fifth Amendment 6 has any knowledge of Jeffrey Epstein or his 6 privilege. 7 home, and I would instruct her not to answer 7 BY MR. KUVIN: 8 based on her Fifth Amendment. 8 Q. Ma'am. are you aware of the effect, the 9 THE WITNESS: On the instruction of my 9 emotional effect on the underage girls that have 10 lawyer, I must invoke my Fifth Amendment right. 10 been abused by Jeffrey Epstein? Are you aware of 11 BY MR. KUVIN: 11 the emotional effect that it's had on the underage 12 Would you agree with me that 12 that have been abused by Jeffrey Epstein? 13 • was under the age of 16 when this 13 girls MR. Objection to the form as 14 photograph was taken in Exhibit 9? 14 to. again, the question assumes this wimess 15 MR. : Objection to the form as 15 has any knowledge, first, of Jeffrey Epstein, 16 compound and also assuming this witness has any 16 second that Jeffrey Epstein has sexually abused 17 18 knowledge that the rson in the photograph is, in fact, Therefore. I would 17 18 anyone ever, and third, that anyone has been damaged by anything that Jeffrey Epstein has 19 instruct her to invoke her Fifth Amendment 19 done, and fourth, that she would somehow have 20 privilege. 20 any knowledge of these people's emotional 21 THE WITNESS: On the instruction of my 21 situations. For all those reasons, the 22 lawyer, I must invoke my Fifth Amendment right. 22 question is ambiguous and compound. and I would 23 BY MR. KUVIN: 23 instruct her not to answer based on her Fifth 24 Q. Ma'am, is Jeffrey Epstein paying for your 24 Amendment. 25 attorney today? 25 THE WITNESS: Upon the instruction of my Page 74 Page 76 1 MR. I'll instruct the witness 1 lawyer, I must invoke my Fifth Amendment right. 2 not to answer based on her Fifth Amendment 2 BY MR. KUVIN: 3 privilege. 3 Q. Ma'am, do you have any regret for what 4 THE WITNESS: On the instruction of my 4 you've done? 5 lawyer, I must invoke my Fifth Amendment right. 5 MR. : Objection to the form. 6 BY MR. KUVIN: 6 That question is not designed to lead to 7 Q. Ma'am, is Jeffrey Epstein paying for you 7 discoverable evidence. It's meant solely for 8 to keep quiet with respect to the things he has done 8 the purpose of harassment, and I would instruct 9 to underage iris? 9 her not to answer. 10 MR. Objection to the form in 10 BY MR. KUVIN: 11 that it's ambiguous and compound, also assumes 11 Q. Ma'am, do you have any regrets for what 12 this witness has any knowledge at all of 12 Jeffrey Epstein has done through you in obtaining 13 Jeffrey Epstein, and therefore I am instructing 13 underage girls for sexual abuse? 14 her to invoke her Fifth Amendment privilege. 14 MR. : Same objection as the 15 THE WITNESS: On the instruction of my 15 previous question as well as that question is 16 lawyer, I must invoke my Fifth Amendment 16 now free to assume this witness has any 17 privilege. 17 knowledge at all of Jeffrey Epstein or 18 BY MR. KUVIN: 18 Jeffrey Epstein having abused any underage 19 Q. Ma'am, how much is Jeffrey Epstein paying 19 women or girls or anything else that 20 you to keep quiet with respect to things he's done 20 Jeffrey Epstein may ever have done. 21 to underage irls? 21 And therefore, since it assumes that 22 MR. Object to the form as 22 fact, I would instruct her not to answer 23 multiple compound questions, and it's again 23 based on her Fifth Amendment. 24 assuming this witness has any knowledge at all 24 BY MR. KUVIN: 25 of Jeffrey Epstein. Since the question 25 Q. Are you scared of Jeffrey Epstein? 19 (Pages 73 to 7 6) PROSE COURT REPORTING AGENCY, INC. CONFIDENTIAL 3501.125-025 Page 19 of 47 EFTA_00065336 EFTA01246482
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Page 77 Page 79 1 MR. KUV1N: I'm sorry, you had to respond. 1 lawyer, and I must invoke my Fifth Amendment 2 I cut you off. 2 privilege. 3 THE WITNESS: Upon the instruction of my 3 BY MR. KUVIN: 4 lawyer, I must invoke my Fifth Amendment right. 4 Q. Do ou know who Les Wexner is? 5 BY MR. KUVIN: 5 MR. I'll instruct the witness 6 Q. Are ou scared of Jeffrey Epstein? 6 not to answer based on her Fifth Amendment 7 MR. Objection to the form in 7 privilege. 8 that it assumes this witness has ever met 8 THE WITNESS: On the instruction of my 9 Jeffrey Epstein in her life. Because it 9 lawyer, I must invoke my Fifth Amendment 10 assumes that, I would instruct her not to 10 privilege. 11 answer based on the Fifth Amendment. 11 BY MR. KUV1N: 12 THE WITNESS: On the instruction of my 12 Q. Do you know whether or not Mr. Epstein has 13 lawyer, I must invoke my Fifth Amendment right. 13 had a homosexual relationship with Les Wexner in the 14 BY MR. KUV1N: 14 past? 15 Q. Are you aware of Jeffrey Epstein's sexual 15 MR. Objection to the form in 16 obsession for children? 16 that it again assumes that this witness knows 17 MR. Same instructions as the 17 anything at all about Jeffrey Epstein or has 18 previous question. also objection to the 18 ever met Jeffrey Epstein in her life, and 19 question. It's not designed to lead to any 19 therefore. I would instruct her not to answer 20 discoverable evidence at all. It's simply 20 based on her Fifth Amendment privilege, and the 21 meant for harassment. 21 question is compound and ambiguous. 22 THE WITNESS: On the instruction of my 22 THE WITNESS: On the instruction of my 23 lawyer, I must invoke my Fifth Amendment 23 lawyer, I must invoke my Fifth Amendment 24 privilege. 24 privilege. 25 25 Page 78 Page 80 1 BY MR. KUVIN: 1 BY MR. KUVIN: 2 Q. At what point did you realize that 2 Q. Do you know the magician by the name 3 Jeffrey Epstein was sexually attracted to girls 3 David Cop. erfield? 4 under the a e of 18? 4 MR. : I'll instruct the witness 5 MR. Once again, the question 5 not to answer based on her Fifth Amendment 6 assumes this witness knows anything at all 6 right. 7 about Jeffrey Epstein, underage women, sexual 7 THE WITNESS: On the instruction of my 8 abuse of underage women, and she's not going to 8 lawyer, I must invoke my Fifth Amendment 9 answer any questions that assume that as a 9 privilege. 10 predicate. They are objectionable as ambiguous 10 BY MR. KUVIN: 11 and compound, and I instruct her not to answer. 11 Q. You are aware, are you not, that 12 THE WITNESS: On the instruction of my 12 David Copperfield has visited Jeffrey Epstein's home 13 lawyer, I must invoke my Fifth Amendment 13 in Palm Beach? 14 privilege. 14 MR. : Objection to the form as 15 BY MR. KUV1N: 15 it once again assumes she has some knowledge of 16 Q. Are you aware whether or not 16 Jeffrey Epstein, or whether he has a home in 17 Jeffrey Epstein has had any homosexual relationships 17 Palm Beach. Because those facts are implicit 18 in the past? 18 in the question, the question is ambiguous and 19 MR. Same objection as the 19 compound. I would instruct her not to answer 20 previous question. The question as stated 20 based on her Fifth Amendment. 21 assumes this witness has some knowledge of 21 THE WITNESS: On the instruction of my 22 Jeffrey Epstein. And since it assumes that 22 lawyer, I must invoke my Fifth Amendment 23 fact, it is ambiguous and it's compound. and I 23 privilege. 24 instruct her not to answer. 24 BY MR. KUVIN: 25 THE WITNESS: On the instruction of my 25 •. You are aware. are you not. that 20 (Pages 77 to 80) PROSE COURT REPORTING AGENCY, INC. CONFIDENTIAL 3501.125-025 Page 20 of 47 EFTA_00065337 EFTA01246483
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