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d-37628House OversightDeposition

Witness testimony about wife’s calendar and alleged basketball/massage activities in Cambridge

The passage contains a fragmented deposition transcript with no clear names of high‑profile officials, financial transactions, or concrete allegations of misconduct. It only references vague personal Witness refers to his wife's calendar to locate a possible massage appointment in Cambridge on Jan 1 Discussion about basketball entries (watching vs. playing) and whether the Celtics played at that

Date
November 11, 2025
Source
House Oversight
Reference
House Oversight #010820
Pages
1
Persons
0
Integrity
No Hash Available

Summary

The passage contains a fragmented deposition transcript with no clear names of high‑profile officials, financial transactions, or concrete allegations of misconduct. It only references vague personal Witness refers to his wife's calendar to locate a possible massage appointment in Cambridge on Jan 1 Discussion about basketball entries (watching vs. playing) and whether the Celtics played at that

Tags

personal-calendarcourt-transcriptexhibit-conflictpersonal-activitydepositionlegal-exposurehouse-oversight

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Text extracted via OCR from the original document. May contain errors from the scanning process.
oO oO nM PF WN NNNNNN PRP PRP PPP PPP nPwWNrF OW MN AH BWNHN RO wo Om nDM PP WN EF NNN NPR PPP PP PBR WNP CHUAN DHN BW NH O iS] w A. Who's - Q. -~- of Composite Exhibit 10. MR. SCOTT: Let me see the page you're talking about so he can -- MR. SCAROLA: I've given you the entire calendar. MR. SCOTT: Come on, Jack. MR. SCAROLA: I've given you the entire composite -- THE WITNESS: So you're talking about my wife's -- MR. SCAROLA: Fourth page -- fourth page of Exhibit 10. You have Exhibit 10, I've given a copy of that. MR. SCOTT: I understand it and he has it front of him and I'm trying to get him to the right page. Thank you. Please take it down. BY MR. SCAROLA: Q. Fourth page, Composite Exhibit 10. A. Yes. Q. Friday, January 12. A. Okay. That's very simple. We were both in Cambridge and I had a massage in Cambridge. How do I know that? Because it had basketball. And that's where J play and watch basketball was in oO adn wo PP WN FR NN NNN NPP EP PP RP PP Pe UB WN FP OO MN HU PWNHR OO 327 A. Uh-huh. Q. Okay. Or from 3:30 to 4:15, that would be a playing time for you in Cambridge; is that correct? A. You'd be asking me to speculate. I can't speculate based on my wife's calendar. It says utility bill, Reservoir address. That suggests Cambridge. Reservoir is our house in Cambridge. Q. So, it would appear that this is another massage that you got somewhere? A. But 1 would like to also say one thing. I don't -- I at least wonder were these records available to your clients at the time they made the false accusations against me or arc they aftcr-the-fact constructs designed to simply try to find excuses to justify their false allegations? It seems to me the latter is probably the case. Q. And you are going to have an opportunity through your counsel to ask those questions. A. And we will. Q. And my clients are anxious to be able to answer those questions. A. Not as anxious as I am to hear their answers. Q. Okay. 326 Cambridge. So probably I was in Cambridge if it says B ball 3:30, 4:15 and says Cambridge with Ella, so I'm sure | was in Cambridge. Q. Allright. So- A. But I'm -- I'm looking at my wife's calendar. I can't tell you and nor can you tell me where | was at that period of time. Q. So, the basketball entries are references to your watching basketball in Cambridge? A. No. They could be playing basketball. J played basketball in those days -- Q. Watching or playing basketball? MR. SCOTT: Let him finish his answer, please. A. either watched basketball or played basketball, yeah. 1 did not go to basketball games in New York, to my recollection, unless the Celtics were in New York and maybe we can check -- MR. SCOTT: You've got about five minutes, Counsel, BY MR. SCAROLA: Q. The Celtics didn't play from 4:15 to 5:00, did they? A. No, but I did. Q. You did? oD MAH HP WN EF 328 MR. SCOTT: Okay. Let's wrap it up. MR. SCAROLA: Not quite. MR. SCOTT: Yeah, it's 12:30. I'm ending this. That gives you three and a half hours. We take a lunch break and then we have three and a half. MR. SCAROLA: We don't need three and a half hours for lunch. MR. SCOTT: No, I didn't say that, I said we take an hour break and then we have three and a half hours with your client, just like... MR. SCAROLA: If -- if that's what you want to do -- MR. SCOTT: That's the fair thing to do because that's why we're dividing it equally and I suggested that -- MR. SCAROLA: | will state -- J will state for the record that Exhibits 2, 3 and 4 -- excuse me, Exhibits 9, 10, 11 and 12, composite exhibits, directly conflict with the witness's assertion -- MR. SCOTT: This is all a speech on your part. MR. SCAROLA: It is a speech. MR. SCOTT: Itis a speech and -- 38 (Pages 325 to 328) www.phippsreporting.com (888) 811-3408

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