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d-37861House OversightDeposition

Deposition excerpt suggests Alan Dershowitz claims flight records prove no private flights with young women

The passage contains a witness (presumably Alan Dershowitz) asserting that flight manifests will demonstrate he was never on a private airplane with any young woman, and that these records have been p Witness asserts existence of flight manifests that could refute allegations of private flights with Reference to specific media appearances (BBC, CNN Live with Hala Gorani) used to timestamp the all

Date
November 11, 2025
Source
House Oversight
Reference
House Oversight #010798
Pages
1
Persons
2
Integrity
No Hash Available

Summary

The passage contains a witness (presumably Alan Dershowitz) asserting that flight manifests will demonstrate he was never on a private airplane with any young woman, and that these records have been p Witness asserts existence of flight manifests that could refute allegations of private flights with Reference to specific media appearances (BBC, CNN Live with Hala Gorani) used to timestamp the all

Tags

flight-recordssexual-misconduct-allegationdiscovery-documentslegal-depositionlegal-exposurehouse-oversightfinancial-flow-potential-travedocumentary-evidencemedia-appearancessexual-misconduct

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Text extracted via OCR from the original document. May contain errors from the scanning process.
wow on Dm ew DnN NNNNNN HHH ee ee ee EL MP WwNeF OOF MAA PWN HO worn nau *F WN NNNNN YN RP FP RF RF FP FP RF RF HM Re Wn FW NF OO ON Dm FWY NY KF Oo 237 A. It was whenever -- I'm not sure I ever saw the date. He just quickly showed me the e-mail and I quickly looked at it. Q. The e-mail that you are referencing, in fact, occurred after you had begun all of your media appearances with respect to this filing ~~ A. Let me be very clear about -- Q. -- didn't it, sir? A. Let me be very clear about my media appearances so that | -- Q. How about just answering the questions? A. I'm trying to answer the question. All of my media appearances -- Q. The question is: Did it occur before or after your media -- your media appearances? That doesn't call for a speech -- A. It came -- Q. ~it calls for before or after. A. It came before some and after some. It came, for example, before my appearance on the BBC because they showed me the e-mail before they interviewed me for the BBC. So some occurred -- it occurred before some and it occurred after some. Q. Allright. So itis your assertion that this single e-mail that you have made reference to oOo on DM FF WHD HE NNN NNN FH ee oe Be Be BE BE BoB Mme WNH OW ON AU BR wWNHPR OO MR. SCOTT: I think he's answered that twice. A. It came after. It came after. BY MR. SCAROLA: Q. Thank you, sir. On January 5, you made another CNN Live appearance in an interview with Hala Gorani. Do you recall that? A. 1 do not recall the name of the person -- Q. Take a look at the transcript, if you would, please, page 15. MR. SCOTT: Take a moment to review the transcript, please, Mr. Dershowitz. THE WITNESS: Page 15. MR. SCOTT: Take your time to review that. A. Yeah, that name is not familiar to me but, of course, I remember doing an interview, yes. BY MR. SCAROLA: Q. All right, sir. And during the course of that interview, you said: "There are flight manifests. They will prove I was never on any private airplane with any young woman." Correct? A. Yes. Q. Go to page 17, if you would. A. Uh-huh. Q. Atline 4 of transcript of that same 238 where Paul Cassell says "asks Dershowitz these questions" occurred before your -- your media appearances and after your media appearances; ts that correct? MR. SCOTT: Objection, form, argumentative and repetitious. A. It occurred before some of the media appearances, and it occurred after some of media appearances, yes. BY MR. SCAROLA: Q. Did it occur before your first media appearances? A. My first media appearances came as the result of phone calls I received from -- Q. That's nonresponsive to my question, sir. A. -~ newspapers -- Q. I didn't ask you anything about what your first media appearances occurred -- A. Yes, you did. Q. -- asa result of. 1 asked you -- MR. SCOTT: Let him ask his question. BY MR. SCAROLA: Q. -- whether the e-mail that you claimed to have seen was sent before or after your first media appearance? wo on Du FF WN N NNN NN HH eM ew Be eB eo be “uP WNeHF OW AANA UN PF wWNHRE OO 240 interview, you said: "She made the whole thing up out of whole cloth. I can prove it by flight records. | can prove it by my travel records." Did you make those statements? A. Yes, and they're absolutely true. Q. Okay. I am going to hand you every flight record that has been produced in connection with this litigation. A. Uh-huh, MR. SCAROLA: Could we mark that as the next composite exhibit, please? (Thereupon, marked as Plaintiff Exhibit 6.) MR. SCAROLA: And mark this as the next composite exhibit, which will be 7. MR. SCOTT: These are all the flight manuals? MR. SCAROLA: As far as I know. MR. SCOTT: Okay. MR. SCAROLA: They're the only ones that have been produced in discovery. If there are more, I'm going to be interested to hear about it. (Thereupon, marked as Plaintiff Exhibit 7.) 16 (Pages 237 to 240) www.phippsreporting.com (888) 811-3408

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