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EXHIBIT 6
Case 1:15-cv-07433-LAP Document 1137-6 Filed 10/22/20 Page 1 of 17
- - - - - - - - - X
Plaintiff,
- agai nstGHISLAINE MAXWELL,
Case No . :
15- cv-07433 - RWS
Defendants .
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**CONFIDENTIAL**
Videotaped deposition of GHISLAINE
MAXWELL, taken pursuant to subpoena , was
held at the law offices of BOIES
SCHILLER & FLEXNER, 575 Lexington
Avenue, New York, New York, commencing
April 22, 2016, 9:04 a.m., on the above
date , before Leslie Fagin, a Court
Reporter and Notary Publ i c in the State
of New York.
120 0 Avenue of the Americas
New York, New York 10026
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2 APPEARANCES:
3
4 Attorneys for Plaintiff
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6
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BY:
401 East Las Olas Boulevard
Fort Lauderdatle , Florida, 33301
9 LEHRMAN, P . L.
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12
BY:
Attorneys for Plaintiff
425 N. Andrews Avenue
Fort Lauderdale, Florida 33301
13 PAUL G. CASSELL, ESQUIRE
Attorneys for Plaintiff
14 383 South University Street
Salt Lake City, Utah 84 112
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17 Attorneys for Defendant
150 East 10th Avenu
18 Denver, Colorado 80203
19 LAURA A. MENNINGER, ESQUI RE
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21 Also Present:
22 James Christe , videographer
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25
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2 for sexual acts.
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4 acts?
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Q. I'm asking if they performed sexual
MR. PAGLIUCA : Object to the form
and foundation.
Q. Did any of the massage therapists
8 who were at the home perform sexual acts for
9 Jeffrey Epstein?
1 0 A. I don ' t know what you mean by
11 sexual acts.
12 Q. Did any o f the massage therapists
13 who were working at the home perform sexual
14 acts, including touching the breasts,
15 touching the vaginal area, being touched
16 while Jeffrey is masturbating, having
17 intercourse, any of thos e things?
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MR. PAGLIUCA: Objection. Form and
foundation.
To the extent any of this is asking
for to your knowl edge any consensual sex
act that may or may not have involved
you, I ' m instructing you not to answer
the question.
Q. I'm not asking about consensual sex
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2 acts. I ' m asking whether any of the massage
3 therapists performed sexual acts for Mr.
4 Epstein, as I have just described?
5 A. I have never seen anybody have
6 sexual intercourse with with Jeffrey, ever.
7
8
Q. I ' m not asking about sexual
intercourse. I ' m asking about any sexual
9 act , touching of the breast - - did you ever
10 see - - can you read back the question?
11 (Record read.)
12 A. I ' m not addressing any questions
13 about consensual adult sex. If you want to
14 talk about what the subject matter, which is
15 defamation and lying, Virginia Roberts, that
16 you and Virginia Roberts are participating in
17 perpetrating her lies, I 1 m happy to address
18 those . I never saw any inappropriate
19 underage activities with Jeffrey ever.
2 0 Q. I'm not asking about underage. I 'm
21 asking about whether any of the masseuses
22 that were at the home perfor m sexual acts for
23 Jeffrey Epstein?
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A.
Q.
I have just answered the question.
No, you haven't.
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G Maxwell - Confidential
I have.
No, you haven't .
Yes, I have.
You are refusing to answer the
6 question.
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A.
Q.
Let ' s move on.
I 'm in charge of the deposition.
9 say when we move on and when we don't .
10 You are here to respond to my
I
11 questions. If you are r efusing to answer the
12 court will bring you back for another
13 deposition to answer these questions.
14 Do you understand that?
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MR. PAGLIUCA: You don ' t need to
threaten the witness.
MS. McCAWLEY: I ' m not threatening
her.
clear.
I'm making sure the record is
MR. PAGLIUCA : Certainly can you
apply to have someone come back and the
court may or may not have her come back
again.
Again, she is not answering
questions that relate to adult consent
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G Maxwell - Confidential
sex acts. Period. And that ' s the
instruction and we can take it up with
the court .
Q. Ms. Maxwell , are you aware of any
6 sexual acts with masseuses and Jeffrey
7 Epstein that were nonconsensual?
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A .
Q.
A.
No.
How do you know that?
All the time that I have been in
11 the house I have never seen, heard, nor
1 2 witnessed, nor have reported to me that any
13 activities took place, that people were in
14 distress, either reported to me by the staff
15 or anyone else. I base my answer based on
16 that.
1 7 Q. Are you familiar wi th a person by
18 the name of
19
20
A.
Q.
I am.
Has given a statement
21 to police about you performing sexual acts on
22 her?
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A.
Q.
I have not heard that.
Has given a statement
25 to police about Jeffrey Epstein performing
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Q. Did you have sex with her?
MR . PAGLIUCA: Th is is the same
instruction about consensual or
nonconsensual.
Q . Was - under the age of 18 when
7 you hired her?
8 A. No. I d i dn ' t hir e h e r , as I said,
9 Jeffrey did.
10 Q . Did ever have sex wi th
11 Jeffrey?
12 MR. PAGLIUCA: Objection to the
13
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15 did.
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form and f oundation.
A. How would I know what somebody else
Q. You weren't involved in the sex
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between Jeffrey, and yourself?
A.
Q.
We already
Were you involved wi th sex between
2 0 Jeffrey, - and yourself?
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MR. PAGLIUCA: Everyone is t alking
over each other . You heard the
question.
Again, you you know what the
instruction is. If there is any
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consensual issue involved, I instruct
you not to answer.
A. Moving on.
Q. So you are refusing to answer that
6 question?
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A.
Q.
I ' ve been instructed by my lawyer.
Did you ever have sex with Jeffrey,
Virginia and yourself when Virginia was
underage?
A. Absolutely not.
MR. PAGLIUCA: We ' ve been going for
about an hour. I would like to take a
five-minute break, please .
MS. MCCAWLEY: I'm almost done.
MR. PAGLIUCA: You are not going to
allow a break.
MS. McCAWLEY: As soon as I get
through my line of questioning, which is
perfectly appropriat e .
Q. Did travel with you and
22 Jeffrey to Europe?
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A.
Q.
A.
I'm sure she did.
What is she doing today?
I have no idea.
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G Maxwell - Confidential
Did you train Virginia on how to
3 recruit other girls to perform sexual
4 massages?
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MR . PAGLIUCA: Objection to the
form and foundation.
A. No . And it ' s absurd and her entire
8 story is one giant tissue of lies and
9 furthermore, she herself has if she says
10 that , you have to ask her about what she did.
11 Q. Does Jeffrey like to have his
12 nippl es pinched during sexual encounters?
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MR. PAGLIUCA: Objection to form
and foundation.
A. I ' m not referring to any advice on
16 my counsel. I'm not talking about any adult
17 sexual things when I was with him.
18 Q. When Jeffrey would have a massage,
19 would he request that the masseuse pinch his
2 0 nipples while he was having a massage?
21 A. I ' m not talking about anything with
22 consensual adult situation.
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Q.
A.
Q.
What about with underage
I am not aware of anything.
You are not aware of Jeffrey
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2 Q.
G Maxwell - Confidential
In your responsibilities in working
3 for Jeffrey, would you book massages for him
4 on any given day so that he would have a
5 massage scheduled? Would you take a call for
6 example and book a massage for him?
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MR. PAGLIUCA: Objection to the
form and foundation.
Q.
A.
You can answer.
Typically, that was not my
11 responsibility. He would either book the
12 massage himself or one of his other
13 assistants would do that.
14
15 that?
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Q. From time to t ime you had to do
MR. PAGLIUCA: Objection to the
form and foundation.
A. Like I said, typically it was
19 somebody else 1 s responsibility.
20 Q. If you were unable to book a girl
21 for a massage on a given day, would that mean
22 that you were responsible for giving him a
23 sexual massage?
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MR. PAGLIUCA: Objection to the
form and foundation and I instruct you
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not to answer any questions about any of
your consensual adult sexual activity.
Q . So you are not going to answer that
5 question?
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A.
Q.
You just heard my counsel.
Have you ever said to anybody that
8 recruiti ng other girls to perform sexual
9 massages for Jeffrey Epstein takes the
10 pressure off you?
11
12
13
14 out .
15
MR. PAGLI UCA: Object to the form
and f oundation.
A. Repeat the question and break it
Q. Have you ever said to anybody that
16 you recruit girls - -
17 A. Stop right there. I never
18 recruited girls, let's stop there. Now
19 breakdown the question.
2 0
21
Q.
A.
Have you ever said to anybody --
By girls, we are talking about
22 underage people -- you said girls, are you
23 talking about underage -- we are not talking
24 about consensual acts -- this is a defamation
25 suit.
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2 the flights?
3 A. I can't recollect h avi ng a meal
4 with them, but just so we are c l ear, the
5 allegations that had a meal on
6 Jeffrey ' s island is 100 percent false.
7 Q. But he may have had a meal on
8 Jeffrey's plane?
9 A. I ' m sure he had a meal on Jeffrey's
lO plane.
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lS
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Q. You do know how many t i mes he flew
on Jeffrey's plane?
A. I don't.
Q. Do you know who i s?
A. I do.
Q. How do you know him?
A . He used to work or still works for
Q. Did you ever have a relationship
20 with him?
21 A. We are talking about adult
22 consensual relationships, it ' s off the
23 record .
24 Q. I ' m not asking what you did with
25 him, I ' m asking if you ever had a
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2 relationshi p with him?
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MR. PAGLIUCA: If you understand
the term relationship, certainly you can
answer that.
A.
Q.
Define relationship.
Somebody that you would have spent
8 time together, either seeing them in a
9 romantic relationship or --
10 A. You need to be , what do you mean by
11 romantic. I was friends with ~ ut you
12 are suggesting something more so I want to be
13 clear what you are actually asking me.
14 Q. You defined it. You said you were
15 friends wi th him. If that ' s what you were
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that 1 s all I need to know .
While you were on the trip with
do you recall where you
stayed at these locations, in other words,
would you leave the jet and stay overnight at
a hotel, do you have a recollection of this
trip?
A. I recollect the trip but if you ' re
24 asking me where we stayed, you can see it ' s a
25 very fast paced trip. It was very tiring and
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form and foundation.
A . I don't know why the name is - - I' m
sorry - - I can't -- I have no idea. I
5 recognize the name but that's it.
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1 0
Q. Was a masseuse?
MR. PAGLIUCA: Objection to the
form and foundation .
A.
Q.
What are you asking me, I'm sorry?
When worked for
11 Jeffrey Epstein, did she perform massages?
12 A. I've testified that when
13 came originally, she came to answer
14 telephones. I believe at some point she
15 became a masseuse. I don ' t recollect when
16 and I personally had massages from
17 Q. What did o for Jeffrey
18 Epstein, did she perform massages, anything
19 else?
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MR. PAGLIUCA: Objection to the
form and foundation.
A. When she came she answered phones
23 and at some point, I believe , I don't have
24 any firm recollection, but I believe she went
25 to school and became a masseuse and I had
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2 massages from her.
3 Q. Did you ever have any sexual
4 interaction with her?
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1 0
MR. PAGLIUCA: Object to the form
and foundation and I'm going to instruct
you if we're talking about any
consensual adult contact, you are not
allowed to answer the question .
Q . Did you have any sexual contact
11 with her in the presence of Jeffrey Epstein?
12
13 Q.
MR. PAGLIUCA: Same instruction.
Did you have any sexual contact
14 with her in the presence of anybody other
15 than Jeffrey Epstein?
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18 from
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Q.
A.
20 amount.
Q.
MR. PAGLIUCA: Same instruction.
How many massages did you receive
I really don 't recall but a fair
Did the massages involve sex?
MR. PAGLIUCA: I'm going to
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instruct you not to answer.
Q. Have you ever engaged in sex with
25 any female?
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MR. PAGLIUCA: I ' m goi ng to
instruct you not to answer.
MS. McCAWLEY: I want the record to
reflect that Ms. Maxwell ' s attorney is
d irecting her not to answer this series
of questions .
MR. PAGLIUCA: It definitely does.
Q. Were you responsible for
introducing to Jeffrey Epstein?
MR. PAGLIUCA: Objection to the
form and foundation.
A. I already testified that I don't
14 really recall
15 Q. Were you responsible for
16 introduc i ng - to Jeffrey Epstein?
17 MR. PAGLIUCA: Objection to the
18 form and foundation.
19 A. Again, I don't like the
2 0 characterization of introduc tion .
21 came to answer telephones.
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Q. When did you - - were you the person
who brought or introduced or met or
24 purposes of bringing her to Jeffrey Epstein ' s
25 home?
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