Case File
efta-01723963DOJ Data Set 10OtherEFTA01723963
Date
Unknown
Source
DOJ Data Set 10
Reference
efta-01723963
Pages
100
Persons
0
Integrity
Extracted Text (OCR)
EFTA DisclosureText extracted via OCR from the original document. May contain errors from the scanning process.
12
1
50 years old?
2
MR.IIIII I'm going to object once
3
again. We are getting way too argumentative
4
with the questioning. The questioning is
5
compound. It is speculative and it is also
6
harassing. Whether or not this deposition
7
video, thereof is played in front of a jury
8
is a question of fact, and it will be
9
determined by a judge pursuant to a motion
10
in limine, various portions thereof may or
11
may not be played, so having placed those
12
objections on the record I'm going to
13
instruct Mr. Epstein not to answer that
14
question.
15
MR.
Mr.
■
I don't know if
16
you watched the 13 hours of harassing
17
questions to
that she sometimes
18
invoked her Fifth Amendment rights, I
19
understand the adverse advice that would be
20
given and she was made to answer these
21
questions and these exact same questions
22
were asked of her, in fact, I'm using the
23
phraseology from Mr.
I'm not •
24
trying to harass him.
25
Q
I'm simply asking him to explain to the
EFTA01723963
13
1
jury. If you're saying it didn't happen, if
2
you're saying it did happen, explain to the jury
3
why you did it. That's all I want to hear. I'm
4
being respectful about this.
S
MR.
: In an effort to keep a clean
6
record be respectful to the to the court
7
reporter rather than having a diatribe back
8
and forth between you and myself, I'll move
9
to strike your last statement as
10
irrelevant. Let's move on.
11
Q
Is it true, Mr. Epstein, you were born
12
January 20, 1953?
13
A
Yes.
14
Q
Where?
15
A
New York.
16
Q
Where in New York?
17
A
Brooklyn.
18
Q
Did you go to high school there?
19
A
Yes, sir.
20
Q
Where?
21
A
Lafayette High School.
22
Q
After high school did you attend
23
college?
24
A
Yes.
25
Q
Where was that?
EFTA01723964
14
1
A
New York.
2
Q
What college did you attend?
3
A
Cooper Union.
4
Q
Sorry, I didn't hear.
5
A
Cooper Union.
6
Q
Did you get a degree from Cooper Union?
7
A
No, sir.
8
Q
How many years were you in college?
9
A
I believe, two.
10
Q
What did you study?
11
A
Physics.
12
Q
Why did you leave college early?
13
A
I intend to respond to all relevant
14
questions regarding this lawsuit, however, at the
15
present time my attorneys have counseled me that
16
I cannot provide answers to questions that may be
17
relevant to this lawsuit, so accordingly I assert
18
my constitutional rights as guaranteed by the
19
Fifth, Sixth and Fourteenth Amendment.
20
Q
Are you invoking your Fifth Amendment
21
rights as to why you left college, is it safe
22
then to presume that that answer you believe
23
would incriminate you in some way?
24
MR.
I'm going to move to strike,
25
speculative, argumentative, harassing.
EFTA01723965
15
1
Calls for a legal conclusion, and I know
2
exactly what you're trying to do here, Mr.
3
, is lace the record with questions
4
that would ultimately give you an adverse
5
inference at any potential trial of this
6
matter, so having put that on the record,
7
I'm going to instruct him not to answer that
8
question, based upon his Fifth, Sixth and
9
Fourteenth Amendment rights to the United
10
States Constitution.
11
MR.
With all due respect you
12
cannot invoke his Fifth Amendment rights,
13
your attorneys instructed me in that fact --
14
MR.
He can.
15
MR.
That
Had to do it
16
herself, so, I would like to hear it from
17
Mr. Epstein.
18
Q
Can we assume you're invoking your Fifth
19
Amendment rights as to why you left college
20
early, that that answer you feel would
21
incriminate you?
22
MR. -:
Once again, move to strike
23
for the same reasons.
24
You can answer.
25
A
I've already answered the question.
EFTA01723966
16
I'll restate the answer. I would like to
2
respond, intend to respond, and would like to
3
respond to all questions today. However, counsel
4
has advised me I must take the Fifth, Sixth and
5
Fourteenth Amendment right under the U.S.
6
Constitution.
7
Q
After college where were you employed?
8
A
You know, I would like to respond to all
9
your questions today, however, on advice of
10
counsel, I intend to take the Fifth, Sixth and
11
Fourteenth Amendment rights provided by the
12
United States Constitution or risk losing my
13
counsel's representation.
14
Q
Isn't it true that you were a teacher at
15
the Dalton School in New York after college?
16
A
Again, I would like to respond to all
17
your questions; however, my attorneys have
18
counseled me that I cannot provide answers to any
19
questions today regarding to this lawsuit so I
20
must accept their advice or risk losing my Sixth
21
Amendment right to effective representation.
22
Accordingly, I assert my Constitutional rights as
23
guaranteed by the Fifth, Sixth and Fourteenth
24
Amendment of the constitution.
25
Q
Mr. Epstein, did you have sex with any
EFTA01723967
17
1
underage students while teaching at the Dalton
2
School?
3
A
Could you repeat that?
4
Q
Yes. Did you have sex with any underage
5
students while teaching at the Dalton School in
6
New York?
7
A
Mr.
your firm has been
8
described by the U.S. Attorney as one of the
9
largest -- as a criminal enterprise, perpetrating
10
one of the largest frauds in Florida's history.
11
It has been reported that your firm fabricated
12
multiple cases against me and others in order to
13
fleece unsuspecting investors out of millions and
14
millions of dollars.
15
Unfortunately at this time in response
16
to your question, my attorneys have advised me I
17
must assert my Fifth Amendment, Sixth Amendment
18
and Fourteenth Amendment rights, though I believe
19
you know I would like -- really like to answer
20
your questions but at this time I must assert
21
those rights or have my attorneys resign.
22
MR.
Mr. I'll' I think you know
23
he has a couple of options here. He can
24
answer questions or he can invoke his Fifth
25
Amendment rights. This nonresponsive
EFTA01723968
18
1
verbiage regarding the RRA law firm is not
2
one of the options, it's inappropriate in
3
the deposition and I would ask you to
4
instruct your client not to obstruct this
5
process any further. I am not going to
6
terminate the deposition. I want it to
7
finish, but obviously this is going to be
8
the subject matter of some motion in the
9
courts and you know the judges will not
10
appreciate this. I would like to just move
11
this process along by eliminating that
12
portion of his answer. I understand what he
13
is saying. I get it, but that's not
14
something responsive to any of the questions
15
and I think you know it is inappropriate.
16
MR.
I
M
I think the deponent is
17
answering the questions. If you believe the
18
responses are inappropriate and feel'you can
19
take it up with the Court with the motion
20
you are speaking of, as you've done then you
21
can, as you've done several times before.
22
Q
After leaving the Dalton School, is it
23
true that you began working as a money manager at
24
Bear Stearns?
25
A
I intend to respond to all your
EFTA01723969
19
1
questions regarding this lawsuit at some relevant
2
time, however, at the present time my attorneys
3
have counseled me that I cannot provide answers
4
to any questions relevant to this lawsuit. Since
5
the U.S. Attorney has described your law firm as
6
a criminal enterprise, Mr.
and. a part of
7
the largest fraud in Florida's history, I am
8
going to assert my Sixth Amendment, Fifth
9
Amendment and Fourteenth Amendment rights to the
10
U.S. Constitution.
11
Q
Isn't it true that while you were
12
working at Bear Stearns you were already engaging
13
in sex with underage minors?
14
A
Again, I believe you know the answers to
15
those questions, but --
16
Q
Yes.
17
A .May I finish?
18
Q
I do.
19
MR.
: Move to strike. Let the
20
witness --
21
Q
Sure --
22
MR. IIIII Let the witness answer your
23
question.
24
MR.
I would love for him to
25
finish the questions.
EFTA01723970
20
1
MR.
Mr.
as you know
2
there are serious Fifth, Sixth and.
3
Fourteenth Amendment constitutional rights
4
at issue here, and the witness is attempting
5
to answer your questions to the best of his
6
ability, despite how laced they are with
7
adverse inference presumptions.
8
MR.
I don't want the adverse
9
inferences. I want the answers, that's it.
10
I don't want the adverse inferences.
11
MR.
Having said that, please
12
allow the witness to answer to answer the
13
question.
14
A
Can you please repeat the question?
15
Q
Isn't it true while working at Bear
16
Stearns you were already engaging in sex with
17
underage minor females?
18
A
As your firm has been described by the
19
U.S. Attorney, as a criminal enterprise, using
20
some of the cases fabricated against me,
21
personally, I would like to answer that question
22
today; however, upon advice of counsel I must
23
assert my Fifth, Sixth and Fourteenth Amendment
24
rights under the U.S. Constitution or, in fact,
25
risk losing their representation.
EFTA01723971
21
1
Q
At some point in time while at Bear
2
Stearns you met and managed the money for a
3
fellow named
, correct?
4
A
Again, I would like to answer all
5
questions relevant to this lawsuit, but today I
6
must assert my Fifth Amendment, Sixth Amendment
7
and Fourteenth Amendment right to the U.S.
8
Constitution.
9
Q
In fact, I read in another deposition of
10
yours that you do not consider yourself to be
11
homosexual, correct?
12
A
(No response.)
13
Q
You've answered that question before,
14
correct?
15
A
Correct.
16
0
Do you consider yourself to be
17
bisexual?
18
A
No.
19
Q
In any event, you did develop a sexual
20
relationship with
at some point in
21
time; is that true?
22
A
No.
23
0
Did you have a business relationship
24
with Mr.=
25
A
I intend to respond to all relevant
EFTA01723972
22
1
questions. I would like to answer most of your
2
questions, Mr.
today, however,
3
especially since your firm has been described by
4
the United States Attorney in South Florida as a
5
criminal enterprise purported to -- purported to
6
have put -- pulled off the largest fraud in
7
Florida's history, I would like to answer it,
8
however, my attorneys here today counseled me I
9
must assert my Fifth, Sixth and Fourteenth
10
Amendthent right under the U.S. Constitution,
11
therefore I'm going to do that.
12
Q
Are you saying because
13
was determined to be a criminal
14
enterprise or somebody was running a criminal
15
enterprise out of that law firm, that is the
16
reason why you are not going to answer these
17
questions today? You linked that together in
18
that answer. I just want to make sure I'm
19
understanding that right?
20
A
I'm going to take the Fifth -- I intend
21
to respond to all relevant questions today. I
22
would like to respond; unfortunately my attorneys
23
have counseled me I can't, I must assert my
24
Fifth, Sixth and Fourteenth Amendment rights
25
under the U.S. Constitution.
EFTA01723973
23
1
Q
Because other law firms have asked very
2
similar questions and you haven't responded to
3
any of theirs either. I just want to understand
4
what the relationship between
5
is to you invoking your Fifth
6
Amendment rights today, if you can articulate
7
that for me.
B
MR.
Form, compound,
9
argumentative.
10
A
has been
11
described by the U.S. Attorney as a criminal
12
enterprise and as part of the largest fraud in
13
Florida's history. It has been reported that
14
your firm fabricated multiple cases using me, and
15
against me in order to fleece unsuspecting
16
investors out of millions of dollars.
17
Q
Another long time friend of yours is
18
Ghislaine Maxwell, right?
19
A
I intend to respond to all relevant
20
questions. I would like to answer most of these
21
questions today, but I can't because my attorneys
22
have counseled me that I cannot provide answers
23
to any questions relevant to this lawsuit. I
24
must accept their advice or risk losing my Sixth
25
Amendment right to effective representation.
EFTA01723974
24
1
Therefore I'll assert my Constitutional
2
rights under the Fifth, Sixth and Fourteenth
3
Amendment.
4
THE WITNESS: Excuse me, could we take a
5
break?
6
MR.
Already?
7
THE WITNESS: Restroom.
8
THE VIDEOGRAPHER: Going off the video
9
record 11:38 a.m.
10
THE WITNESS: Thank you.
11
(Pause in the proceedings.)
12
THE VIDEOGRAPHER: We're back on the
13
video record at 11:48 a.m.
14
Q
How did you meet Ghislaine Maxwell?
15
A
I intend to respond to all relevant
16
questions to this lawsuit; however, at the
17
present time my attorneys have counseled me that
18
I cannot provide answers to any questions
19
relevant to this lawsuit, and must accept this
20
advice or risk losing effective -- my right to
21
effective representation. Accordingly,
22
therefore, I assert my Fifth, Sixth and
23
Fourteenth Amendment rights to the U.S.
24
Constitution.
25
Q
You would agree, would you not, that
EFTA01723975
25
1 •
Ghislaine Maxwell shares your sexual obsession
2
for underage minor females?
3
MR. ■:
Argumentative, speculation,
4
harassing.
S
A
You know, Mr.
the current U.S.
6
Attorney has described your law firm as a
7
criminal enterprise, and as taking part in one of
8
the largest frauds in Florida's history. It has
9
been widely reported that your firm fabricated
10
multiple cases of a sexual nature against
11
people -- other people and me, in order to fleece
12
unsuspecting investors out of millions of
13
dollars, so unfortunately at this time in
14
response to your questions, my attorneys have
15
advised me I must assert my Sixth Amendment,
16
Fifth Amendment and Fourteenth Amendment rights,
17
though I believe, as you know, I would really
18
like to answer these questions, but at this
19
moment, although at this time I have to assert
20
those rights or risk losing effective counsel.
21
Q
Do you know
22
A
I intend to respond to all relevant
23
questions regarding this lawsuit; however, at the
24
present time my counsel has advised me that i
25
cannot provide answers to any questions relevant
EFTA01723976
26
1
to this lawsuit. Your firm has been described as
2
a criminal enterprise, and is part of the largest
3
fraud in Florida's history fabricating sexual
4
cases against me and others. Therefore,
5
unfortunately, although I would like to answer
6
all of your questions today, I'm going to have:to
7
assert my Fifth, Sixth and Fourteenth Amendment
8
right.
9
Q
Did you and Ghislaine Maxwell sexually
10
assault
at
's house?
11
A
I intend to respond to all relevant
12
questions regarding this lawsuit; however, at the
13
present time my attorneys have counseled me I
14
cannot provide answers to any questions relevant
15
to this lawsuit and must accept this right or
16
risk losing my Sixth Amendment rights to
17
effective presentation. Accordingly, I assert my
18
Constitutional rights as guaranteed by the Fifth,
19
Sixth and Fourteenth amendments to the U.S.
20
Constitution.
21
Q
Stating Ghislaine Maxwell and you had
22
devised several schemes to lure underage girls to
23
you for sex; isn't that correct?
24
MR.
Form, argumentative,
25
harassing?
7r
EFTA01723977
27
1
A
Mr.
your firm has fabricated
2
multiple cases of sexual harassment claims and
3
other types of sexual cases against me and others
4
in order to be part of what the U.S. Attorney has
5
described as the largest fraud, the largest fraud
6
in Florida's history. I would like to answer all
7
your questions; however, my attorneys have
8
counseled me that at least today, I must assert
9
my Fifth, Sixth and Fourteenth Amendment rights
10
under the U.S. Constitution.
11
Q
Do you own a home in Manhattan?
12
A
I intend to respond to all relevant
13
questions to this lawsuit; however, at the
14
present time my attorneys have counseled me that
15
I cannot provide answers to any questions
16
relevant to this lawsuit, and I must accept their
17
advice or risk losing my Sixth Amendment right to
18
effective representation.
19
Accordingly, therefore, I have to assert
20
my Fifth, Sixth and Fourteenth Amendment right
21
under the U.S. Constitution.
22
Q
Do you own an island in the U.S. Virgin
23
Islands?
24
A
I intend to respond to all relevant
25
questions regarding this lawsuit; however, at the
EFTA01723978
28
1
present time my attorneys have counseled me that
2
I cannot provide answers to any'questions
3
relevant to this lawsuit, no•matter how much I
4
would like to.
5
Therefore, I must accept their advice or
6
risk losing my Sixth Amendment right to effective
7
representation; therefore, I have to assert my
8
Fifth, Sixth and Fourteenth Amendment right under
9
the U.S. Constitution.
10
Q
Do you own a home i•n New Mexico?
11
A
I intend to respond to all relevant
12
questions regarding this lawsuit and as I've had
13
to do with most of your questions here today, I'm
14
going to have to take my attorneys' advice and
15
assert my Fifth, Sixth and Fourteenth Amendment
16
right under the U.S. Constitution or risk losing
17
effective representation.
18
Q
Is it true that you have had underage
19
females, at each of those homes, for orgies with
20
you and Ghislaine Maxwell?
21
MR.
: Form, argumentative,
22
speculation and harassing.
23
A
I would like to answer that question.
24
really would. However, as your firm has been
25
described by the U.S. Attorney as a criminal
EFTA01723979
29
1
enterprise, which its principal purpose was
2
racketeering conspiracy to generate money for the
3
firm and its co-conspiritors through the
4
operation of enterprise and through various
5
activities including mail fraud, wire fraud and
6
money laundering, and fabricating multiple sex
7
cases against me and others, though I would like
8
to answer your question today, Mr.
my
9
counsel has advised me I must take the Fifth,
10
Sixth and Fourteenth Amendment right provided by
11
the U.S. Constitution.
12
Q
Do you know somebody named
13
(phonetic)?
14
MR. PIKE: Can you spell that, for the
15
record?
16
MR.
No.
17
MR. PIKE: Or for the court reporter?
18
A
No.
19
Q
You don't know the name?
20
A
No. Could you spell it?
21
Q
(Witness shrugs.)
22
A
Okay.
23
Q
Did your sexual obsession with underage
24
minor females grow at some point in time to allow
25
you access to these underage minors every single
EFTA01723980
30
1
day for sex?
2
MR.
: Overbroad. Speculation,
3
argumentative, compound, harassing and
4
confusing as well; as worded. Do you want
5
to break it down, Mr.
6
Q
Isn't it true that for the past ten
7
years you have found a way to engage in sexual
8
conduct with underage minors on an every day
9
basis?
10
MR.
Speculation. Argumentative.
11
A
As your firm has been described as a
12
criminal enterprise by the United States Attorney
13
and is part of the scheme to defraud people in
14
South Florida of millions of dollars, you have
15
fabricated sexual cases and sexual claims against
16
people like me and others. Unfortunately at this
17
time although I would like to answer your
18
questions, Mr.
my counsel has advised me
19
I cannot. They have advised me I must assert my
20
Fifth, Sixth and Fourteenth Amendment rights
21
under the U.S. Constitution.
22
Q
Isn't it true that you have promised
23
underage minors money or other benefits to engage
24
in sexual conduct with you over the past ten
25
years?
EFTA01723981
31
1
A
Again, as. I've answered many of your
2
questions today, and unfortunately will probably
3
end up not answering most of your questions
4
today, as your firm has been described, the firm
5
bringing this lawsuit, I believe, if I'm wrong
6
please, correct me --
7
Q
You're wrong.
8
A
This is the firm that didn't notice this
9
deposition?
10
Q
Did not?
11
A
Did not?
12
Q
No.
13
A
I apologize. Though your former firm
14
has been described, and the person you represent,
15
, in this case was represented by the firm
16
that was described by the U.S. Attorney as
17
perpetrating one of the largest frauds in South
18
Florida's history, fabricating multiple sexual
19
cases against me and others in order to fleece
20
unsuspecting investors out of millions and
21
millions of dollars, so though unfortunately, I
22
would like to answer each one of your questions
23
today, my counsel has advised me I must assert my
24
Sixth Amendment, Fourteenth Amendment and Fifth
25
Amendment right, though I believe you know, I
EFTA01723982
7 - •
32
1
would like to answer those questions, though at
2
this moment I must assert those rights or risk
3
losing my attorneys.
4
5
6
Q
Sure, let's test that answer.
A
Okay.
Q
Let's talk about Jane Doe 102, Jane Doe
7
102,
, who was represented by
8
s firm, had nothing to do with
9
Rothstein, Rosenfeld, Adler. Do you know
10
A
Who?
11
12
A
Can you spell it?
13
Q
Common spelling,
like the
14
State --
15
A
Can you spell it for me, please?
16
17
A
What's the last name, how is it
18
spelled?
19
Q
I believe.
20
•
A
I intend to respond to all relevant
21
questions regarding this lawsuit; however, at the
22
present time my attorneys have counseled me that
23
I cannot provide answers to any questions that
24
may be relevant to this lawsuit and I must accept
25
this advice or risk losing my Sixth Amendment
EFTA01723983
33
1
right to effective representation. Accordingly,
2
I assert my Constitutional rights as guaranteed
3
by the Fifth, Sixth and Fourteenth Amendment to
4
the Constitution.
5
Q
Just for the record, I can only spell it
6
the way it was spelled in your flight logs from
7
your airplane. I don't know exactly how she
8
spells her name, only how your pilot would spell
9
her name.
10
MR.
Form, speculating.
11
Q
If I misspell it --
12
MR. a
Form, speculation,
13
argumentative, harassing.
14
MR.
That's harassing?
15
MR.
It assumes facts currently
16
not in evidence in this particular
17
deposition; therefore, I move to strike.
18
MR.
I was responding to his
19
question asking me how to spell her name. I
20
don't know how other than his own pilot.
21
MR.
Mr.
he asked you to
22
spell the name, you then spelled the name,
23
then went on with another narrative and
24
there wasn't a question posed, on the floor.
25
Q
You would agree you interacted with
EFTA01723984
34
1
every day in a sexual way, when she was 15 years
2
old, right?
3
A
Again, I'm sorry?
4
Q
Sure. You would agree that you
5
interacted with
sexually on an every day
6
basis when she was 15 years old?
7
A
You know, again, Mr.
I would
8
like to answer all your questions here today. My
9
attorneys have asked me -- advised me that I must
10
assert my Sixth Amendment, Fourteenth Amendment
11
and Fifth Amendment rights provided by the U.S.
12
Constitution and the fact that the current U.S.
13
Attorney has described your law firm as a
14
criminal enterprise, is one of the largest frauds
15
in Florida's history for fabricating sexual --
16
cases of a sexual nature against me and others.
17
Unfortunately, although I would like to answer
18
those questions, if I do I risk losing my
19
attorneys' counsel. Therefore, I must assert my
20
right.
21
MR.
Madam court reporter, I'll
22
attach as an exhibit, the Jane Doe number
23
102 versus Jeffrey Epstein complaint, at
' 24
some point in time. It will be Exhibit 1,
25
as I'm going to go through some of the facts
EFTA01723985
35
1
as alleged in the complaint and as will be
2
testified to by the plaintiff.
3
(Jane Doe number 102 versus Jeffrey
4
Epstein complaint was deemed marked as
5
Exhibit number 1 for identification, as of
6
this date.)
7
MR.
: Counsel, do you have an extra
8
copy of that for me?
9
MR.
No.
10
MR. IIIII May I look at it real quick?
11
MR.
No. It has my notes on
12
it.
13
MR.
I understood, I saw the
14
highlights.
15
MR.
The notes are highlighted
16
so when we copy it, it will not show up.
17
MR. ■:
Just for the record, that's a
18
current, operative pleading, correct?
19
MR.
Correct.
20
THE WITNESS: What does that mean?
21
MR.M
There may have been some
22
amendments to a complaint and I want to make
23
sure that's the operative complaint at issue
24
that he is speaking of today.
25
THE WITNESS: Can I go off the record
EFTA01723986
36
1
for a second?
2
May I ask you a question?
3
MR.
Sure. Can we take a break
4
for a second?
5
MR.
Again?
6
THE WITNESS: Just a question.
7
MR.
He wants to speak with me for
8
a second.
9
THE VIDEOGRAPHER: Off the video record
10
12:01 p.m.
11
(Pause in the proceedings.)
12
THE VIDEOGRAPHER: We are back on the
13
video record at 12:02 p.m.
14
Q
Is it true, Mr. Epstein, that you and
15
Ghislaine Maxwell forced
to have sex with
16
you on a daily basis?
17
MR. Ill" Form, argumentative,
18
harassing.
19
A
Unfortunately at this time, though I
20
would really like to answer those questions, and
21
like I have done for most of your questions here
22
today, Mr.
your firm was described as a
23
criminal enterprise, a serious criminal
24
enterprise by the current U.S. Attorney. Part of
25
that criminal enterprise was fabricating cases of
EFTA01723987
37
1
a sexual nature against me and others in order to
2
fleece unsuspecting investors out of millions of
3
dollars. Though, unfortunately at this time no
4
matter how I would like to respond to your
5
questions, I must assert my Sixth Amendment,
6
Fifth Amendment and Fourteenth Amendment rights
7
under the U.S. Constitution or risk having my
8
attorneys resign.
9
Q
Isn't it true that
was yours and
10
Ghislaine Maxwell's sex slave from the time she
11
was 15 through the time she escaped when she was
12
-.19?
13
MR.
Again objection,
14
argumentative, harassing.
15
A
Mr.
your firm has been
16
described as
excuse me, as a criminal
17
enterprise by the current U.S. Attorney and part
18
of the largest fraud in Florida's history. Part
19
of that fraud was fabricating multiple cases
20
against people like me and others, of a sexual
21
nature, in order to fleece unsuspecting investors
22
out of millions and millions of dollars, so
23
though I would like to answer that question, my
24
attorneys have told me today I mist assert my
25
Sixth Amendment, Fourteenth Amendment and Fifth
EFTA01723988
•
38
Amendment right.
2
Q
Isn't it true that you and Ghislaine
3
Maxwell celebrated her 16th birthday with her and
4
had sex with her on that day?
5
MR.M
Form. Compound, confusing,
6
argumentative, harassing.
7
A
Mr.
I would like to answer that
8
question. My attorneys have told me today, I
9
have to at least today assert my Fifth Amendment,
10
Sixth Amendment and Fourteenth Amendment rights
•
11
to the U.S. Constitution, especially my concern
12
is, that your firm has filed fraudulent lawsuits,
13
fabricated lawsuits, and the U.S. Attorney, the
14
current U.S. Attorney has described your firm as
15
a criminal enterprise that -- whose main purpose
16
was to generate money for the firm and its
17
co-conspirators through the operation of various
18
criminal activities, including mail fraud, wire
19
fraud and money laundering.
20
Q
Are you saying that the complaint of
21
L.M. against you, the allegation in that
22
complaint, are false?
23
MR.
Form. Misinterprets the
24
witness's testimony.
25
Q
Or saying it is true?
EFTA01723989
39
1
MR.
Same objection.
2
Q
It is either true or false?
3
A . I'll repeat myself, unfortunately, but
4
the current V.S. Attorney has described your law
5
firm that filed that filed L.M.'s claim -- was
6
involved in the filing of L.M.'s claim,
7
motions -- I'm sorry, do you want to tell me what
8
it was then? Would you like to tell me the
9
firm's involvement in this lawsuit, since we will
10
be here the rest of the, day?
11
Q
Answer the question.
12
A
All right.
13
The U.S. Attorney has described that
14
firm as a criminal enterprise perpetrating one of
15
the largest frauds in Florida's history against
16
unsuspecting investors, fleecing them out of
17
millions of dollars by creating, crafting and
18
fabricating fellacious (sic) sexual claims
19
against people like me and others, so
20
unfortunately, though I would like to answer your
21
questions, Mr.
my counsel has advised me
22
that at least today I must assert my Sixth
23
Amendment, Fifth Amendment and Fourteenth
24
Amendment rights under the U.S. Constitution.
25
Q
Isn't it true, sir, and I'm reading from
EFTA01723990
40
1
the complaint filed billillagainst you, isn't it
2
true, sir, that a friend of yours sent you three,
3
12-year old females for you to sexually abuse on
4
one of your birthdays?
5
MR.
Form, argumentative,
6
harassing, and irrelevant to this lawsuit.
7
THE WITNESS: Excuse me.
8
A
You're saying it is part of the
9
lawsuit?
10
Q
Yes, I'll read it.
11
"On one of the defendant Epstein's
12
birthdays, a friend of defendant Epstein sent him
13
three, 12-year old girls from France who spoke no
14
English for defendant to sexually exploit and
15
abuse? After doing so they were sent back to
16
France the next day."
17
Isn't that true?
18
MR. III. Once again, move to strike,
19
irrelevant, argumentative, harassing, and
20
for the record, the exhibit that's being
21
read from is a complaint that's unrelated to
22
the instant matter and not filed or
23
incorporated by the current plaintiff, L.M.,
24
in this matter.
25
A
I would like to answer that question, I
•
EFTA01723991
41
1
really would; however, today my attorneys have
2
told me I have to assert my Fifth Amendment,
3
Sixth Amendment and Fourteenth Amendment rights
4
of the U.S. Constitution, especially because your
5
firm involved in this lawsuit has fabricated,
6
widely reported, multiple cases of sexual
7
harassment cases against individuals like me and
8
others, perpetrating what the U.S. Attorney
9
called one of the largest frauds in Florida's
10
history, fleecing people out of millions of
11
dollars, so though I would like to answer that
12
question, today I have to assert those rights or
13
risk losing my attorneys' counsel.
14
Q
Isn't it true that you forced
as a
15
15-year old girl to have sex with numerous
16
friends of yours?
17
A
Are you kidding?
18
Q
Reading from a lawsuit.
19
A
Sorry, Mr.
Though I would like
20
to answer that question as well, as I've answered
21
most of your other questions here today, I would
22
like to respond; however, my attorneys here today
23
have advised me I have to assert my Fifth
24
Amendment, Sixth Amendment and Fourteenth
25
Amendment rights under the U.S. Constitution,
EFTA01723992
42
1
especially as your firm has been accused by the
2
U.S. Attorney as being a criminal enterprise, and
3
part of the largest fraud in Florida's history.
4
Basically -- sorry, if I didn't read correctly,
5
the operation of the enterprise through
6
various criminal activities including mail fraud,
7
wire fraud and money laundering, fabricating
8
sexual harassment cases against people like me
9
and others.
10
Q
By the way --
11
A
Yes, sir?
12
Q
-- didn't
receive a round trip
13
ticket paid for by you to Thailand, and she
14
ultimately did not get back on the plane but
15
instead escaped to Australia?
16
A
I would like to answer that question,
17
but today I would have to assert my Sixth
18
Amendment rights, my Fifth Amendment rights and
19
my Fourteenth Amendment rights under the U.S.
20
Constitution, especially since your firm has been
21
described as perpetrating one of the largest
22
frauds in Florida's history, fleecing investors
23
out of millions of dollars, being described by
24
the U.S. Attorney of South Florida, as a criminal
25
enterprise engaged in various criminal activities
EFTA01723993
43
1
including mail fraud, wire fraud and money
2
laundering.
3
Q
Do you know a man named. Jean Luc
4
Brunel?
5
A
Can you spell it?
6
Q
He was at your house last week, does
7
that remind you?
8
MR.
Form, move to strike,
9
speculation, argumentative, harassing.
10
Is there a question on the table, Mr.
11
12
MR.
Yes.
13
Q
Do you know him?
14
A
Can you spell his name for me, please?
15
Q
I don't need to spell his name
Do you
16
know who I'm talking about, Mr. Brunel?
17
A
Sorry, Mr. what?
18
Q
B-r-u-n-e-l.
19
A
I would like to answer that question as
20
well, but my attorneys have counseled me today I
21
have to assert my Sixth Amendment rights, Fifth
22
Amendment rights and Fourteenth Amendment rights
23
under the U.S. Constitution or risk losing my
24
right to effective representation.
25
Q
What's the purpose for you asking me to
EFTA01723994
44
1
spell his name? Are you acting like you don't
2
know him?
3
MR.
: Form, move to strike,
4
argumentative and irrelevant as worded.
5
Mr.
you know that there are
6
various standing orders, if not in this
7
case, in various other cases, that
8
specifically describe the protections of the
9
Fifth Amendment. Federal Courts have
10
ordered that certain questions that you are
11
asking shall not be answered or Mr. Epstein
12
would risk losing his Fifth Amendment
13
right --
14
MR.
I understand that. He is
15
asking to spell people's names.
16
MR.
-- under the United States
17
Constitution. A lot of these questions here
18
today that you're asking have already been
19
ruled on by various Courts, that the Fifth
20
Amendment protects any response thereto, so
21
I would like -- I'm giving you some leeway
22
here with regard to the argumentative
23
questions. We've already -- and I'm not
24
obviously testifying for the witness, but
25
we've already handled a lot of these issues
EFTA01723995
45
1
in court and we have already adjourned one
2
deposition for being argumentative, and I
3
think you understand what the Court said
4
there, so having said that, and I understand
5
that you have a job to do, but having said
6
that, I would like to caution you
7
professionally, if you continue with the
8
argumentative questions, I am going to have
9
to terminate this deposition --
10
MR.
I completely understand.
11
MR.
Okay. We are here today
12
to --
13
MR.
Mr. Brunel --
14
MR.
I want the Court to know we
15
are here today to allow you to ask your
16
questions, but the harassing and
17
argumentative tone is not going to be
18
tolerated.
19
MR.
We have a video. We can
20
show the Court the tone. It is obviously
21
not harassing.
22
MR.
That's fine.
23
Q
Mr.
is a long-term friend of
24
yours, right?
25
A
I intend to respond to all relevant
I
4.
EFTA01723996
46
1
questions of this lawsuit; however, today my
2
attorneys have counseled me I cannot provide ,
3
answers to any questions that may be relevant to
4
this lawsuit and I must accept their advice or
5
risk losing my Sixth Amendment right to effective
6
representation.
7
Q
You know him as somebody who has been
8
caught engaging in sex with underage minors in
9
the past; is that correct?
10
MR.
Form.
11
A
You will have to repeat the question,
12
I'm sorry.
13
Q
You know Mr.
as somebody who has
14
been caught engaging in sex with minors in the
15
past; is that correct?
16
MR.
Form.
17
A
I intend to respond to all relevant
18
questions regarding this lawsuit; however, at the
19
present time my attorneys have counseled me that
20
I cannot provide answers to any questions
21
relevant to this lawsuit, and I must accept their
22
advice or risk losing my Sixth Amendment right to
23
effective representation as your firm has been
24
described by the U.S. Attorney as a criminal
25
enterprise and part of one of the largest frauds
EFTA01723997
47
1
in Florida's history specifically said you have
2
been fabricating -- the law firm has been
3
fabricating multiple cases of a sexual nature in
4
order to fleece unsuspecting investors out of
5
millions of dollars, including mail fraud, wire
6
fraud and money laundering, so unfortunately,
7
though I would like to answer all your questions
8
here today, I must assert my Sixth Amendment,
9
Fourteenth Amendment and Fifth Amendment right.
10
Q
You were involved in a modeling business
11
with him called
is that correct?
12
A
Again?
13
Q
You were involved in a modeling agency
14
with --
15
A
What do you mean --
16
Q
-- with Mr.
called
17
A
"Involved" means what, what do you
18
mean?
19
Q
You tell the jury your involvement with
20
the modeling agency. You can clarify for me,
21
I'll let you do that.
22
MR.
: Object to the form.
23
A
I intend to respond to all relevant
24
questions regarding this lawsuit. However, at
25
the present time my attorneys have counseled me
EFTA01723998
48
1
that I cannot provide answers to any questions
2
relevant to this lawsuit and I must accept their
3
advice or risk losing my Fifth, Sixth and
4
Fourteenth Amendment rights under the U.S.
5
Constitution.
6
Q
When you were being criminally
7
investigated and
was in Australia, is it
8
true that you made a personal telephone call to
9
her telling her not to come forward with any of
10
the information she knew?
11
MR. I=
Form.
12
A
Again?
13
Q
Putting a time frame on it, the time
14
frame where you were being criminally
15
investigated --
16
A
What time frame is that?
17
Q
In her complaint it is not specific,
18
but, let's just make it whenever. At some point
19
in time did you place a telephone call to
in
20
Australia warning her not to come forward with
21
any information about you engaging in sex with
22
her while she was a minor?
23
MR.
Form.
24
A
I intend to respond to all relevant
25
questions regarding this lawsuit; however, at the
EFTA01723999
49
1
present time my attorneys have counseled me that
2
I cannot provide answers to any questions
3
relevant to this lawsuit and I must accept their
4
advice or risk losing my Sixth Amendment right to
5
effective representation.
6
Q
With respect to underage females, isn't
7
it true that you have made the statement, in
8
quotes, "the younger the better"?
9
MR.
Form.
10
A
Again, as your firm has been described
11
by the current U.S. Attorney as a criminal
12
enterprise involved in mail fraud, wire fraud,
13
money laundering, and specifically crafting,
14
fabricating multiple cases of sexual -- of a
15
sexual nature against people like me, and others,
16
in order to fleece many, many unsuspecting
17
investors out of millions of dollars; I would
18
like to answer your questions here today, Mr.
19
but unfortunately, my attorneys have
20
counseled me that I must assert my Fifth, Sixth
21
and Fourteenth Amendment right or they will
22
resign.
23
Q
Who are your current employees?
24
MR. IIIII Form.
25
A
Say that again.
EFTA01724000
50
1
Q ' Who are your current employees, people
2
who work for you, that•you pay?
3
A
I intend to r'espond to all relevant
4
questions regarding this lawsuit; however, at the
present time my attorneys have counseled me that
6
I cannot provide answers to any questions that
7
may be relevant to this lawsuit, or risk losing
8
my Sixth Amendment right to effective
9
representation. Accordingly, therefore, I must
10
assert my Sixth Amendment, Sixth Amendment and
11
Fourteenth Amendment rights as provided by the
12
U.S. Constitution.
13
Q
Isn't it true you pay your employees to
14
bring you underage minor females for sex?
15
MR.
Form, argumentative,
16
speculation, harassing.
17
A
Mr.
your firm has been
18
described the current U.S. Attorney as a criminal
19
enterprise, a criminal enterprise, part of the
20
largest fraud in South- Florida's history; but
21
part of that fraud was fabricating, um,
22
fictitious cases against me
excuse me, against
23
people like me, of a sexual nature, in order to
24
fleece unsuspecting investors out of millions of
25
dollars.
EFTA01724001
51
1
Unfortunately at this time, though, I
2
would like to answer every one of your
3
questions. My attorney has advised me I must
4
assert my Sixth Amendment, Fourteenth Amendment
5
and Fifth Amendment rights or risk losing them as
6
my attorneys.
7
Q
Isn't it true when underage• females were
8
brought to you, you would engage in sex with them
9
and pay them?
10
MR.
Form, argumentative,
11
harassing.
12
A
(Witness shakes head.)
13
Q
Are you shaking your head to say "no" --
14
A
Excuse me.
15
Q
Are you shaking your head to say "no, I
16
don't know how to interpret that answer?"
17
A
I didn't realize I was shaking my head.
18
MR.
I thought he was actually
19
answering a question.
20
MR.
We'll just strike. The rules
21
are well-known to every lawyer who practices
22
in the State of Florida, that it is clear
23
that a nod of the head or shake of the head
24
is not understood by the record, so
25
therefore Mr. Epstein was clearly not
EFTA01724002
52
1
responding to one of your questions and you
2
know that, Mr.
3
MR.
This is on the video.
4
MR.IIIII Nonetheless you know the
5
rules. Nonetheless. If we have a question
6
on the table, would you please repeat it so
7
I can recall it and Mr. Epstein can endeavor
8
to answer it.
9
MR.
Sure, and if it was only
10
the court reporter, I would agree, but the
11
jury is going to see a video and everybody
12
knows commonly, if somebody shakes their
13
head, they are saying "no," and if that was
14
the answer, I wanted to give him a chance to
15
elaborate on it, that's it.
16
Q
Isn't it true that when tnderage females
17
would come to your house, you would engage in
18
sexual activity with them and then pay them?
19
MR.
Same objections.
20
A
Unfortunately I would like to answer
21
that question today, but my attorneys have
22
counseled me that I must assert my Sixth
23
Amendment right, my Fifth Amendment right and my
24
Fourteenth Amendment right under the U.S.
25
Constitution.
EFTA01724003
53
1
The fact that your firm has been
2
described as a criminal enterprise and part of
3
one of the largest frauds in Florida's -- South
4
Florida's history, part of that fraud has been
5
described as fabricating cases of sexual nature
6
against me and others in order to fleece
7
unsuspecting investors out of millions of
8
dollars. I would like to answer that question,
9
Mr.
however, today, I must assert my
10
Fifth, Sixth and Fourteenth Amendment right.
11
'0
In addition to paying these underage
12
females for sexual activity, you also paid them
13
to bring their underage friends to you, to also
14
engage in sexual activity with them?
15
MR. NM
Form.
16
Q
Is that correct?
17
A
I intend to respond to all relevant
18
questions regarding this lawsuit; however, at the
19
present time my attorneys have counseled me that
20
I may not, and I must assert -- they have advised
21
me I must assert my Sixth Amendment right, my
22
Fifth Amendment right and my Fourteenth Amendment
23
rights under the U.S. Constitution.
24
Q
You would pay underage females 200 to
25
$300 for engaging in sexual activity with you or
EFTA01724004
54
1
for procuring another underage female to engage
2
in sexual activity with you; is that correct?
3
MR.
: Form, move to strike.
4
Assumes facts not in evidence and calls for
5
a legal conclusion as well, argumentative.
6
A
I intend to respond to all relevant
7
questions regarding this lawsuit; however, at the
8
present time my attorneys have counseled me that
9
I cannot provide answers to any questions that
10
may be relevant to this lawsuit, and I must
11
accept their advice or risk losing my Sixth
12
Amendment right to effective representation.
13
Accordingly, therefore, I must assert my
14
constitutional rights as guaranteed by the Fifth,
15
Sixth and Fourteenth Amendment to the U.S. •
16
Constitution.
17
Q
Would you agree that your scheme was
18
devised to coerce these underage minors to bring
19
you as many other underage minors, as were
20
available for you to engage in sexual activity
21
with?
22
MR.
Form.
23
A
Can you repeat the question?
24
Q
Yes. Would you agree that your scheme
25
was devised to coerce underage girls into
EFTA01724005
55
1
bringing as many other underage girls to you, as
2
were available for sexual purposes?
3
MR.
: Form.
4
A
Did you say "for sexual purposes"?
5
Q
Yes, for sexual purposes.
6
A
I'm not surprised. Since your firm was
7
described as perpetrating one of the largest
8
frauds in Florida's history by crafting,
9
fabricated sexual harassment cases against people
10
like me and others in order to fleece
11
unsuspecting investors out of millions of
12
dollars, I would like to answer that question.
13
However, today my attorneys have advised me I
14
must assert my Sixth Amendment, Fifth Amendment
15
and Fourteenth Amendment right under the U.S.
16
Constitution, and if I don't do so, I risk
17
losing -- uh... losing effective representation.
18
Q
Utilizing this method of using underage
19
minors to bring you other underage minors, you
20
were able to engage in sex with hundreds of
21
underage minor females. Is that true?
22
MR. IM
Form, argumentative,
23
harassing and calls for speculation.
24
A
Since, Mr.
your firm has been
25
described as a criminal enterprise by the U.S.
EFTA01724006
56
1
Attorney, and as part of the largest fraud in.
2
South Florida's history, and as part of the fraud
3
fabricating malicious cases of sexual harassment
4
and other cases of sexual nature against people
5
like me and others, although I would like to
6
answer that question today, my attorneys have
7
advised me I must assert my Sixth Amendment,
8
Fourteenth Amendment and Fifth Amendment rights
9
of the U.S. Constitution. Although I believe you
10
know I would really like to answer your
11
questions, but at this moment if I don't assert
12
those rights, I risk having my attorneys resign.
13
Q
Isn't it true with this method you were
14
able to interact sexually with underage girls
15
every single day?
16
MR.
Form, asked and answered.
17
Same objections.
18
Q
Go ahead.
19
A
Oh, I'm sorry. Can you repeat it?
20
Q
Sure. With this method of --
21
A
"This method" being what, sorry?
22
Q
Your method of using underage minors to
23
bring you other underage minors for sex; isn't it
24
true that that method resulted in you engaging in
25
sexual activity with underage minors on an every
EFTA01724007
57
1
day basis?
2
MR.
Same objections.
3
A
Your firm has been described by the
4
current U.S. Attorney as a criminal enterprise
5
engaged in one of the largest frauds in South
6
Florida's history, and as part of that fraud,
7
creating, fabricating, malicious cases of sexual
8
nature against people like me and others, so •
9
unfortunately, though I would like to answer that
10
question today, I must assert my Sixth Amendment,
11
Fourteenth Amendment and Fifth Amendment rights
12
to my counsel's advisement to do, although I
13
believe yop know I would really like to answer
14
those questions today, I must assert those rights
15
or risk losing my attorney's representation.
16
Q
To keep track of all these underage
17
minors, you stored their names and telephone
18
numbers in your home computer; isn't that
19
correct?
20
MR. la
Form, argumentative,
21
speculation.
22
A
Again? Sorry.
23
Q
Are you going to answer the question or
24
just read? If you are going to answer the
25
question, of course, I'll keep reading it as many
EFTA01724008
58
1
times.
2
A
Excuse me?
3
MR.
The witness is attempting to
4
answer your question. He asked you to
5
repeat the question.
6
MR.
He is?
7
MR.
He asked you to repeat the
8
question.
9
MR.
I don't mind going through
10
that, III. because I do want answers, but
11
if I'm going to repeat the question multiple
12
times and get the same answer, we are
13
wasting time. I want to stop us wasting
14
time repeating questions if I'm getting the
15
same nonresponsive answer.
16
MR.
I understand your intention
17
here.
18
MR.
Yeah.
19
MR. IIIII -- however, these questions
20
are similar in nature, if not identical to
21
various questions that you've asked in other
22
indications, so you coming here today is of
23
no surprise that Mr. Epstein is required to
24
invoke his Fifth, Sixth and Fourteenth
25
Amendment rights under the United States
EFTA01724009
59
1
Constitution --
2
MR.
I understand that.
3
MR.
: -- if you came here today
4
thinking you were going to pull a rabbit out
5
of a habit, and Mr. Epstein was going to
6
waive his Fifth, Sixth and Fourteenth
7
Amendment rights to the U.S. Constitution,
8
at least not today. That will not be
9
occurring.
10
Q
Isn't it true that to keep track of the
11
names and phone numbers of these underage minor
12
females, to interact with sexually, you stored
13
those names and phone numbers in your home
14
computer?
15
A
Thank you. I've heard the question
16
now. It didn't surprise -- again, I've now heard
17
the question and the fact that your firm has been
18
described as a criminal enterprise by the current
19
U.S. Attorney in South Florida, and part of one
20
of the largest frauds in Florida's history, it is
21
reported that your firm fabricated malicious
22
cases of a sexual nature against people and
23
against me, in order to fleece unsuspecting
24
investors out of millions of dollars.
25
Unfortunately, though I would like to
EFTA01724010
60
1
answer each one of your questions today, Mr.
2
my attorneys have advised me that I must
3
assert my Sixth Amendment, Fifth Amendment and
Fourteenth Amendment rights under the U.S.
5
Constitution. So although I would like to
6
answer, I must assert those rights or risk having
7
my attorneys resign.
8
Q
Do you know
9
A
I intend to respond to all relevant
10
questions regarding this lawsuit; however, at the
11
present time my attorneys have counseled me that
12
I cannot provide answers to any questions
13
relevant to this lawsuit and must accept their
14
advice or risk losing my Sixth Amendment right to
15
effective representation.
16
Q
Isn't it true you employed
17
to contact underage minor females and make them
18
appointments to be at your house?
19
A
Sorry, again?
20
Q
Isn't it true you employed
21
for the purposes of contacting underage minor
22
females and scheduling them appointments to be at
23
your house?
24
A
The current U.S. Attorney has described
25
your law firm, Mr.
as a criminal
EFTA01724011
61
1
enterprise engaged in one of the largest frauds
2
in South Florida's history. It has been reported
3
that your firm fabricated multiple cases of a
4
sexual nature against me and others, in order to
5
fleece unsuspecting investors out of millions and
6
millions of dollars, so, though unfortunately
7
would like to answer every one of your questions
8
today my attorneys have counseled me that today I
9
must assert my Sixth Amendment, Fifth Amendment
10
and Fourteenth Amendment rights under the U.S.
11
Constitution. Though I believe you know I would
12
like to answer those questions, although today I
13
must assert those rights or risk having my
14
attorneys resign.
15
Q
Tell the jury how you know
16
17
MR.
Form move to strike.
18
MR.
Move to strike my
19
question?
20
MR.
(Nods.)
21
MR.
What basis?
22
** MR.
Do I have to state a
23
basis? Usually I'm just required to state
24
"form."
25
MR.
You have done more than
EFTA01724012
62
1
that today.
2
MR.
If I went on a diatribe of
3
explaining, you know, what's confusing,
4
compound and relevant, then you would blame
5
for testifying for the witness. So I just
6
move to strike the question.
7
MR.
Make sure you mark that
8
somewhere on this transcript, somehow.
9
Q
Tell the jury how you know
10
11
MR.
: Move to strike.
12
A
I intend to respond to all relevant
13
questions regarding this lawsuit. However, at
14
the present time my attorneys have counseled me
15
that I cannot provide answers to any questions
16
relevant to this lawsuit and must accept their
17
advice or risk losing my Sixth Amendment right to
18
effective representation. Accordingly, I assert
19
my Fifth Amendment, Sixth Amendment and
20
Fourteenth Amendment right under the U.S.
21
Constitution.
22
Q
Isn't it true that you brought her to
23
this country when she was underage and made her
24
your sex slave, and you've bragged about this?
25
MR.
Form, argumentative,
EFTA01724013
63
1
compound, harassing and calls for
2
speculation.
3
A
I intend to respond to all relevant
4
questions regarding this lawsuit; however, at the
5
present time my attorneys have counseled me that
6
I cannot provide answers to any questions
7
relative to this lawsuit and I must accept this
8
advice or risk losing my Sixth Amendment right to
9
effective representation. However, I would like,
10
so I'm clear, the question was, did I bring her
11
here? Specifically --
12
Q
Your answer is fine.
13
A
Okay.
14
Q
Is it true that you demanded numerous
15
underage minor females to have sex with
16
inside your home while you watched,
17
masturbating?
18
MR.
: Same objections.
19
A
You have to repeat the question.
20
Q
Isn't it true that you have ordered
21
several underage minor females to have sex with
22
in your home while you watched,
23
masturbating?
24
MR.
Same objections.
25
A
The current U.S. Attorney has described
EFTA01724014
64
1
your firm, Mr.
as a criminal enterprise
2
involved in mail fraud, wire fraud, money
3
laundering and, in fact, fabricating multiple
4
cases of a sexual nature against me, others, in
5
order to fleece unsuspecting investors in South
6
Florida out of millions and millions of dollars.
7
Unfortunately, though I would like to
8
answer each one of your questions here today, my
9
attorneys have advised me I must assert my Sixth
10
Amendment, Fourteenth Amendment and Fifth
11
Amendment right under the U.S. Constitution,
12
although I believe you know I would like to
13
answer your questions, but at this moment I must
14
assert those rights or risk having my attorneys
15
resign.
16
Q
Isn't it true that with each of these
17
underage minor females that were brought to your
18
house, your method of sexually exploiting them
19
was nearly identical; is that correct?
20
MR. III. Objection, argumentative,
21
confusing, overbroad and vague.
22
A
I don't even understand the question.
23
Q
Okay. When a 14 or 15-year old would be
24
led into your bedroom, you would appear from the
25
shower first, usually naked; is that correct?
EFTA01724015
65
1
MR.
: Objection, argumentative,
2
assumes facts not in evidence, and
3
harassing.
4
A
I intend to respond to all relevant
5
questions regarding this lawsuit; however, today
6
my attorneys have advised me that I cannot
7
provide answers to any questions relevant to this
8
lawsuit and must accept their advice or risk
9
losing my Sixth Amendment right to effective
10
representation. Accordingly, therefore, I must
11
assert my Constitutional rights
the Fifth
12
Amendment, Sixth Amendment and Fourteenth
13
Amendments to the U.S. Constitution.
14
MR.
Can we go off the record for
15
a second?
16
MR.
If it is necessary.
17
MR.
Yes, let's go off the
18
record.
19
THE VIDEOGRAPHER: Going off the video
20
record at 12:35 p.m.
21
(Pause in the proceedings.)
22
THE VIDEOGRAPHER: Back on the video
23
record 12:44 p.m.
24
MR.
Can you tell me what my
25
last question is?
EFTA01724016
66
1
2
3
THE COURT REPORTER: Certainly.
(The record was read.)
Q
After appearing from the shower naked,
4
you would order the underage minor female to
5
disrobe; isn't that true?
6
MR.
Same objections. Form.
7
A
I intend to respond to all relevant
8
questions regarding this lawsuit; however, at the
9
present time my attorneys, have counseled me I
10
cannot provide answers to any questions relevant
11
to this lawsuit and must accept their advice or
12
risk losing my Sixth Amendment right to effective
13
representation.
14
Q
You would then order them to, or order
15
her to begin providing you a massage; is that
16
correct?
17
MR.
: Form.
18
A
I intend to respond to all relevant
19
questions regarding this lawsuit and I would like
20
to answer each and every one of ycur questions
21
today, Mr.
however, my attorneys have
22
told me that I cannot do that today unless and I
23
must assert my Sixth Amendment, Fifth Amendment
24
and Fourteenth Amendment rights under the U.S:
25
Constitution or risk losing my counsel.
EFTA01724017
67
1
Therefore, I'm going to assert those rights as
2
guaranteed by the Fifth Amendment, Sixth
3
Amendment and Fourteenth Amendment.
4
Q
You would then roll over and continue
5
with masturbating; is that correct?
6
MR. 'III: Form.
7
A
I intend to respond to all relevant
8
questions regarding this lawsuit. It is -- it is
9
my understanding that the current U.S. Attorney
10
has described your law firm as a criminal
11
enterprise, yours and Mr.
firm, as a
12
criminal enterprise and part of the largest fraud
13
in Florida's history, fabricating malicious cases
14
of a sexual nature against me and others, in
15
order to fleece investors out of millions of
16
dollars, through bogus schemes including
17
conspiracy to -- excuse me -- to commit mail
18
fraud, wire fraud and money laundering, so though
19
I would like to answer each and every one of your
20
questions here today, my attorneys have counseled
21
me I cannot, and must assert my Fifth, Sixth and
22
Fourteenth Amendment rights under the U.S.
23
Constitution.
24
Q
You would then rub the underage minor
25
female's vagina and/or insert your fingers into
EFTA01724018
68
1
her vagina; is that correct?
2
MR. I=
Form.
3
A
I intend to respond to all relevant
4
questions regarding this lawsuit. Unfortunately,
5
today' my attorneys have advised me I cannot, must
6
assert my rights under the U.S. Constitution,
7
under the Fifth Amendment and Shah amendment and
8
Fourteenth amendments of the U.S. Constitution,
9
especially since your firm has been desCribed as
10
a criminal enterprise by the current U.S.
11
Attorney perpetrating one of the largest frauds
12
in South Florida's history, fleecing investors
13
out of millions of dollars by fabricating
14
malicious cases, malicious cases of a sexual
15
nature against people like me and others.
16
Q
With many of these underage minors you
17
would use vibrators on them; is that correct?
18
MR.
: Form.
19
A
I would like to respond to that question
20
as I would like to respond to all your other
21
questions today. However, my attorneys have
22
counseled me that I must assert my Sixth
23
Amendment rights, my Fifth Amendment rights and
24
my Fourteenth Amendment rights under the U.S.
25
Constitution.
EFTA01724019
1
Q
And with many of these underage minors,
2
you would give and/or receive oral sex from them;
3
is that correct?
4
MR. IIII/ Form.
5
A
I intend to respond to all relevant
6
questions regarding this lawsuit, and I would
7
like to answer each and every one of your
8
questions; however, my attorneys have counseled
9
me that today I must assert my Sixth Amendment,
10
Fifth Amendment and Fourteenth Amendment rights
11
under the U.S. Constitution, especially since
12
your firm has been described by the current U.S.
13
Attorney as perpetrating one of the largest
14
frauds in Florida -- in Florida's history, by
15
fabricating malicious cases of a sexual nature
16
against me and others.
17
Q
In June of 2008 you pled guilty to a
18
couple of felonies, right?
19
MR.
Form, vague and confusing.
20
A
Again?
21
Q
In June of 2008, you pled guilty to two
22
felonies; is that correct?
23
MR.
Same objection.
24
A
Yes.
25
Q
And what were those felonies that you
691
EFTA01724020
70
1
pled guilty to?
2
A
Solicitation of prostitutes, not
3
underage prostitutes but simply prostitutes.
4
Solicitation of prostitutes and one count of
5
procuring a minor for underage sex.
6
Q
You have taken the Fifth as to questions
7
related to many of these underage minors, but the
8
underage minors that were the victims in the
9
cases where you pled guilty, were -;
is that
10
one of them?
11
MR.M
Form, mischaracterizes the
12
witness's testimony. Calls for a legal
13
conclusion?
14
A
Again.
15
Q
What was the name of the any of the
16
underage minors that were the subject of the
17
criminal charges to which you pled guilty? •
18
A
I don't know.
19
Q
So, tell me about those charges. What
20
were the allegations of those charges?
21
MR.
•Form.
22
A
Solicitation of prostitution, not
23
underage prostitution... Prostitution.
24
Q
Were the victims or the prostitutes, as
25
you would say, were they minors?
EFTA01724021
71
1
MR.
Form.
2
A
I pled guilty to solicitation of
3
prostitution.
4
Q
Okay, so tell me what those cases were
5
about. What happened?
6
MR.
Form again.
7
A
(Witness shrugs.) I can't tell you
8
any more than that.
9
Q
You don't know what you pled guilty to?
10
A
I just told you
11
MR.
Object to the form, asked and
12
answered.
13
0
Do you know what you pled guilty to, the
14
facts?
15
A
Solicitation of prostitution.
16
Q
I understand that that's the charge.
17
What were the underlying facts? What did you do,
18
did you pull up in a car, talk to the person, did
19
they come over to your house, how did you get
20
them, those kinds of things. Tell the jury what
21
were the underlying facts about the charges you
22
pled guilty to?
23
MR.
Object to the form. Move to
24
strike.
25
A
I don't know.
EFTA01724022
72
1
Q
You don't know what you pled guilty to?
2
A
I pled guilty to solicitation of
3
prostitution, not underage prostitution, but
4
prostitution.
5
Q
My understanding from reading the court
6
files that one of these females was
Do you
7
know who that is?
8
A
I intend to respond to all relevant
9
questions in this lawsuit. However, at the
10
present time my attorneys have counseled me that
11
I cannot provide answers to any of these
12
questions today. So accordingly, I must assert
13
my constitutional rights under the Fifth, Sixth
14
and Fourteenth Amendments of the U.S.
15
Constitution.
16
Q
You're aware
is somebody that
17
alleges she was at your house on more than 100
18
occasions; is that true?
19
MR.
: Form.
20
A
Can you repeat the question, sir?
21
Q
Are you aware that
is a female that
22
alleges that when she was underage, she was at
23
your house on more than 100 occasions?
24
MR. IIII/ Form, predicate.
25
A
I intend to respond to all relevant
EFTA01724023
73
1
questions to this lawsuit, Mr.
However,
2
today my attorneys have counseled me that I must
3
respond by invoking my Fifth Amendment right, my
4
Sixth Amendment right and my Fourteenth Amendment
S
right under the U.S. Constitution or risk losing
6
them as my attorneys, so therefore I must assert
7
those rights.
8
Q
You understand that her complaint was
9
that Epstein turned II
10
11
■
12
13
14
15
16
Are you aware of those allegations?
17
MR.
I
M
Form, predicate.
18
A
I'm sorry, did you say there is a
19
complaint?
20
Q
In the incident report that led to a
21
charging document, that led to a charge that you
22
have pled guilty to. Are you aware of that
23
information coming from
24
MR.
: I'm sorry, Mr.
what
25
are you reading from?
EFTA01724024
74
1
' MR.
The 87-page Palm Beach
2
Police Department incident report where
3
there are numerous underage females
4
describing their interaction with Mr.
5
Epstein at his house. I'm reading
6
specifically from page 41 related to ■
7
who was one of the victims he pled guilty
8
to.
9
MR' Ill" Is that the same document
10
that you're seeking production.pf, in this
11
same exact case?
12
MR.
I don't know what you're
13
talking about. This is something from the
14
State Attorney's file.
15
MR.
: :Okay. Sorry. What's the
16
question?
17
Q
Are you aware of that allegation? What
18
I just read to you.
19
A
I would like to answer that question,
20
but, however, today my attorneys have advised me
21
I must assert my Fifth Amendment, Sixth Amendment
22
and Fourteenth Amendment rights under the U.S.
23
Constitution.
24
Q
Assuming your attorneys have advised you
25
but because of III
, double jeopardy, you
EFTA01724025
75
1
cannot be charged for any crimes that you have
2
already pled guilty to relating to
, so I
3
would like you to explain to the jury, in your
4
words, or your version of the story, what was
5
your interaction with
at your house when she
6
was a minor?
7
MR.
Object to the form as
8
worded. Could disclose.attorney/client
9
communications.
10
A
I intend to respond to all relevant
11
questions regarding this lawsuit. I would like
12
to answer each of your questions today, however,
13
my attorneys have counseled me that I may not.
14
They've advised me that I must assert my Fifth
15
Amendment, Sixth Amendment and Fourteenth
16
Amendment rights under the U.S. Constitution.
17
Therefore, if I don't, I risk losing their
18
counsel. Therefore, I must assert those rights
19
here today, Mr.
20
Q
Are you aware that
Advised police
21
that she was
22
23
24
25
MR.
Objection, relevance,
EFTA01724026
76
1
argumentative, compound, harassing.
2
A
This was who?
3
Q
The question is, are you aware
4
A
5
The current U.S. Attorney, since he has
6
described your firm as a criminal enterprise and
7
part of one of the largest frauds in Florida's
$
history by fabricating, fabricating, malicious
9
cases of a sexual nature against people like Me
10
and others, and fleecing investors out of
11
millions of dollars by using means described in
12
the complaint against your firm, including mail
13
fraud, wire fraud, money laundering; I'm afraid
14
today, though I would like to answer each one of
15
your questions, my attorneys have counseled me
16
that I must not, I must assert my Sixth
17
Amendment, Fifth Amendment and Fourteenth
18
Amendment rights under the U.S. Constitution, and
19
I believe you know I would like to answer those
20
questions. I must assert those rights or risk
21
losing my attorney's representation.
22
Q
Do you know
23
A
Spell it, please.
24
Q
I don't know how to spell her name, but
25
do you know a
? I don't know that she would
EFTA01724027
77
1
have ever spelled her name for you.
2
MR.
Form, move to strike.
3
Q
Her name is
4
A
I intend to respond to all relevant
S
questions regarding this lawsuit. However, at
6
the present time my attorneys have counseled me
7
that I may not provide answers today, though I
8
would like to, and I must, in fact, take their
9
advice or risk losing their representation, so
10
therefore, I must assert those rights under the
11
U.S. Constitution.
12
Q
Do you know the names of any of the
13
females that you allegedly solicited for
14
prostitution and pled guilty to?
15
MR. IIIII
Relevance.
16
A
Sitting here today, no, I do not.
17
Q
You asked me to spell
's name.
18
That's somebody that your attorneys took her
19
deposition about a year and a half ago. Does
20
that help to refresh your recollection as to who
21
is?
22
A
I would like to answer that question but
23
today, according to my attorneys, I must assert
24
my Fifth Amendment, Sixth Amendment and
25
Fourteenth Amendment rights under the U.S.
EFTA01724028
78
1
Constitution. I must accept their advice or risk
2
losing my Sixth Amendment right to effective
3
representation, Mr.
so though I would
4
like to answer the question, today I must assert
5
those rights.
6
Q
There is another victim, her name is
7
, that was listed as one of the females at
8
your house and you pled guilty to the
9
solicitation of.
10
I would like to ask you if you remember
11
her?
12
MR.
Form, confusing, compound.
13
A
14
0
I don't know her first time, initial
15
last name is
16
MR.
Same objection.
17
A
I intend to respond to all relevant
18
questions regarding this lawsuit. However, at
19
the present time my attorneys have counseled me
20
that I cannot provide answers to any questions
21
relevant to this lawsuit, and I must accept their
22
advice or risk losing my right to effective
23
representation. Therefore, though I would like
24
to answer the questions, I must assert those
25
rights.
EFTA01724029
79
1
Q
With each case that results in a
2
charge --
3
THE WITNESS: Excuse me, is there some
4
water?
5
THE VIDEOGRAPHER: Off the record?
6
MR.
Stopping again?
7
THE WITNESS: Can I get some water? Mr.
8
IIIII, can you pass some water?
9
THE VIDEOGRAPHER: There is no water
10
here.
11
THE WITNESS: Sorry.
12
Q
With each conviction, charge, or with
13
each charge that leads to a conviction, there are
14
facts and circumstances that lead up to that plea
15
of guilty.
16
MR.
Form.
17
Q
What are the facts and circumstances
18
that led to you pleading guilty to the two
19
felonies that you've described?
20
MR.
Form, overbroad, compound,
21
confusing, calls for a legal conclusion.
22
A
I would like to respond to that
23
question. I would like to respond to that
24
question, but today my attorneys have advised me
25
I must assert my Fifth Amendment, Sixth Amendment
EFTA01724030
80
1
and Fourteenth Amendment rights to the U.S.
2
Constitution or risk losing effective
3
representation. Accordingly, I must assert my
4
rights as guaranteed by the Constitution.
5
Q
Just so you are clear, since your
6
attorney made it an objection that it was
7
unclear, then you invoked your Fifth Amendment
8
rights --
9
A
Sorry.
10
Q
I'm talking about the cases where you
11
already pled guilty and you can't be charged
12
again. What were the facts and circumstances
13
that led up to you pleading guilty to these
14
felonies?
15
A
I've answered the question.
16
MR.
Same objection, asked and
17
answered.
18
THE VIDEOGRAPHER: Counsel.
19
(Indicating five minutes left on tape.)
20
MR.
Okay.
21
Q
Just so the jury understands, these
22
three females that were the subject of the guilty
23
pleas in State Court, were procured by your
24
method of having underage minor females locate
25
other underage minor females and bring them to
EFTA01724031
81
1
your house; isn't that correct?
2
MR.
: Objection, argumentative,
3
compound, harassing, assumes facts not in
4
evidence. I move to strike..
5
A
You have to repeat the question.
6
Q
Okay,
are all people
7
that were, at the time you engaged in sexual
8
activity with them, were underage and were
9
brought by other underage minor females; is that
10
true?
11
MR.
Same objections incorporated
12
as well as motion to strike.
13
A
I don't understand -- I'm sorry, I don't
14
understand the question.
15
Q
isn't it true that you used underage
16
minor females to bring other underage minor
17
females to your house for sex?
18
MR.
Asked and answered.
19
A
(Witness shrugs.)
20
MR.
; Way earlier on.
21
MR.
He doesn't understand the
22
question --
23
MR.
You can answer the question.
24
Q
I'm going through the progression.
25
MR.
You can answer, but it is
EFTA01724032
82
1
asked and answered.
2
A
As your firm, Mr.
and Mr.
3
's has been described by the U.S. Attorney
4
as perpetrating one of the largest frauds in
5
South Florida's history by crafting malicious
6
cases of a sexual nature against people like me
7
and others, in order to fleece, using bogus
8
schemes, in the U.S. Attorney's words, investment
9
schemes. Unfortunately, though I would like to
10
answer every one of your questions if I'm able,
11
my attorneys have advised me I must assert my
12
Sixth Amendment, Fourteenth Amendment and Fifth
13
Amendment rights under the U.S. Constitution.
14
Therefore, at the moment I cannot answer that
15
question.
16
Q
The acts related to your guilty plea
17
occurred at your Palm Beach house; is that
18
correct?
19
MR.
: Form.
20
A
Again, sorry.
21
Q
If you were soliciting prostitutes, it
22
wasn't out on the street, it wasn't at a hotel.
23
These were girls that you solicited to be
24
prostitutes at your house in Palm Beach,
25
correct?
EFTA01724033
83
1
MR.
Objection, relevance,
2
argumentative. Calls for speculation as
3
worded and assumes facts not in evidence.
4
A
Though I would like to answer that
5
question, my attorneys today have advised me I
6
cannot answer you today, and they've advised me I
7
must assert my Sixth Amendment, Fifth Amendment
8
and Fourteenth Amendment rights under the U.S.
9
Constitution. Otherwise I risk losing their
10
representation. So, accordingly I must assert
11
those rights, Mr.
and Mr.
12
Q
In what county did you plead guilty to
13
these felony offenses?
14
A
Palm Beach County.
15
Q
These were crimes that occurred here in
16
Palm Beach County?
17
MR.
Form.
18
Q
Is that correct?
19
A ... I pled guilty in Palm Beach County.
20
Q
Isn't it true that you kept a calendar
21
or schedule --
22
THE VIDEOGRAPHER: I have to change the
23
tape.
24
MR.
Change it.
25
THE VIDEOGRAPHER: Off the video record
•
EFTA01724034
84
1
1:05 p.m.
2
(Pause in the proceedings.)
3
THE VIDEOGRAPHER: Back on the video
4
record 1:15 p.m.
5
Q
Mr. Epstein, as it relates to the
6
charges you pled guilty to, are you saying today
7
that thdse females that you interacted with
8
sexually, were prostitutes prior to meeting you?
9
A
I'm saying I pled guilty to the
10
solicitation of prostitution.
11
Q
Right, and you would certainly agree
12
that that would require yourself and one other
13
individual for that act of prostitution,
14
correct?
15
MR
Form. Also calls for a legal
16
conclusion.
17
A
I pled guilty to solicitation of
18
prostitution.
19
Q
Are you saying that those females that
20
were the victims, at least listed as victims by
21
the State, were prostitutes prior to meeting
22
you?
23
MR.
: Form. Vague. Irrelevant?
24
A
I pled guilty to solicitation of
25
prostitution.
EFTA01724035
85
1
Q
Do you have any remorse for your
2
actions --
3
MR.
Form.
4
Q
-- against these victims that led to
5
your plea of guilty?
6
MR.IM
Form, argumentative.
7
A
I pled guilty to solicitation of
8
prostitution, not underage prostitution, simply,
9
prostitution.
10
Q
Are you saying now that the subjects of
11
that, which were called victims, were not
12
underage when you engaged in sex with them?
13
MR.
Form, argumentative,
14
speculation, assumes facts not in evidence,
15
as well as mischaracterizes the witness's
16
testimony.
17
A
I pled guilty to solicitation of
18
prostitution, not underage prostitution,
19
solicitation of prostitution.
20
Q
I was under the impression you pled
21
guilty to a second degree felony, that being
22
procuring a minor for the purposes of
23
prostitution.
24
A
That's correct.
25
Q
So a minor is somebody under the age of
EFTA01724036
86
1
18, and I'm asking for the guilty plea related to
2
that count; are you at all remorseful for your
3
interactions with that minor?
4
MR.
Same objections.
5
A
What minor?
6
Q
The charge is procuring a minor. You
7
tell me. Who was that minor?
8
A
I don't know.
9
Q
You were never told during the State
10
Attorney's prosecution of you, who this person
11
was?
12
A
No.
13
Q
Why did you plead guilty to a felony
14
charge that resulted in you going to jail,
15
without even knowing who the victim was?
16
MR.
Form. That question calls
17
for attorney/client information, and
18
therefore, I'm going to instruct him not to
19
answer that.
20
Q
If it has anything to do with any
21
conversations with your attorney, I don't want to
22
know. I'm just going off of the plea colloquy
23
between you and the Judge, where you understood
24
the charges and have been advised and apprised of
25
the charges and you still willingly, willfully
EFTA01724037
87
1
pled guilty to the charges. I'm taking now that
2
you're saying, you don't even know what those
3
charges were about?
4
MR.
What was the question? I .
5
don't know the question on the table now.
6
Q
Who was the minor?
7
A
I don't know.
8
Q
You were never told the name or initials
9
of that minor victim by the State Attorney's
10
Office or the prosecutor?
11
A
Not that I recall.
12
Q
Just so the jury understands, this
13
method of paying underage minor females to bring
14
you other underage minor females for sex, is
15
something that you do in New York, and New
16
Mexico, Florida, everywhere, not just West Palm
17
Beach; isn't that right?
18
MR.=
Again, form, compound, again
19
assumes facts not in evidence.
20
Argumentative and harassing, and moreover,
21
we have already been down this road before
22
in separate related questions that have
23
already been asked and answered.
24
A
I would like to respond to each one of
25
your questions; however, today my attorneys have
EFTA01724038
88
1
advised me I cannot and they've advised me I must
2
assert my Sixth Amendment right, my Fifth
3
Amendment right and my Fourteenth Amendment right
4
under the U.S. Constitution, therefore, that's
5
what I'm going to do.
6
Q
Where is the calendar or schedule of
7
your underage sex appointments?
8
MR.
Form, speculation.
9
A
You said where is...
10
MR.
: "Again."
11
Q
Where is the calendar or schedule that
12
kept for you for your appointments
13
for sex with underage females?
14
MR.
: Same objection.
15
Q
if there is not one, you can tell me
16
there is not one.
17
A
I would like to answer each one of your
18
questions today. However, I have been advised by
19
counsel that I must assert my Fifth Amendment,
20
Sixth Amendment and Fourteenth Amendment rights
21
under the U.S. Constitution or risk losing their
22
representation. Therefore, I'm going to have to
23
assert those constitutional rights, though
24
would like to answer that question.
25
Q
Are you still in possession of the
EFTA01724039
89
1
computers that were taken from your house prior
2
to the execution of the search warrant?
3
A
Again. Am I still...?
4
Q
Are you still in possession of the
5
computers that were removed from your house just
6
prior to the execution of the search warrant?
7
A
I intend to respond to all relevant
8
questions regarding this lawsuit. However, at
9
the present time my attorneys have counseled me I
10
cannot respond to any questions that may be
11
relevant to this lawsuit, no matter how much I
12
might want to. I must accept this advice or risk
13
losing my Sixth Amendment right to
14
representation. Therefore, I must assert my
15
rights under the Fifth, Sixth and Fourteenth
16
Amendments of the U.S. Constitution.
17
Q
Who is it that removed those computers
18
from your house prior to the execution of the
19
search warrant?
20
MR.
: Objection, predicate.
21
A
I intend to respond to all relevant
22
questions regarding this lawsuit. However, at
23
the present time my attorneys have counseled me
24
that I cannot provide answers to any questions
25
that may be relevant to this lawsuit, no matter
EFTA01724040
•
90
1
how much I would like to, and I must accept their
2
advice or risk losing their representation.
3
Accordingly, therefore, I would have to assert
4
those rights, Mr.
5
Q
It is my understanding, through
6
information and belief, it is my understanding
7
that this computer system contained the complete
8
list of names of underage minor females with whom
9
you engaged in sexual activity; is that correct?
10
A
You're --
11
MR. Ill"
Objection.
12
A
-- you're asking for my understanding?
13
Q
No --
14
A
Are you asking me to tell you what your
15
understanding is?
16
Q
Did the computers that were removed from
17
your home just prior to the execution of the
18
search warrant contain the complete list of
19
underage minor females with whom you engaged in
20
sexual activity?
21
MR. IIIII
Form.
22
A
Though I would like to answer that
23
question, like all your other questions here
24
today, unfortunately my attorneys have counseled
25
me that I'm going to have to assert my Sixth
EFTA01724041
91
1
Amendment, Fifth Amendment and Fourteenth
2
Amendment rights under the U.S. Constitution. I
3
point -- excuse me. I would poin: out that your
4
firm was described by the current U.S. Attorney
5
as a criminal enterprise involved in money
6
laundering, creating and fabricating malicious
7
cases of a sexual nature against people like me
8
and others, in order to fleece local investors
9
out of millions of dollars.
10
I believe the senior partner of that
11
firm currently sits in jail. Unfortunately
12
though I would like to answer all of your
13
questions, today my attorneys have counseled me I
14
must assert my rights under the Sixth Amendment,
15
Fourteenth Amendment and Fifth Amendment of the
16
U.S. Constitution.
17
Q
Isn't it true, you and
and
18
Ghislaine Maxwell and
operated
19
as an organized criminal enterprise designed to
20
sexually exploit minor?
21
MR- IIII/ Objection, argumentative,
22
speculation, calls for a legal conclusion
23
and continues to assume facts not in
24
evidence.
25
A
Though I would like to answer that
EFTA01724042
92
1
question, Mr.
like most of your other
2
questions here today... and hopefully will get to
3
do so at some point, my lawyers have advised me I
4
must today assert my constitutional rights under
5
the Sixth Amendment, Fifth Amendment and
6
Fourteenth Amendment of the U.S. Constitution and
7
I must accept their advice or risk losing
8
effective representation.
9
Q
And as part of that organization you
10
developed code terms such as "Work" or "Massage"
11
as opposed to engage in sex with minors; is that
12
true?
13
MR. IIIII Form, argumentative,
14
speculation, harassing, assumes facts not in
15
evidence.
16
A
Can you... you...?
17
Q
You developed code terms such as you --
18
A
"You" me?
19
Q
Yes, you, would ask these girls if they
20
would like to give you a massage or work for you,
21
rather than asking them to do what was going to
22
be done, which is engage in sexual activity with
23
you; isn't that true?
24
MR.=
Same objections.
25
A
Are you asking if I developed code
EFTA01724043
93
1
words? Is that the question?
2
Q
Right. Code words.
3
A
I would like to respond to that
4
question, but unfortunately today my attorneys
5
told me I have to respond by taking -- invoking
6
my Sixth Amendment, Fourteenth Amendment and
7
Fifth Amendment rights of the U.S. Constitution,
8
or risk losing my amendment right to effective
9
representation. Accordingly I assert my
10
Constitutional rights as guaranteed.by those
11
amendments.
12
Q
What did it mean within your
13
organization when someone, some underage minor
14
female was coming over to work for you?
15
MR.
Form.
16
A
What did it mean?
17
Q
Right, what did it mean? What did it
18
mean to you was going to happen when an underage
19
minor female would either call to work or
20
would tell you this person was coming to
•
21
work for you at a specific time?
22
MR.
Objection, vague,
23
speculative, assumes facts not in evidence.
24
A
I would like to answer that question, as
25
most of your other questions today. However,
EFTA01724044
94
1
today my attorneys have counseled me that I must
2
invoke my Sixth Amendment, Fourteenth Amendment
3
and Fifth Amendment right, or risk -- and if I
4
don't, I risk losing them as my attorneys so,
5
therefore, I must assert those rights.
6
Q
You're laughing as if my questions are
7
ludicrous right now but you're aware that there
8
were trash pulls from your home where there were
9
message pads, messages taken by various employees
10
of yours, where these terms, "Massage," "Work"
11
were used in conjunction with underage minor
12
females coming over to your house, weren't you?
13
MR.
: Same objections, form, as
14
well. Move to strike, and also assumes
15
facts not in evidence. Lack predicates.
16
Q
You're aware of the trash pull and the
17
message pads, correct?
' 18
MR. IIIII Same objections.
19
Do you have any documents with you here
20
today that you speak of?
21
MR.
No, but at this point in
22
time in the trial, they will already about
23
in evidence.
24
A
I'm aware of a trash pull? What's a
25
"trash pull"? I'm sorry.
EFTA01724045
95
1
Q
Are you aware of -- I'll ask it of you
2
this way: when
would take a phone
3
message for you, what did she write it down
4
with?
5
MR.
Form.
6
A
The question makes no sense to me,
7
sorry.
8
Q
If another employee of yours were to
9
answer the telephone, be it your housekeeper,
10
housemanager, would answer the phone, take a
11
message for you and write it down so that you
12
could read it later, what would that message be
13
written on?
14
A
Most likely paper.
15
Q
Okay, is that paper typically in the
16
form of a message pad that has a carbon copy
17
sheet to the back?
18
A
No.
19
Q
You're unfamiliar with the documents
20
that I'm talking about, that being a message pad
21
that informs you as to who called, the time they
22
called and the purpose for calling?
23
MR.=
For purposes of the question
24
you're specifically talking about a message
25
pad, nothing related to what you're defining
EFTA01724046
96
1
as a trash pull, just what someone takes as
2
a message at Mr. Epstein's home and --
3
A
Do I know what a message pad is?
4
Q
No. In your home, do you typically have
5
your housekeeper, housemanager, or somebody else,
.6
when they take a message for you, write on a
7
specific pad that informs you as to who is
8
calling, the time they are calling and the
9
purpose for their calling, and there is a carbon
10
copy sheet evidencing that message?
11
MR.
Objection, asked and
12
answered.
13
Q
You know what I'm talking about?
14
A
I know what a message pad is.
15
Q
Do you use them commonly in your home or
16
did you back prior to your arrest?
17
A
I would like to answer that question,
18
but today my attorneys have advised me I have to
19
assert my Fifth Amendment, Sixth Amendment and
20
Fourteenth Amendment rights under the U.S.
21
Constitution, so therefore, I'm going to do that
22
or I risk losing their representation.
23
Q
Is my question to you confusing? Do you
24
know what I'm talking about?
25
MR.
Form.
EFTA01724047
97
1
A
Not specifically, no.
2
Q
Okay.
3
The information
4
A
Is there something you have to show me,
5
so I know what you're talking about?
6
Q
I. don't have it to. show you today, but
7
if the information and evidence that I have
8
learned through this process is accurate and
9
correct, it would seem a.foregone conclusion that
10
you and I would be on the same page, at least
11
about this document, so --
12
A
Okay.
13
Q
-- if we are going to get to a point you
14
tell me "This document doesn't exist" or "I don't
15
know what you're talking about," okay, that's
16
fine, but that's something we can hash out.
17
Here is my question: When a
18
housekeeper/housemanager would take a message for
19
you from any caller, is there a specific message
20
pad that has a carbon copy located near your.
21
telephone, for them to write down the name of the.
22
caller, the purpose for the call and the tinle
23
called?
24
MR. Ili
Form.
25
Q
Is that something you're familiar with?
EFTA01724048
98
1
A
I would like to respond to that
2
question. Today my attorneys have counseled me I
3
must assert my Sixth Amendment, Fifth Amendment
4
and Fourteenth Amendment right under the U.S.
5
Constitution.
6
Q
You're invoking your Fifth Amendment
7
right is not that you understand the question.
8
You understand my question and are electing to
9
invoke your Fifth Amendment rights; is that
10
correct?
11
A
Yes.
12
Q
When
or a housekeeper or
13
housemanager, whoever happened to be employed at
14
the time, would take messages, what form would
15
you normally or typically receive them in?
16
A
(Witness shrugs.)
17
MR.
Same objections.
18
A
I don't understand the question.
19
Q
When a caller would call the home,
20
housemanager or housekeeper or
, I
21
don't know what you would call her, assistant,
22
would answer the phone, and take a message for
23
you so that you would know who called, what would
24
they typically write down the message on so that
25
you would have it?
EFTA01724049
99
MR.
Objection. Object to the
2
form, lacks predicate. You have not
3
established anything here today relative to
4
a housekeeper or housemanager or the like.
5
Um... And I'm trying to understand the
6
question. But --
7
MR.
Really?
8
MR.
-- it lacks predicate.
9
MR.
This will play well.
10
A
Piece of paper.
11
Q
Normally they would write it down on a
12
piece of paper and give it to•you?
13
A
I didn't say that. .
14
Q
Have you ever been given a message that
15
is ripped out of a message pad that has a carbon
16
copy to it?
17
A
Oh, I see. Okay. I intend -- I would
18
like to answer that question, but today my
19
attorneys have advised me I must respond by
20
invoking my Sixth Amendment right, my Fifth
21
Amendment right and my Fourteenth Amendment
22
rights under the U.S. Constitution. Though I
23
would like to answer these questions, accordingly
24
I must assert those rights or I risk losing my
25
representation here today.
EFTA01724050
100
1
Q
Between the years 2002 and 2005, who was
2
your house manager?
3
A
(No response.)
4
Q
If there is more than one, tell us
that.
6
A
The question is unclear. I'm sorry.
7
Q
Okay, let me start with between 2002 and
8
2005, did you employ a housemanager?
9
MR.
Form.
10
A
Where?
11
Q
At your Palm 'Beach home.
12
A
I intend to respond to all relevant
13
questions here today, Mr.
Hopefully we
14
will get some. But my attorneys have advised me
15
that today I must invoke my Sixth Amendment,
16
Fifth Amendment and Fourteenth Amendment rights
17
under the U.S. Constitution; or risk losing them
18
as counsel. So today I have to assert those
19
privileges.
20
Q
Do you know
21
A
I intend to respond to all relevant
22
questions regarding this lawsuit. However, at
23
the present time no matter how much I would like
24
to answer that question, I cannot, because my
25
counsel -- the attorneys have told me that I have
EFTA01724051
101
1
to invoke my Sixth Amendment, Fifth Amendment and
2
Fourteenth Amendment or, in fact, risk losing
3
their representation. Therefore, I'm going to
4
have to assert my rights under those.
5
Q
is a female that was born in
6
7
A
Is that a question?
8
Q
Not yet. When is the first time that
9
you met her?
10
MR.
Objection, speculation.
11
MR.
That assumes that he did
12
meet her; is that what you're saying?
13
MR.
: Your question assumes --
14
MR.
He met her?
15
MR.
exactly what he just said
16
which hasn't been established on the record
17
yet pursuant to the appropriate Florida
18
Rules of Civil Procedure and the Evidence
19
Code. Lacks predicate.
20
A
That being said, I would like to answer
21
that question, but today my attorneys have
22
counseled me that I cannot, and they've advised
23
me I must assert my Sixth Amendment right, my
24
Fourteenth Amendment right, and my Fifth
25
Amendment right under the U.S. Constitution.
EFTA01724052
102
1
THE WITNESS: Can you throw me one of
2
the suckey candies, please
3
Thank you.
4
MR.
(Handing candy.)
5
THE WITNESS: Appreciate it.
6
Q
Isn't it true you met ■
for the first
7
time in July or August of 2002 just before her
8
fourteenth birthday?
9
MR.
Same objections.
10
A
You know, your firm ihas been accused by
11
the U.S. Attorney of perpetrating one of the
12
largest frauds in South Florida history by
13
crafting sexually charged lawsuits against people
14
like me and others in order to fleece
15
unsuspecting investors here in South Florida out
16
of millions of dollars. The firm of you and Mr.
17
The U.S. Attorney described it as bogus
18
schemes contrived by your firm.
19
I would like to answer every one of your
20
questions here today; however, my attorneys have
21
counseled me that I may not, and have advised me
22
that I have to invoke my Sixth Amendment, Fifth
23
Amendment and Fourteenth Amendment rights under
24
the U.S. Constitution. Therefore, that's what I
25
will do, otherwise I risk losing their
EFTA01724053
103
1
representation.
2
Q
Isn't it true
as a 13 or 14-year
3
old girl was taken to your house by another
4
underage minor female, that being
5
6
MR.
: Form.
7
THE WITNESS: Tissue, please.
8
MR.
(Handing tissue.)
9
A
I would like to answer that question
10
like all the other questions you've asked me here
11
today, but today my attorneys have counseled me
12
that I have to invoke my Sixth Amendment right,
13
my Fifth Amendment right and Fourteenth Amendment
14
rights under the U.S. Constitution; therefore
15
that's what I will do.
16
Q
Do you know who
is,
17
right, she had a lawsuit against you previously?
18
MR.
Form.
19
A
Again the last name?
20
21
A
Could you spell it for me?
22
Q
Well, the pseudonym that she used in her
23
lawsuit against you alleging similar facts to
24
those alleged in IIII versus Jeffrey Epstein was
25
IIIII. versus Jeffrey Epstein.
EFTA01724054
104
1
A
And now the question?
2
Q
You know who she is, correct?
3
MR'Illii Form.
4
A
I would like to answer that question
5
here, Mr.
but unfortunately today my
6
attorneys have counseled me I must invoke my
7
Fifth Amendment, Sixth Amendment and Fourteenth
8
Amendment rights under the U.S. Constitution, and
9
if I don't, I risk losing their representation,
10
therefore I must assert those rights.
11
Q
When I asked you about
or
12
you sat there for a while thinking hard
13
about whether or not you knew them. Do you
14
remember either
or
15
MR. IIII/
I move to strike counsel's
16
statement because the statement as worded
17
assumes facts certainly not in evidence. It
18
is argumentative, speculates as to what is
19
"thinking hard," and, counsel, I don't
20
understand the question on the table,
21
combined with your narrative. If you could
22
repeat the question?
23
MR.
Sure.
24
Q
I'm asking if during this questioning
25
process, has it refreshed your recollection as to
EFTA01724055
105
1
who
is or do you really have no idea who
2
that is?
3
MR. En
Form. Asked and answered.
4
Q
Do you remember III.?
5
A
Are you going to ask one question?
6
Which question would you like answered first?
7
Q
Do you remember
8
A
I would like to answer that question. I
9
would like to answer that question today; however
10
my attorneys today have advised me that I must
11
assert my Fourteenth Amendment, Fifth Amendment
12
and Sixth Amendment rights under the U.S.
13
Constitution, no matter how much I would like to
14
answer these questions. So unfortunately, I'm
15
going to assert those rights.
16
Q
When you first met ■,
isn't it true
17
that she was just about to begin her ninth grade
18
year in high school?
19
MR.
Same objections. Form.
20
A
I, believe her testimony in front of the
21
FBI, in a sworn deposition says something else,
22
but I don't recall exactly what. I don't have
23
any recollection,
24
Q
Of
25
MR. Ill. Form.
EFTA01724056
106
1
A
You asked the question when I met her, I
2
think, if I met her.
3
Q
You have no recollection as to when you
4
met her?
5
A
I don't have recollection if I ever met
6
her. d just told you, I did read her FBI
7
statement, so I know what she has said and it is
8
not what you've just represented to me.
9
Q
Your only knowledge of any interaction
10
you may have had with
is derived from an FBI
11
statement that she gave; is that true?
12
A
I believe what you just represented she
13
said was not what she had sworn to.
14
Q
I'm not asking what she said. I'm
15
asking do you independently remember if she was
16
entering into her ninth grade year of high school
17
when you met her? Independent of anything you've
18
read.
19
MR.=
All right, let me just move
20
to strike the... Diatribe between Mr.
21
and Mr. Epstein. I'm confused as to
22
what question is on the table now.
23
MR.
Okay.
24
Q
Independent of anything you've ever
25
read --
EFTA01724057
107
1
A
Okay.
2
Q
-- do you remember meeting
just
3
before she entered into her ninth grade year in
4
high school?
5
A
I would like to answer that question,
6
however my attorneys today have advised me that
7
though her own statements are contradictory to
8
what you just said, her sworn statements to the
9
FBI contradict what you just said. I have to
10
invoke my Sixth Amendment, Fifth Amendment and
11
Fourteenth Amendment rights to the U.S.
12
Constitution.
13
Q
Just a few minutes ago when you asked
14
when you met her, you said, "I don't know if I've
15
ever met her," so is that your testimony, that
16
you don't know if you ever met
17
A
My testimony is very clear. I must
18
assert the rights my attorneys have asked me to
19
assert today, though her testimony under oath to
20
the FBI is not what you represented it to be, to
21
me, and the ladies and gentlemen•of the jury who
22
are watching this, hopefully.
23
MR.
Form.
24
Q
We will get into that.
25
A
Okay.
EFTA01724058
108
1
Q
then you first came into the room today;
2
didn't you look at me and say "I like
" Isn't'.
3
that the statement that you made to me?
4
MR.
Form. Move to strike.
5
A
I don't believe I said that.
6
Q. What is it that you believe you did say
7
referencing
when you sat down in that seat
8
prior to the cameras rolling?
9
MR.
Form. Counsel, I was here
10
during that whole time and I don't recall
11
any such statement.
12
MR.
You weren't in the room.
13
A
I don't remember. I don't know.
14
Sorry.
15
Q
So is it your testimony right now that
16
you did not say to me "I like
17
A
That's
18
Objection.
19
A
that's correct.
20
Q
Do you like IIII?
21
MR.
Form, predicate, and
22
relevance.
23
A
I would like to answer all your
24
questions here as I've... tried to do my best,
25
however, my attorneys have advised me that I must
EFTA01724059
109
1
assert my Sixth Amendment, Fourteenth Amendment
2
and Fifth Amendment rights under the U.S.
3
Constitution.
4
Q
When you first met
, isn't it true
5
that you knew she was an economically
6
disadvantaged girl that needed money?
7
MR.
Objection, speculation,
8
assumes facts not in evidence, and it is
9
argumentative as worded.
10
A
I would like to answer all your
11
questions here today, Mr.
and Mr.
12
. However, on advice of counsel I have to
13
assert my Sixth Amendment, Fifth Amendment and
14
Fourteenth Amendment rights under the U.S.
15
Constitution, or risk losing my'right to
16
effective representation. So accordingly I must
17
assert those rights as guaranteed by the Sixth,
18
Fifth and Fourteenth amendments.
19
Q
When she was a 14-year old girl, she was
20
taken into your bedroom and you ordered her to
21
take her clothes off; is that correct?
22
MR. ■:
Objection, vague, confusing.
23
As to "her," I'm not quite sure who you...
24
Q
When
was a 14-year old girl, she
25
was taken up to your bedroom and you ordered her
EFTA01724060
110
1
to take her clothes off; isn't that true?
2
MR.
Objection, speculation, and
3
assumes facts not in evidence. Lacks
4
predicate.
5
A
Though once again what you've just
6
represented to me is a total contradiction to the
7
FBI sworn statement that I read of ■,
I must
8
unfortunately respond by asserting the rights
9
demanded by my attorneys today, which is my Sixth
10
Amendment, Fifth Amendment and Fourteenth
11
Amendment right against -- sorry, given by the
12
U.S. Constitution, though her testimony is
13
exactly -- does not purport in any way to what
14
you've just said.
15
Q
And when lip. was 14 years old, you
16
ordered she begin to give you a massage while she
17
was naked and you were naked; isn't that true?
18
MR.
Same objections.
19
A
Sorry, you have to repeat the question
20
for me.
21
Q
When IIII was a 14-year old girl --
22
A
Right. Yes?
23
Q
-- you laughed and said, "right" about
24
what?
25
A
I didn't hear the first part of your
EFTA01724061
111
. 1
question. Now I understood it.
2
Q
When
was a 14-year old girl, wasn't
3
it true that you received a massage from her
4
while she was naked and you were naked?
5
MR.
Objection, speculation,
6
assumes facts not in evidence, lacks
7
predicate.
8
A
I understand that your firm has been
9
accused by the U.S. Attorney of South. Florida,
10
perpetrating one of the largest frauds in
11
Florida's history, by crafting malicious,
12
sexually charged allegations against people like
13
me. I understand
testimony is not what
14
you've just described, though she swore to the
15
FBI... under oath. Though I would like to answer
16
your questions here today, my attorneys have
17
advised me I may not. I must assert my Sixth,
18
Fifth and Fourteenth Amendment rights under the
19
U.S. Constitution or risk losing their
20
representation.
21
THE WITNESS: Restroom break.
22
MR.
Excuse me?
23
THE WITNESS: Restroom break.
24
MR.
Stopping again?
25
THE WITNESS: Yeah.
EFTA01724062
Related Documents (6)
DOJ Data Set 8CorrespondenceUnknown
EFTA00011452
0p
DOJ Data Set 10OtherUnknown
EFTA01297668
18p
DOJ Data Set 10CorrespondenceUnknown
EFTA Document EFTA01695623
0p
Court UnsealedSep 9, 2019
Epstein Depositions
10. 11. 12. l3. 14. 16. 17. l8. 19. Jeffrey Epstein v. Bradley J. Edwards, et Case No.: 50 2009 CA Attachments to Statement of Undisputed Facts Deposition of Jeffrey Epstein taken March 17, 2010 Deposition of Jane Doe taken March 11, 2010 (Pages 379, 380, 527, 564?67, 568) Deposition of LM. taken September 24, 2009 (Pages 73, 74, 164, 141, 605, 416) Deposition ofE.W. taken May 6, 2010 (1 15, 1.16, 255, 205, 215?216) Deposition of Jane Doe #4 (32-34, 136) Deposition of Jeffrey Eps
839p
DOJ Data Set 10CorrespondenceUnknown
EFTA Document EFTA01728258
0p
DOJ Data Set 11OtherUnknown
EFTA02729648
53p
Forum Discussions
This document was digitized, indexed, and cross-referenced with 1,400+ persons in the Epstein files. 100% free, ad-free, and independent.
Annotations powered by Hypothesis. Select any text on this page to annotate or highlight it.