Text extracted via OCR from the original document. May contain errors from the scanning process.
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SWORN STATEMENT
6
OF
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OIG CASE #:
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2019-010614
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OCTOBER 27, 2021
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28632 Roadside Drive, Suite 285
Agoura Hills, CA 91301
Phone: (818) 431-5800
EFTA00058685
1
APPEARANCES:
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4
BY:
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BY:
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8
WITNESS:
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NONE
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EFTA00058686
3
1
: My name is
2
I'm a Special Agent with the U.S. Department of
3
Justice, Office of the Inspector General, New
4
York Field Office, and these are my
5
credentials.
6
: Okay.
7
: This interview with the
8
Federal Bureau of Prisons psychologist, Dr.
9
Did I get that right?
10
: Yes.
11
: Is being conducted as part of
12
an official U.S. Department of Justice, Office
13
of the Inspector General investigation.
14
Today's date is October 27, 2021. And the time
15
is 9:20 a.m. This interview is being conducted
16
at the OIG New York Field Office located on the
17
29th floor of One Battery Park Plaza, New York,
18
New York. Also present is:
19
: DOJ/OIG Senior Special
20
Agent
. And these are my
21
credentials. Oops. Here you go.
22
: This interview will be
23
recorded by me, Special Agent
24
Could everyone please identify themselves for
25
the record, and spell your last name? To
EFTA00058687
1
start, again, I am DOJ/OIG Special Agent
2
3
: My name is DOJ/OIG Senior
4
Special Agent
5
6
-:
please introduce
7
yourself.
8
: Yeah. So, my name is Dr.
9
. I am the chief psychologist at
10
MCC New York.
11
: Thank you.
12
: And your last name. Can
13
you just spell that --
14
: Yes.
15
: -- for the record?
16
: I'm sorry about that.
17
18
: Thank you.
19
: This is an official DOJ/OIG
20
investigation into the death of inmate Jeffrey
21
Epstein. And you are being asked to
22
voluntarily provide answers to our questions.
23
Will you agree to a voluntary interview with
24
the DOJ/OIG?
25
: Yes.
EFTA00058688
1
: Thank you. I'm going to
2
provide you with the OIG form 11I-226/2. It
3
states the following, "United States Department
4
of Justice, Office of the Inspector General.
5
Warnings and Assurances to Employee Requested
6
to Provided Information on a Voluntary Basis.
7
You are being asked to provide information as
8
part of an investigation being conducted by the
9
Office of the Inspector General. This
10
investigation is being conducted pursuant to
11
the Inspector General Act of 1978, as amended.
12
This investigation pertains to job
13
performance failure, and security failure.
14
This is a voluntary interview. Accordingly,
15
you do not have to answer any questions. No
16
disciplinary action will be taken against you
17
if you choose not to answer any questions. Any
18
statement you furnish may be used as evidence
19
in any future criminal proceedings, or agency
20
disciplinary proceeding, or both." The waiver
21
states, "I understand the warnings and
22
assurance stated above, and I am willing to
23
make a statement and answer questions.
24
No promises or threats have been made to
25
me, and no pressure or coercion of any kind has
EFTA00058689
6
1
been used against me." Please review it. And
2
if you agree, can you please sign where it
3
says, "Employee Signature"? Also, print your
4
name right below that.
5
: Please.
6
: Mm-hmm.
7
: Thank you. Thank you. I am
8
signing on the signature of the Office of
9
Inspector General, Special Agent.
10
: Okay. And I will --
11
: Agent -.
12
: -- sign as the witness,
13
and place the date, and time, and place on
14
there. On the form.
15
: Thank you. Before starting
16
the interview, I would like to place you under
17
oath.
18
: Yes.
19
-:
can you please
20
raise your right hand? Do you swear to tell
21
the truth and nothing but the truth during this
22
interview?
23
: Yes.
24
: Thank you. Please let me
25
know if you did not understand any questions,
EFTA00058690
7
1
and I will try to repeat it, or try to rephrase
2
it for you. What is your current home address?
3
-:
, New
4
York.
5
: Okay. And what is your date
6
of birth?
7
-:
8
: Actually, you showed us your
9
ID. Can you show that one more time? I just
10
want to --
11
: Yes.
12
has provided me
13
with the U.S. Department of Justice law
14
enforcement officer ID, and it has her picture
15
on it, and her signature. Thank you. What is
16
your current cell phone number?
17
-:
18
: Thank you. Do you recall
19
being interviewed by the FBI and the OIG in
20
August 2019, regarding inmate Jeffrey Epstein?
21
: Yes, I do.
22
: What I have here is called
23
the FBI 302. It's their report of the
24
investigation. It's a summary of your
25
statements that you made in the interview with
EFTA00058691
8
1
them. I'm going to go -. I'm going to read it
2
out to you. Please let me know if there is any
3
discrepancies, or you feel that anything is
4
inaccurate, and we will correct it.
5
: Okay.
6
: On the record. Anything else
7
before we start?
8
: Nope.
9
: Okay. "Dr.
10
date of birth:
, was interviewed at 1
11
Saint Andrews Plaza, New York, New York, 10007.
12
U.S. Attorney's Office. Southern District of
13
New York. Present at the interview was the
14
Office of Inspector General Special Agent
15
; Assistant U.S. Attorney
16
(Phonetic Sp. *00:04:54), and FBI
17
Special Agent
18
After being advised of the identity of the
19
interviewing agents, and the nature of the
20
interview,
provided the following
21
statement.
is the chief
22
psychologist at the Metropolitan Correctional
23
Center (MCC). Her background includes a
24
bachelor's degree in criminology, a master's in
25
mental health counseling, a master's in
EFTA00058692
9
1
clinical counseling, and a doctorate." What is
2
the doctorate in?
3
: Oh. The second master's is
4
in clinical psychology, not counseling
5
psychology. And the doctorate is in clinical
6
psychology.
7
: Okay. Thank you for
clarifying that.
was the
9
for
10
two years. And she completed a one-year post-
11
doctoral fellowship and internship working at
12
an in and out - in/outpatient mental health
13
treatment center. And she did that externship
14
at
, working
15
with the battered woman's program." Is that
16
accurate? Go ahead.
17
: Okay. My post-doc was at a
18
private forensic practice, forensic psychology
practice.
20
That was my post-doctoral
21
internship. My internship was at the
22
. Jackson Memorial Medical
23
Center. That's where I did inpatient and
24
outpatient rotations, with a minor in
25
forensics. And my externship, when I was in
EFTA00058693
doctoral program, was at the
2
3
: Okay.
4
: Okay.
5
: Thank you.
6
: Sure.
7
worked as a staff
psychologist at th
9
from 2003 to 2006."
10
: Mm-hmm.
11
"And as a forensic
12
psychologist from 2006 to 2008."
13
: Correct.
14
has been the
15
at MCC for the last 11
16
years."
17
: Well, now, more. Probably
18
close to 13.
19
: 13.
20
: More than 13, probably.
21
: So, that is still your role
22
at the MCC?
23
Uh-huh. Yes. And now that
24
it's closed. You know --
25
: Okay.
EFTA00058694
11
1
-- I'm no longer the chief
2
psychologist there. But up until a day ago,
3
yes.
4
: Okay. And so, what is the
5
new role with the -?
6
: Well, I am awaiting a
7
position, likely in central office.
8
: Okay. And what, do you know
9
what your role would be? What your title would
10
be?
11
: A mental health treatment
12
coordinator. But it's going through the
13
paperwork right now. So, it hasn't, you know,
14
I haven't received official notification
15
: Okay.
16
: -- as of yet.
17
: Then -.
18
: Will you be able to stay
19
in New York?
20
: Yes.
21
: Okay. Great.
22
: But I am doing my TDY work
23
right now, at
24
: Okay.
25
: So, I am just seeing a lot of
EFTA00058695
1
patients over there now.
2
: Anything else on that?
3
: Hmm-mm.
4
oversees three
5
forensic psychologists." This is talking about
6
the time period when you were interviewed.
7
: Yes.
8
: I guess, before we do,
9
don't think it said. When did you first start
10
working with the BOP? When was your enter on
11
duty?
12
: In 2003.
13
: Okay. Great. Thank you.
14
.
oversees three
15
forensic psychologists, one staff psychologist,
16
a drug abuse coordinator, and a drug treatment
17
specialist. Her duties include ensuring all
18
patients are seen, and the appropriate
19
documentation is completed. She consults on
20
individual cases, as needed. She ensures the
21
forensic reports are out on time. She reviews
22
all the reports she signs off on. At this
23
time,
is seeing patients, is seeing
24
more patients than she normally does, due to
25
staffing. Her typical hours are 7:00 a.m. to
EFTA00058696
1
3:30 p.m. Monday to Friday."
2
: Okay.
3
provided
4
information on the intake process as it relates
5
to psychological services at MCC. All inmates
6
complete the psychological services intake
7
questionnaire" - that's PSIQ - "themselves. It
8
asks for the inmates mental health history, as
9
well as any symptoms they are feeling at the
10
time. Based off the PSIQ, inmates are rated a
11
care code reading."
12
: Okay. First, we interview
13
them. What we do is, we review the PSIQs once
14
they are filled out. If significant items are
15
marked, we will interview the inmate. After we
16
complete the intake screening, we will classify
17
them with a care code. And that will determine
18
how frequently the inmate will be seen.
19
: Okay. I think it goes into
20
the codes itself.
21
: Oh, okay. All right.
22
: "Code one means there are no
23
concerns about the inmate's mental health
24
status. They have no needs and will not be
25
followed up with, unless requested to, by
EFTA00058697
1
either the inmate themselves, or staff."
2
: Okay.
3
"Code two means there is some
4
history of mental health issues, but the inmate
5
has them under control. Psychological services
6
will follow up with these individuals monthly."
7
: Yes.
8
"Code three are more severe
9
cases, and they are seen every week by
10
psychological services, to ensure the inmate is
11
stable. If the inmate isn't stable in general
12
population, they will be moved to observation.
13
If they continue to deteriorate, they will go
14
to the hospital."
15
: We will try to send them to a
16
BOP medical center. Or we will try to
17
stabilize them in the facility. We have a
18
psychiatrist who is actually, he is a central
19
office psychiatrist, but he was actually
20
located at MCC New York. So, if they started
21
to decompensate the interview, and they were
22
that acute, we would have the psychiatrist see
23
them, and potentially medicate them, and try to
24
stabilize them at our facility. If we cannot
25
do so, then we will try to do an emergency,
EFTA00058698
15
1
what is called a 770, and have them designated
2
to one of our medical centers for
3
stabilization. We don't have a contract with
4
the hospital here in New York.
5
: I don't know if you - what's
6
- what decompensating means?
7
: Oh, that means that their
8
symptoms become more acute, their mental health
9
functioning is deteriorating to the point where
10
they display evidence of either severe mood
11
symptoms, like acute mania, or psychosis, where
12
they are actively hallucinating, or have
13
delusions. Or maybe they just stopped taking
14
care of ADLs, as well.
15
: Okay.
16
: And that would cause harm to
17
them. Because of their illness.
18
: Thank you.
19
: Okay.
20
: Do you have any questions on
21
that? Okay. "Code four inmates are seen every
22
day by psychological services, and are under
23
constant psychological observation."
24
: Mm-hmm.
25
pointed out that
EFTA00058699
1
a code one can be on suicide watch. Often
2
times, those cases involve manipulation
3
techniques used by inmates to get what they
4
want from staff. For example, if an inmate is
5
not getting along with the guard, or they want
6
a new cellmate, they will claim to be suicidal
7
to get out of their housing area. If an inmate
8
does this two or three times, they will be
9
bumped to a code two, so that a psychologist
10
will meet with them monthly. Suicide watch
11
means an inmate is eminently suicidal. If an
12
inmate is placed on suicide watch, they are
13
under constant watch by staff. They have a
14
special mattress, blanket, and smock to wear.
15
And their cell lights are on 24/7."
16
: Correct.
17
"Suicide observation is
18
lower classification."
19
: Psychological observation.
20
: Correction. "Psychological
21
observation is a lower classification. It is
22
not at all Bureau of Prisons facilities.
23
Everything is the same with suicide observation
24
inmates - psychological observation inmates,
25
except that they are allowed to have their
EFTA00058700
17
1
clothing, and some materials, such as books.
2
Suicide watch can be detrimental if a person is
3
left on it for too long. So, observation is
4
used to see how an inmate is doing before
5
releasing them back to general population."
6
: Correct. So, psychological
7
observation, they are observed constantly, with
8
regard to what they have, they can obtain.
9
They can have those things that you listed.
10
But we have to determine, and sometimes it
11
might be one thing at a time. Like, we might
12
give them their underwear, and see how they do
13
with that. And then, we will, you know, give
14
them a book. But it's not like once you get
15
stopped down, you get all of those items.
16
: Okay.
17
: Okay. It's determined by a
18
psychologist, and it is notated on their
19
logbook, what they can and cannot have.
20
: Okay. "Any psychologist at
21
jail can take an inmate off suicide watch, but
22
they do consult with
on occasion.
23
Many times, the executive staff at the jail
24
meet, and inmate psychological status and
25
services are discussed."
EFTA00058701
1
2
: Yes.
: Can you explain to us a
3
little bit more about the meeting? What
4
exactly is discussed?
5
: Yes. So, we have, like,
6
Mondays, we have an opening meeting, and
7
Fridays, we have a close out meeting. And
8
Tuesdays, the days may have changed from then
9
to now. I think it used to be Thursdays, used
10
to be a SHU meeting. And so, certain members,
11
all the members of the executive staff are
12
there. And then, certain department heads
13
attend these meetings. And during the
14
meetings, they will ask me, you know, is there
15
anything for psychology.
16
And then, I will discuss the inmates that
17
are on suicide watch. And what my plans is for
18
those inmates. Or if we were discussing the
19
Special Housing Unit, I'll discuss inmates that
20
I feel need to be observed closely. Should
21
have cellmates. Or may suffer from mental
22
health problems that I feel we just need to
23
keep an eye on, or make sure they are in more
24
visible, highly visible cells. Any mental
25
health concern I have in the SHU, I would
EFTA00058702
1
mention at the SHU meeting.
2
: Okay. Anything else?
3
: Yeah. I mean, do they
4
have input into psychology? Like, does the
5
executive staff, do they get to provide
6
recommendations, or ask, you know, can this
7
person be taken off, or this person taken off,
8
or this person taken on, or is it -?
9
: Well, we make the decisions
10
as far as, we're the only ones that make the
11
decisions whether someone goes on watch, or off
12
watch.
13
: Right.
14
: They may, you know, not agree
15
or whatever, but that's our decision because
16
that is our profession.
17
: Right.
18
: But with regard to the
19
logistics in the prison, and how, where the
20
inmates are housed, and things like that. We
21
will make suggestions to executive staff.
22
: Okay.
23
: A lot of times - and most of
24
the time - they do listen to psychology. There
25
may be times they disagree for maybe
EFTA00058703
20
1
correctional reasons that, you know, they may
2
have their own ways of viewing where they
3
housed someone. Maybe there will be an inmate
4
up there, or too many that they are separated
5
from, or maybe they are a gang member. I mean,
6
there may be other reasons why they can't
7
follow our recommendations.
8
And so, there might be exceptions to that
9
rule. So, now, pretty much what we do is, if,
10
like, let's say we have to house somebody alone
11
in SHU. We have to - we put whether we
12
recommend or not recommend. Now, we do that.
13
And I never recommend an inmate be single
14
celled. Ever. So, if they decide, that's on
15
them. And usually, it's because an inmate may
16
be too violent, or may be sept out from all
17
other inmates in the facility because they are
18
so, in all these gangs, and they are
19
cooperating.
20
And there is just too many bloods, let's
21
say, and there are blood, and they may have to
22
be by themselves, or they may have assaulted
23
other inmates, or officers, and they just can't
24
be celled with somebody. For whatever reason.
25
Or the U.S. Attorney's Office has said this
EFTA00058704
21
1
person needs to be by themselves. We're afraid
2
for their life, at that facility. So, I'm
3
never going to recommend somebody be by
4
themselves because it's never a good idea. But
5
there might be extenuating circumstances where
6
someone needs to be housed alone, and in that
7
case, you know, we would recommend an increase
8
rounds, or, you know, keeping an eye on that
9
inmate.
10
: Now, as far as I
11
understand, what you are talking about is when
12
they come off of psychological observation or
13
suicide watch, but when they actually go in and
14
come off of both suicide watch and
15
psychological observation, do they get to
16
provide an input into that, or is that solely a
17
psychology issue?
18
: Whether they come off?
19
: Go in or come off.
20
: No. Just a psychology.
21
: Okay. So, they don't
22
have any input into that?
23
: No.
24
: Okay.
25
: I mean, they may make some
EFTA00058705
1
statements, but if we don't agree,
2
: Yeah, that's your
3
: -- those decisions are up to
4
us.
5
: Okay.
6
: Yes.
7
: Thank you.
8
: Just a question, as a follow
9
up. You said that sometimes you might make
10
recommendations on housing an inmate by
11
themselves, based on a threat or whatever it
12
is. So, my understanding, based on that
13
statement, is that means every inmate is housed
14
with a cellmate, unless specifically
15
recommended by psychology, that they be housed
16
by themselves?
17
: Never by psychology.
18
: Yeah.
19
: Psychology
20
: That's (Indiscernible
21
*00:17:38).
22
: -- is always going to
23
recommend.
24
: Recommend.
25
: Yeah.
EFTA00058706
23
1
: A cellmate. But there might
2
be custodial issues.
3
: Okay.
4
: Which preclude them from
5
being housed with another inmate.
6
: So, any inmates that has a
7
history of possibly having suicide watch, or
8
any, or psychological observation, psychology
9
recommends that they be - recommends that they
10
be housed with a cellmate.
11
: Yes.
12
: Now, psychology --
13
: Okay.
14
: -- always they be housed
15
with a cellmate.
16
: Right.
17
: It's the custody may say
18
that they want them with a single cell.
19
: Got it.
20
: Correct?
21
: Correct.
22
: Thank you. "Meetings are
23
held on Mondays, Thursdays, and Fridays.
24
Generally present at those meetings are Dr.
25
, the warden, two associate wardens, the
EFTA00058707
24
1
captain, supervisory attorney, duty officer,
2
and the executive assistant. Department head
3
meetings are held on Wednesdays.
4
(Phonetic Sp. *00:18:27)?"
5
: Mm-hmm.
6
"Completed the PSIQ for
7
Jeffrey Epstein on July 8, 2019. Epstein did
8
not mark anything on his PSIQ. And had it not
9
been Epstein, he would have been sent to
10
general population, and rated a care code one.
11
consulted with Dr.
12
about Epstein's risk factors, aside from his
13
psychological health, including high-profile
14
case and sex offense charges." Who is Dr.
15
16
: He was the suicide prevention
17
coordinator in central office. Now, he has
18
been moved up to a higher position, but he is
19
in central office, and he called me right away,
20
when Epstein came, because of his risk factors.
21
We call those static risk factors. Those are
22
risk factors for suicidality that can't be
23
changed. So, in other words, if you come in
24
and you are a sex offender, and you are high-
25
profile, like Jeffrey Epstein was, that is
EFTA00058708
1
going to take place throughout his
2
incarceration.
3
It is not like he would just come in
4
depressed; we could give him medication; he
5
could get better. Those factors would always
6
be there. So, you know, he was concerned.
7
Also, when he came to the facility, that we
8
should keep, you know, a close eye on him.
9
And, you know, he was reviewing our notes and
10
everything, from afar. So, he did call us when
11
he was placed on watch and everything, and he
12
oversaw.
13
: Okay.
14
: So, he has access to your
15
notes? Does that go into some kind of a
16
database?
17
: Yes. The psychology data
18
system.
19
: Okay.
20
: I don't know if he reviewed
21
the notes, but he called -. I'm trying to
22
remember. I remember him calling me and just
23
being in touch with me. You know, is
24
everything okay? And, you know, making sure we
25
assessed certain things.
EFTA00058709
26
1
: Okay. So, all throughout
2
Epstein's stay, he was kind of reviewing your
3
notes, and --
4
: Uh-huh.
5
: -- his status.
6
: Or calling me and checking
7
in.
8
: And who would have access
9
to that database, in those notes?
10
: All the psychologists in the
11
department. Central office personnel would
12
have access to it. Other psychologists at
13
other institutions can access the notes
14
because, let's say he was transferred to
15
another facility, and they wanted to see his
16
notes from the BOP. They would have access.
17
: Okay. And when you say
18
central office, you're talking about just
19
psychology central office, or do you mean
20
everyone that is -?
21
: Yeah.
22
: So, only --
23
: Psychology.
24
: -- only psychology --
25
: As far as --
EFTA00058710
1
: -- personnel.
2
-- I know. Yes.
3
: Okay. So, no one outside
4
of psychology?
5
: Not that I know of.
6
: Okay.
7
: Because I don't work up
8
there. But I wouldn't think so.
9
: Great.
10
: Okay.
11
: You might have stated
12
already. I might have missed it.
13
: Okay.
14
: Did Dr.
make any
15
recommendations to you? Regarding Mr. Epstein.
16
: No. Just to keep a close eye
17
on, when I put him on watch. He just called
18
and just, he asked me various questions on how
19
he was doing, and everything like that. So, he
20
just wanted to make us aware that, you know, he
21
was very high-profile. I mean, obviously, we
22
knew that. But, you know, also to keep an eye
23
on him, and to keep us alert to his risk
24
factors.
25
: Okay. "When Epstein returned
EFTA00058711
28
1
from court that day,
ordered he be
2
placed on watch status, to allow psychology to
3
make a complete - to complete a thorough
4
suicide risk assessment." Is that correct?
5
: Right.
6
: Okay.
7
: And that was on
8
: And that was precautionary.
9
: -- okay.
10
: Because of his risk factors.
11
I wanted him assessed. So, I remember he was
12
placed on watch, and he was waiting for me to
13
come in and do his interview. And, you know, I
14
came into the watch area, and he was, like, are
15
you
? And he's, like, get me out of
16
here. You know? Because he didn't endorse
17
anything. He didn't say he was suicidal. He
18
had just come from court, and he was just
19
waiting to come off of watch because, you know,
20
watch is very depriving, like we said, you
21
can't have anything there.
22
Like, not even clothes. It's just
You
23
know, so, for him to be put in that situation.
24
He was really unhappy about it. And then, you
25
know, I explained, it was for his safety, and
EFTA00058712
29
1
2
3
4
precautionary, and I just wanted to make sure
he was, he would be celled appropriately, and
that he was okay. So, it wasn't that he had
endorsed anything, or said he was suicidal. It
5
was strictly precautionary.
6
: And that was --
7
: When he first came in.
8
: -- yeah. That was July
9
8th, 2019?
10
: Yes.
11
: Just --
12
: Yes.
13
-- for the record. Okay.
14
completed the
15
suicide risk assessment the next day. Epstein
16
was angry he was placed on observation, but he
17
continued to report no history of -", suicide-
18
aly?
19
: Suicidality.
Yeah. Yeah.
20
: Suicidality. "No substance
21
abuse. No major medical concerns. And no
22
overt risk factors. Epstein was polite, but
23
annoyed with
."
24
: True.
25
: "Epstein was kept in
EFTA00058713
1
observation, pending a suitable housing
2
placement, given his risk factors of being an
3
alleged sex offender. High-profile, and having
4
one living brother relative. She quoted
5
Epstein as saying, `Being alive is fun.'
6
believed it was a genuine statement."
7
Is that accurate?
8
: A what?
9
: A genuine --
10
: Genuine.
11
-- genuine statement.
12
: Yeah.
13
: Okay.
provided
14
the interviewing agents with a copy of the
15
suicide risk assessment, which was placed into
16
this case as reference three. On July 10th,
17
2019,
met with Epstein in
18
observation. Epstein was still in observation,
19
due to housing concerns. He continued to be
20
psychologically stable at that time. Epstein
21
was aware, even if he got bail, he would be at
22
MCC for several more weeks." That statement,
23
"Epstein was aware even if he got bail." Was
24
your understanding that he was going to get
25
bail?
EFTA00058714
31
1
: If I recall, I remember he
2
was hopeful. Now, I don't have my notes in
3
front of me, so I don't want to swear to what
4
was in each note --
5
: Yeah.
6
: -- because when I don't have
7
them in front of me, but from my recollection,
8
yes, he was hopeful that, you know, he would be
9
able to get out of jail.
10
: Okay. So, based on
11
: At that time.
12
: -- your conversations with
13
him, he was expecting - hopeful - to get bail -
14
15
: Yes.
16
-- from being -. Okay.
17
"Epstein made several demands and voiced many
18
complaints to
, which she passed onto
19
executive staff." What kind of demands?
20
: I remember a lot of, like,
21
even his laxative, like, he wanted Colace
22
(Phonetic Sp. *00:24:50), and he didn't like
23
the laxative he was getting. And, you know, he
24
just made a lot of demands. I would have to
25
refer to my notes, but it was just --
EFTA00058715
1
: Okay.
2
: -- you know, individual, his
3
individual needs. Things that he wanted.
4
: What about --
5
: You know?
6
complaints? It mentions
7
that he voiced many complaints, also.
8
: Maybe that he was on watch.
9
I mean, I remember he didn't want to be on
10
there to begin with. Things about the jail, in
11
and of itself, I guess he wanted, I remember
12
him wanting to go to the Cadre unit (Phonetic
13
Sp. *00:25:23), because at that time, we had
14
Paul Manafort (Phonetic Sp. *00:25:25) there.
15
: Okay.
16
: And he wanted to be - he knew
17
those people were in the prison - so, he wanted
18
to go be placed on a Cadre unit, which are
19
inmates that have already been sentenced, and
20
are serving small amounts of time.
21
: Okay.
22
: At which we couldn't put him
23
in, because he was pre-trial. But he wanted to
24
be with, like, other inmates he knew that were
25
there, that were more high-profile.
EFTA00058716
1
: Okay.
2
: I remember him complaining
3
about that.
4
: Anything else on that?
5
: We have all of your notes
6
and the notes, you know, from psychology.
7
Would you want those for while we are
8
discussing, or do you think they are not
9
needed?
10
: Well, if there is anything
11
think --
12
: Okay. Just let us --
13
: -- you know, I have a pretty
14
good --
15
: -- know if --
16
: -- memory.
17
: -- sure.
18
: But I mean, if you are going
19
to ask me on this exact date, did he say this
20
exact --
21
: Absolutely.
22
: -- then I would need my
23
notes.
24
: No. I just --
25
: Yeah.
EFTA00058717
1
:
I just --
2
: Yeah.
3
: -- wanted to know if you
4
would actually prefer them in front of you.
5
So, while we are talking, you can reference
6
them. Because if you can, we could easily get
7
them for you.
8
: Okay. I will see how the
9
questions --
10
: Sure.
11
: -- proceed. And if I am
12
uncomfortable with one, I will let you know.
13
Yeah.
14
: Absolutely.
15
: Okay.
16
"Epstein's cellmate for the
17
Special Housing Unit was decided by the warden
18
and the associate warden.
was not
19
included on that decision. Her thought was
20
decided upon cellmate, Tartaglione, had a -."
21
Sorry. I don't know if that wording is wrong.
22
"Her thought was decided upon cellmate,
23
Tartaglione, had a lot to lose -."
24
: Just before we go on.
25
So, you said that it was decided by the warden
EFTA00058718
35
1
and the associate warden. Do you know what the
2
names are of those individuals? Like,
3
would be the warden.
4
was the warden.
5
: Do you know who the
6
associate warden was?
7
: I don't know who, but I know
8
he meets with the associate wardens. I don't
9
know which one. I know
was there
10
during that period of time. And I'm trying to
11
remember the other one.
12
: Was it
13
: Yes. Yes. No.
took -.
14
Yeah.
15
: I don't know if
was
16
17
-'
18
: -- there that early.
19
-:
came after.
20
: Yeah. I think it was a
21
different AW.
22
: Who was before
23
That's crazy.
24
: But regardless, they were
25
the ones --
EFTA00058719
1
: Yeah. They --
2
okay.
3
: -- they make the housing
4
decisions.
5
: Okay.
6
: You know, and who they felt
7
he should be placed with.
8
: And then, let me just
9
read that sentence for you --
10
: Yeah.
11
: -- so that -. It says,
12
"Her thought was the decided upon cellmate,
13
Tartaglione, had a lot to lose given his
14
history and charges, which made him a low-risk
15
to Epstein."
16
: Right. I guess that was more
17
of an opinion.
18
: Mm-hmm.
19
: You know, because my thought
20
was the reason they placed him with that inmate
21
is, you know, he is facing the death penalty or
22
life. Tartaglione. For these alleged murders.
23
And when you are pre-trial, and you are in that
24
situation, you are on your best behavior, and
25
not looking to hurt somebody, and get yourself
EFTA00058720
1
into more trouble.
2
: Okay. So, he was
3
: So, a lot of times --
4
: -- he was facing --
5
yeah.
6
: -- life in prison?
7
: Yeah.
8
: Okay.
9
: I think he was facing the
10
death penalty.
11
: Was he? Okay. And c.c,
12
you know what he was --
13
: I don't know what his
14
situation is now. I know his attorney, you
15
know, fight, has been fighting for him for a
16
long time.
17
: Okay.
18
: You know, to I think not get
19
the death penalty.
20
: And do you know if,
21
anything else about him? Was he law
22
enforcement --
23
: Yes.
24
: -- or anything? Okay.
25
: He was law enforcement, and
EFTA00058721
38
1
it was some drug related thing, and there was
2
four bodies, I think, and I don't know that
3
much about his case. I have met with him on a
4
couple of occasions.
5
: Okay.
6
: But, you know, he doesn't
7
come off as being, you know, he's not, like, a
8
gang member, or violent, or trying to prove
9
anything, per se.
10
: So, his goal was to stay
11
clean and to do what was right, so he could
12
potentially beat his case?
13
: That's what most people do,
14
pre-trial.
15
: Right.
16
: You know, it's not until they
17
go to pens that they become that way, unless,
18
you know, you are very young and antisocial,
19
you will act out.
20
: Right.
21
: But -.
22
: So, just to clarify, he was
23
pre-trial, or was he already facing a life in
24
prison?
25
: Yeah, I think he was --
EFTA00058722
39
1
: You said life in prison, and
2
death penalty?
3
: -- he was still pre-trial.
4
They both were pre-trial.
5
: Okay. So, he was trying to
6
avoid the death penalty
7
: Yes.
8
: -- and trying to get life in
9
prison?
10
: Right. Or maybe just get off
11
all together.
12
: Got it.
13
: Yeah.
14
: Okay.
15
: In his mind, he felt he could
16
get off all together, but that is unrelated,
17
but
18
: Okay. Thank you. "On July
19
11th, 2019, Epstein was taken off of
20
observation, and housed in the SHU.
21
met with Epstein in the attorney conference
22
rooms that day, because Epstein was there all
23
day. Both Epstein and his attorney were
24
mocking
for thinking Epstein was
25
suicidal. Epstein continued to make demands,
EFTA00058723
40
1
such as wanting to wear a brown uniform to his
2
attorney meetings.
continued to
3
pass those concerns onto the SHU Lieutenant
4
5
: I think so.
6
: Okay.
7
: Yeah.
8
"On July 16th, 2019, after
9
Epstein's bail hearing, he was called for," or,
10
"he called for
to come to attorney
11
conference. Epstein didn't report any
12
psychological concerns, but chastised her
13
because his needs weren't being met. Dr.
14
felt Epstein thought of her as his
15
personal assistant. Epstein requested a kosher
16
diet, which she again passed on."
17
: Wait. Before we go on.
18
It says he chastised you because his needs
19
weren't being met.
20
: Okay. Well, this is, he, you
21
know, while he was on watch, and when I would
22
talk to him, he would tell me all these
23
different things that he wanted. Like I said,
24
the special laxative. A certain diet. Certain
25
housing arrangements. You know, he had a lot
EFTA00058724
41
1
of requests. And I guess, in the beginning,
2
you know, I tried to help him as best as I
could, and when I say personal assistant, I
don't really like that word. But what I was
really trying to say is that the officers would
say he would always say, where is
where is
? You know, that, so that I
could, maybe I had pull and could get certain
needs for him met, within the prison setting.
Mm-hmm.
: So, let me put it that way.
It sounds a little better than that. And then,
3
4
5
6
7
8
9
10
11
12
13
14
15
16
17
18
19
20
21
22
23
24
25
you know what? I wanted to follow up with him,
and do a session, but he was in attorney
conference, like, eight hours a day, during my
entire shift. So, I would have to go up there
just to check on him, and make sure he was
doing okay. So, when I would ask if he was
suicidal, he would be, like, I was never
suicidal, and, you know, he would laugh, and
the attorney would laugh at me. You know, so,
it was just kind of - that's what I meant. And
then, when he would chastise, he would become
angry.
: Right.
EFTA00058725
42
1
: You know, because he was very
2
demanding and entitled. So, if he got angry
3
when his needs weren't met, because he was used
4
to that kind of lifestyle, I assume. You know,
5
in the outside where, you know, at the snap of
6
his finger, he could have certain needs met.
7
And in the prison, it didn't work that way.
8
: And just so we are clear
9
10
: Right.
11
: -- when you say "needs,"
12
they are not actual needs that a person would
13
need. It's his wants, I guess, would be --
14
: Yes.
15
: -- better.
16
: Yes.
17
: Because did he have --
18
: Okay.
19
: -- did he have
20
: Okay.
21
: -- everything that he
22
needed?
23
: He had everything that basic
24
inmates had.
25
: Okay.
EFTA00058726
43
1
: I guess one where
2
psychologists refer to, you know, people engage
3
in certain behaviors to get their needs met.
4
So, their wants and needs. So, yeah.
5
: Okay.
6
: Wants.
7
: But do you believe that
8
he had everything he needs? Like , he needed.
9
: Yes.
10
: Okay.
11
: For the most part. I mean, I
12
know he wanted a CPAP machine while he was on
13
watch. And I was, like, no. Because there was
14
cords, and things like that. So, you cannot
15
have your CPAP machine. And he wanted to get
16
off of watch at the end, because he wasn't
17
sleeping well, and he said he had sleep apnea,
18
and he wanted his machine. So, I wasn't going
19
to take him off until I felt he was ready, or
20
give him that, until he was off of watch.
21
: Okay.
22
"On July 18th, a SHU review
23
was attempted on Epstein, but he was not seen
24
because he was in attorney conference. On July
25
23rd, 2019,
received a phone call
EFTA00058727
44
1
regarding Epstein, because he was found in his
2
cell with a loose noose around his neck, and
3
had been placed on suicide watch. She ordered
4
a suicide risk assessment be completed on him.
5
Dr.
." Is that -? Did I -? "Completed
6
the suicide risk assessment later that morning.
7
During the assessment, Epstein told Dr.
8
he did not remember what happened. He
9
denied suicidality. Had future plans. And he
10
wanted to learn. He wanted to fight his case.
11
And he was acting like a big kid. Dr.
12
learned that Epstein had told staff that his
13
cellmate, Tartaglione, had tried to kill him.
14
Dr.
kept Epstein on suicide watch." What
15
was your understanding, and did you have a
16
conversation with Epstein, after that point,
17
about his interaction with Tartaglione? What
18
exactly transpired --
19
: Yes.
20
: -- on that incident?
21
: And that was the issue.
22
mean, he never retracted that statement.
23
mean, he said that he thought he was a
24
pedophile, and that he had taken this piece
25
I don't know if it was a piece, or a piece of
EFTA00058728
45
1
cloth, or whatever. And went like this around
2
his neck. And -.
3
: Now, he told you this?
4
: Yes. He told my staff that,
5
as well.
6
: So, he told both you and
7
your staff?
8
: Yes. I had seen him
9
subsequently. Again, I don't have my notes in
10
front of me --
11
: Sure.
12
: -- but I remember him telling
13
me that. So, at that point, when we were doing
14
the suicide risk assessment, and Dr.
was,
15
we had to conceptualize what actually happened.
16
You know, whether this is something he
17
inflicted on himself, and you know, the
18
reasonings why he would do something like that.
19
Or whether it was there was indeed an assault
20
of some form. And so, then, you know, it was
21
referred to SIS, too. So, he wasn't ever
22
really forthright on what occurred, while he
23
was on watch that time.
24
: Did you ever believe - based
25
on your conversations with Mr. Epstein -.
EFTA00058729
46
1
Sorry. I'll just end that. Based on your
2
conversations with Mr. Epstein, did you believe
3
what he stated, in terms of Tartaglione trying
4
to kill him?
5
: Honestly, I did not know what
6
to believe at that point. So, my mind was
7
opened that there were potentially three
8
things, different things going on, and a 33
9
percent chance of it being any one of those
10
things. Because you don't know what happens
11
behind closed doors, in the SHU, or whether
12
they did have a disagreement.
13
: You know what? It actually
14
goes into your hypothesis --
15
: Yes. Okay.
16
: -- let me read that --
17
: Okay.
18
: -- and maybe you can state
19
: Okay.
20
: -- if that's right. "Dr.
21
had three hypotheses, in no particular
22
order, regarding this incident, of what this
23
incident meant. One) it was gamey by either
24
Epstein, Tartaglione, or both. Meaning, there
25
was something they wanted, and they weren't
EFTA00058730
47
1
getting. So, this is how they were going to
2
play the system to their advantage. Two) it
3
was rehearsal by Epstein, who really was
4
suicidal. Three) it was an assault committed
5
by Tartaglione." Was that the three? That is
6
your three hypotheses?
7
: Yes.
8
: Was there any one of those
9
that you were leaning towards?
10
: At that point, I didn't know
11
because --
12
: Okay.
13
-- you know, he was just
14
placed on watch. The SIS investigation hadn't
15
taken place. I had -. There was enough
16
evidence it could have been any one of those,
17
because the phone call I received in the
18
morning, when he was placed on watch, the
19
lieutenant at that time had told me it was
20
She was, like, this doesn't - because they have
21
been around a while - this isn't a real thing.
22
It was like a little string, and, you know, he
23
was, he seemed fine.
24
And then, when I turned around, he would
25
be rocking back and forth. So, she, you know,
EFTA00058731
48
1
at that initial time, it almost looked a little
2
gamey. Like, that maybe he just went like this
3
with a piece of string, at that point. He had
4
lost his bail. I'm sorry.
5
: No problem.
6
: Let me just turn off my
7
phone. At that point, he had lost his bail
8
hearing. The judge denied him -. I'm sorry.
9
: Bail.
10
: The judge denied him bail.
11
: So, right before the
12
23rd, the judge denied him bail, and then this
13
happened?
14
: Right.
15
: Okay. So --
16
: So, there is, that is the
17
gamey piece. I mean, if you want my
18
conceptualization, that, you know, that maybe
19
he did, you know, this sends a message, I can't
20
take jail, put me on house arrest. I'm either
21
going to hurt myself or someone else is going
22
to hurt me. Get me out of here. Because he
23
came in very entitled. Like I said, he had a
24
lot of money. He was meeting with his
25
attorneys every day.
EFTA00058732
49
1
He had a lot of money at that point. It's
2
not like he had lost trial. And Tartaglione
3
had a lot to gain, to save a life, because he
4
is facing life. You know, when you get a
5
letter that you save someone's life, that's
6
helpful in your case. I'm not saying that's
7
it, but I mean, I'm just trying to think of
8
hypotheses. So, that was where the gamey stuff
9
came in. That was the gamey piece.
10
The report from the lieutenant, the gains
11
that both of them could have by this behavior.
12
Could that be why that happened? Number two.
13
He is genuinely upset, and he was, it was a
14
rehearsal behavior, and perhaps he really
15
wanted to hurt himself. So, we need to be
16
cautious. So, it could be the gamey thing. It
17
could be the cautious thing. Or maybe Epstein
18
and Tartaglione had it out that night, and he
19
said something pompous or whatever, and the
20
other one got upset, and he did, you know, put
21
the rope around his neck, and that really
22
frightened Epstein, and that is why he went
23
into, like, this fetal position.
24
Maybe he was scared. You know, could it
25
have been any of those? And subsequently, I
EFTA00058733
50
1
think one of his attorneys was convinced that
2
Tartagliione had assaulted him. Not because, I
3
guess he told his attorney the same attorney.
4
So, it could have been any -. I say 33 percent
5
chance it could have been any of those things.
6
: Now, I understand that
7
that's what you thought --
8
: Yeah.
9
: -- on the 23rd. Did that
10
33 percent chance change, after time, that you
11
believed it was one over the other?
12
: I never knew.
13
: No?
14
: I mean, I never --
15
: So, you still --
16
: -- knew.
17
: -- thought that they were
18
all equally plausible?
19
: Well, I guess towards the end
20
of watch, I thought the assault wasn't as
21
plausible. Because that he really wanted to
22
hurt Epstein, because later on, Epstein was
23
saying he would go back and cell with him. So,
24
why would you want to go back and cell with
25
somebody that was trying to hurt you? So, but
EFTA00058734
51
1
again, I didn't do the SIS investigation. So,
2
and I never was privy to it.
3
: Mm-hmm.
4
: So, I don't know what the
5
findings were. But after that, that made that
6
one less plausible. So, made the other two
7
more plausible, at that point in time, which
8
was either it was a rehearsal behavior, or two)
9
it was a game - it was gamey - to get him out
10
of jail because he was just denied --
11
: Who did he
12
bail.
13
who did he make that
14
request to? That he wanted to go back within
15
the cell with Tartaglione? Was that to you
16
directly, or -?
17
: I think he might have
18
mentioned something like that, because when I
19
was trying to figure out where to house him
20
later, I remember him mentioning that to me. I
21
don't know if I put it in a note or not.
22
: Mm-hmm.
23
: Okay.
24
: But yeah. So, I began to
25
think that that was - it was less -. Why would
EFTA00058735
52
1
you want to go back in a -? But maybe he's not
2
thinking clearly. I don't know. But that made
3
me feel less about that. When he said that.
4
: Mm-hmm.
5
: Anything else on that?
6
: Now, being that he just
7
lost bail, had you heard that Tartaglione was
8
actually the one that notified the SHU staff
9
that there was an issue with Epstein, and that
10
is what made them respond to the cell? Had you
11
heard that?
12
: I mean, I had heard that he
13
called out.
14
: That's what I mean.
15
: Yeah. I had --
16
: So --
17
-- I had heard that.
18
: -- with those --
19
: But I don't -.
20
: -- factors in play, does
21
that make you believe that, you know, aside
22
from the fact that he wanted to go back with
23
Tartaglione, you know, at the end of his watch,
24
or observation, does that also make you think
25
maybe it was less likely that he attempted to
EFTA00058736
53
1
harm him, or does that play into your decision?
2
: Still, those two, I just will
3
never know. At that --
4
: Okay.
5
-- for that particular
6
circumstance. Was it, you know, a pact between
7
them, or maybe it wasn't even Tartaglione
8
trying to get any gain. Maybe it was Epstein
9
trying to call attention to himself, so that he
10
could be - so that he could go back to court,
11
and get that bail, and that they would feel
12
like he wasn't safe there.
13
: Right. I guess --
14
: And let him go home.
15
: -- my question maybe --
16
: Yeah.
17
: -- wasn't that clear.
18
: Yeah.
19
: So, I think you used the
20
example that Epstein, after he was coming off
21
of observation, and you were looking to see
22
where he was going to be housed, or who he was
23
going to be housed with, he mentioned that he
24
was going to go, you know, he would be willing
25
to go back with Tartaglione, and that was the
EFTA00058737
54
1
reason why you thought, maybe, that one of the
2
three was probably less likely.
3
: Yes.
4
: What I'm saying is, do
5
the factors that Tartaglione called out to the
6
staff to say something is going on with
7
Epstein, come check him out, does that also
8
play into that, or no, you just placed that
9
simply in those other two, that -?
10
: Simply in those other two.
11
And that --
12
: Okay.
13
: -- that, I don't know what to
14
make of that.
15
: Okay. Sounds good.
16
: Whether it was going to be
17
something to help, whether he really was
18
worried about Epstein.
19
: Okay. I'll never know,
20
and -.
21
: Sounds good.
22
: This may not be something
23
that you might know. It's more towards health
24
services, but maybe you had a conversation with
25
health services. Do you know if they ever
EFTA00058738
55
1
medically examined him for any broken bones,
2
anything, kind of damages? Just, I know he had
3
here, the ligature mark on his neck, right
4
after the July 23rd incident.
5
: Mm-hmm.
6
: Was there any -? Did they
7
examine him? Like, do you have an xray, MRI,
8
anything for broken bones in his neck?
9
: That --
10
: Any kind of injuries?
11
:
I don't know.
12
: Okay.
13
: That, I don't know. You
14
would have to look in BEMR. Yeah. For that.
15
: In where?
16
: BEMR. B-E-M-R. BEMR.
17
: What's that?
18
: That's the medical record.
19
: Okay.
20
: Well, we have that.
21
: Okay.
22
: But as far as when you
23
are meeting him, though, at that time, did you
24
notice any injuries on him?
25
: Just the mark.
EFTA00058739
1
: Just the mark.
2
: On the back of his neck.
3
Like -.
4
: Do you remember if he was
5
complaining about any potential broken bones,
6
or collar type issues, or anything?
7
: No.
8
: No?
9
: No.
10
: Okay.
11
"On July 24th, 2019, Dr.
12
met with Epstein. Epstein reported he
13
was fearful to return to his cell with
14
Tartaglione because Tartaglione had called him
15
a pedophile. Epstein reported Tartaglione had
16
put - had been playing with the bedsheet before
17
Epstein fell asleep. And then, next thing
18
Epstein remembered, he was waking up snoring.
19
Epstein denied being suicidal, and reported
20
being unhappy with this legal situation. He
21
had been eating, drinking, and sleeping. Dr.
22
took Epstein off suicide watch, and
23
placed on psychological observation."
24
: Now, on that, when the
25
inmate goes from suicide watch to psychological
EFTA00058740
57
1
observation, is the executive staff conferred
2
with?
3
: Yes.
4
: They are? And do they
5
provide an opinion on that, or was it just to
6
let them know?
7
: No. We just let them know.
8
: Just to let them know.
9
Okay. So, they don't have to say, oh, yes, we
10
agree, or please keep him on suicide watch, or
11
anything like that?
12
: If they feel that way, they
13
can express it, and we will keep it in mind,
14
though, and again, we make those decisions.
15
: Okay.
16
: Okay.
17
: Now, being that this is July
18
24th, the next day, and he had possibly tried
19
to hang himself --
20
: Mm-hmm.
21
: -- on July 23rd, and they
22
took him off - Dr.
takes him off suicide
23
watch and places him on psychological
24
observation. Is that normal practice?
25
: Yeah, because psychological
EFTA00058741
58
1
observation is, he's in the exact same cell,
2
he's being constantly observed. She spent a
3
long time with him. I think she interviewed
4
him, like, over an hour, an hour and a half.
5
And she just felt that there was no eminent
6
risk of at that time. Like, while he was in a
7
suicide watch cell, he wasn't going to do
8
anything to harm himself. So, we stepped him
9
down. I think maybe gave him a -. I don't
10
know if she gave him underwear, or gave him
11
something, so that he was more comfortable.
12
So, it wasn't so depriving. Because he kept
13
adamantly denying wanting to harm himself.
14
And, you know, she came and talked to me. I
15
didn't sit in that interview because she's a
16
licensed psychologist, and she felt it was safe
17
to step him down, because he would still be by
18
himself in that cell, constantly observe with
19
the lights on all night. Nothing would have
20
changed.
21
: So, I guess --
22
: So.
23
: -- what he wants to know,
24
though, is, was that normal? Is that normal
25
practice --
EFTA00058742
1
2
3
4
5
6
7
8
9
10
11
12
13
14
15
16
17
18
19
20
21
22
23
24
25
: Yeah.
-- for her to do that?
: We do that. I mean
Okay.
not all facilities have
the step down, the psychological observation.
Some people just have the suicide watch. And
then, they will give them privileges while they
are on suicide watch. But we have that, so, if
you want, because suicide watch is so strict,
that he couldn't even have a pair of underwear.
He couldn't, you know, have a piece of mail.
Nothing. So, we didn't feel he needed that
strict of supervision, but we still wanted him
constantly observed,
always step him back
behavior, because he
watched.
watch and
extremely
can give
we could
give him
to see, and we could
up, if he engaged in any
would be constantly
All right. So, suicide
psychological observation
similar.
similar.
a little
privilege.
give him
Very
more
a book to read.
are
Except that we
Like I said,
Or we could
a pair of - start with the underwear.
EFTA00058743
60
1
Or, you know, he could have toothpaste, and
2
give it back to brush his teeth. That type of
3
thing. It wasn't as strict.
4
: And at the MCC, when an
5
inmate potentially attempts to harm themselves,
6
how long are they typically on suicide watch
7
versus observation, before --
8
: Well, that --
9
: -- they (Indiscernible
10
*00:47:51)?
11
: -- depends on how the inmate
12
presents.
13
: Okay.
14
: I mean, I have had people on
15
suicide watch for long periods of time because
16
they can't verbalize any protective factors,
17
which would be reasons they have for wanting to
18
be alive at the time. Reasons they have to
19
live. Factors that we would look at to say,
20
hmm, there is more factors here that suggest he
21
wants to be alive, and that he has reasons to
22
be alive versus not. Versus risk factors.
23
So, at that time, he had verbalized enough
24
protective factors that Dr.
felt
25
comfortable stepping him down to psychological
EFTA00058744
61
1
observation. I don't have her SRA in front of
2
me, but if you read it, it would have his
3
reasons for wanting to be alive, his
4
presentation of not exhibiting any acute mental
5
health symptoms, not being depressed. So, she
6
stepped him down at that point.
7
: Okay. Now, do you know,
8
when they are on psychological observation, are
9
they allowed to have attorney visits?
10
: They usually consult with us
11
to see if we feel comfortable with that. And I
12
do allow it. A lot of times, as long as, you
13
know, there is a lieutenant present, or there
14
is an officer present there.
15
: Okay. And in this case,
16
do you know if Epstein was allowed attorney
17
visits while he was on observation?
18
: I don't remember.
19
: Okay.
20
: To be honest.
21
: So --
22
: I don't remember.
23
so, it's --
24
: It's very possible.
25
: -- okay. And do you know
EFTA00058745
1
if the institution was contacted by anyone,
2
such as Epstein's attorneys, or the judge,
3
asking that he be taken off of suicide watch
4
and placed on observation because he wasn't
5
being afforded attorney visits, or for any
6
other reason?
7
: No. I don't recall that
8
happening.
9
: Okay. And on that same
10
note, do you recall either the judge, an
11
attorney, or anyone from the outside,
12
contacting the institution when he was taken
13
off of observation and placed back in the SHU?
14
: I don't recall speaking to
15
any attorney about that.
16
: No, not you speaking with
17
them. But I mean, them contacting - I'm
18
assuming they would contact the warden.
19
: That, I don't know about.
20
: And the warden never had
21
that, or anyone, any of the executive staff, or
22
anyone had any conversation with you or staff,
23
saying, this is what we are getting from the
24
outside, the judge contacted us, or the
25
attorney, you know, the attorneys -?
EFTA00058746
1
: I don't know.
2
: No?
3
: Hmm-mm.
4
: So, that was - you don't
5
believe that was at all factored into the
6
taking off of suicide watch?
7
: Oh, no. It would never be
8
factored anyway.
9
: Okay.
10
: Yeah.
11
: So, regardless, if they
12
contacted you, that wouldn't be a factor?
13
: No. I mean, that wouldn't
14
They would never influence our decision.
15
: Okay.
16
: One way or another.
17
: Okay. Great.
18
: You mentioned before, when
19
somebody is taken off of suicide watch and
20
placed back in psychological, step down into
21
psychological observation, they are given back
22
one piece of item at a time.
23
: Well, no, sometimes it could
24
be more than one. It depends on the situation.
25
: Okay.
EFTA00058747
64
1
: But what I am saying is, when
2
you were reading the paper --
3
: Yeah.
4
-- it sounded like we just
5
give them everything. We make those decisions.
6
We may step them one at a time, if it is more
7
significant. We may give them a book. And a
8
pair of underwear. I mean, we may give them -.
9
It is just whatever, it is at the discretion of
10
the psychologists that interview them, on what
11
they are going to allow the inmate to have.
12
: Do you know how it worked
13
with Mr. Epstein? Was he given one item at a
14
time back -? One or two items, or was he given
15
everything back?
16
: I don't remember. I don't
17
think he was given everything back, initially.
18
That's for sure. But -.
19
: Okay. I'm going to keep
20
going.
21
: Yeah.
22
: "At that time,
was
23
not any clearer on which of her hypotheses
24
might have been true. Epstein could have been
25
using his charm to breed doubt about what
EFTA00058748
65
1
happened. Psychology had not been contacted by
2
Epstein's attorneys with concerns regarding his
3
mental health. On July 25th, 2019,
4
met with Epstein, who was in good spirits. And
5
greeted her by saying, `Welcome back.' Dr.
6
confronted Epstein on the attempted
7
suicide incident, in an attempt to get answers.
8
Epstein said he was baffled over it, and told
9
to give him some ques to help him
10
remember. He continued with his requests and
11
complaints, and did not want to go back to the
12
SHU. Epstein told
, `I have a life,
13
and want to go back to living my life.' Dr.
14
kept him on observation because her
15
questions had not been answered, regarding
16
their suicide attempt."
17
: Or the suicide attempt.
18
"Regarding the suicide
19
attempt."
20
: True.
21
: "After a conversation with
22
Dr.
, the national suicide prevention
23
coordinator from central office,
got
24
involved in Epstein's housing. Dr.
25
recommended housing Epstein with a sex offender
EFTA00058749
66
1
in SHU, which
passed on via email to
2
executive staff. On July -."
3
: Do you know which
4
executive staff you sent that to?
5
: No. I know I gave a bunch of
6
documentation, when I had my last interview.
7
There may have been an email. I don't remember
8
who --
9
: Sure.
10
: -- it was so.
11
: And did you concur with
12
his recommendation?
13
: Yeah.
14
: Great.
15
: "On July 26th, 2019, Dr.
16
met with Epstein. Epstein said he
17
needed to establish trust with
18
What did he mean by that?
19
: He kept saying this thing, if
20
you want -. It was this weird thing he said,
21
something. "If you want my trust, I have to
22
trust you." And that was trust that, if he
23
asked for certain things, that I would follow
24
through with those wants. You know, if I said
25
I was going to do something, I would follow
EFTA00058750
67
1
through with it type of thing. I just remember
2
that.
3
: Basically, he wanted you to
4
provide something, so he can reciprocate?
5
: Right.
6
: Basically, if you wanted
7
answers from him, you had to provide him with
8
9
: No.
10
: -- is that what -?
11
: It wasn't like that. It was
12
just - again, I probably would have to refer to
13
my notes for that one - but it was just a weird
14
thing that he used to say. Like, if you want,
15
if we want to have, like, this trusting
16
relationship type of thing, then, you know, I
17
have to trust that you are going to follow
18
through with your stuff, and you -. And then,
19
you can trust me. I don't know. It was
20
strange. I don't really know what he meant by
21
that.
22
: Okay. "He continued with
23
complaints and jokes, making reference to Dr.
24
being Jewish, like him. It is against
25
Jewish religion to commit suicide." Is that
EFTA00058751
68
1
something he mentioned, or is that a statement
2
from you?
3
: No. He joked about it one
4
time, in attorney conference. I didn't know
5
how he knew I was even Jewish, but he said
6
something to me, like, what's a nice Jewish
7
girl like you doing here? You know, working in
8
- or some comment like that.
9
: Okay.
10
: And --
11
: But it is against the Jewish
12
religion to commit suicide. But he didn't say
13
anything until that one time in attorney
14
conference.
15
: And you were in there, in
16
the attorney conference, with him?
17
: Well, because I went to go
18
check on him, remember, because I --
19
: Mm-hmm.
20
:
I know he was never in his
21
cell.
22
: Okay.
23
: He was never available.
24
: And he stated that?
25
: Yeah. He made, like, in
EFTA00058752
69
1
front of the attorney, like, a little, a little
2
joke.
3
: Okay.
4
: Like that.
5
: And just the way that it
6
reads in there, it doesn't say that he stated
7
it, or you stated it. It just says, "It is
8
against the Jewish religion to commit suicide."
9
So, just --
10
: Maybe --
11
: -- for context.
12
: -- that might have been in
13
one of our notes. I don't know if he mentioned
14
that. But --
15
: But he --
16
:
I don't --
17
: -- but he
18
:
I don't know where that
19
came from.
20
: -- but he said it to you
21
in the attorney conference? He was with you
22
: Yeah. He didn't --
23
: -- in the attorney
24
: -- say anything about it's
25
against the Jewish -. Oh, maybe he did. I
EFTA00058753
70
1
don't remember. He may have. He may have, in
2
a joking way, said something like that to me.
3
I don't remember, to be honest.
4
: Okay.
5
: I would have to see --
6
: Okay.
7
: -- if that is one of my
8
notes. Or if it is something that was just in
9
passing at attorney conference. I just
10
remember that one incident. About the Jewish
11
thing. Like, what's a Jewish girl like you
12
doing here? Or something.
13
: Okay.
14
"Epstein said he did not like
15
pain, and didn't want to hurt himself. Epstein
16
had been interacting with the companions
17
assigned to him regularly. On July 27th, 2019,
18
Dr.
met with Epstein, who was anxious
19
about going back to SHU, due to the fact he did
20
not know how he got the marks. Epstein did not
21
answer Dr.
questions about that night.
22
She had begun working more therapeutically with
23
him, and provided him with handouts to cope
24
with housing. Lieutenant Doctor's
25
investigation into a possible assault regarding
EFTA00058754
1
this incident still had not returned any
2
answers. Dr.
kept Epstein on
3
psychological observation."
4
: Just real quick on that.
5
It just says, "He was anxious about going back
6
to the SHU due to the fact he did not know how
7
he got the marks." So, he had changed his
8
story of how he got the marks, at that point?
9
: He didn't change the story.
10
He just didn't say anymore it was Tartaglione.
11
He was then, I don't know how I got the marks.
12
So, he --
13
: So, he went --
14
: -- he kept changing his
15
story.
16
: -- all right. So, he
17
went from Tartaglione did it, to I don't know
18
how I did it?
19
: Right.
20
: Or how it happened?
21
: Right.
22
: And do you know why that
23
happened, or did you question him about that?
24
: Yeah, but he just kept being
25
vague, like he didn't know anything, or that,
EFTA00058755
72
1
like, he blacked out, or he doesn't recall how
2
it happened.
3
: Was he questioned, like,
4
well, before you said that Tartaglione did it,
5
and now you are saying you don't recall.
6
: I don't know if Dr.
7
confronted him in that way, because we are not,
8
like, investigators.
9
: Sure. Sure.
10
: You know, so, we don't -.
11
Psychologists don't always think that way.
12
: Okay.
13
: So, I don't know, but I
14
think, likely, she probably mentioned that, and
15
then, he was, like, oh, well, I don't, I don't
16
know. He was very vague.
17
: Okay.
18
: In giving us the reason.
19
: Okay.
20
: That happened.
21
"On July 28th, 2019, Dr.
22
met with Epstein, who appeared the same.
23
His logbook showed no signs of suicidality, and
24
he was participating in his legal meetings.
25
There had been no contact from Epstein's legal
EFTA00058756
1
team regarding any mental health concerns."
2
: Okay. So, there it says
3
that he actually was meeting with his legal
4
team.
5
: Okay.
6
: Okay.
7
: So, being that he was on
8
psych ops, that he wasn't acutely, eminently
9
suicidal, that he had been denied any current
10
thoughts of hurting himself, and over the past
11
several days, while on watch, he hadn't
12
displayed any self-harm behaviors. Or any odd
13
or unusual behaviors. Likely, we didn't have a
14
problem with him going there, as long as there
15
were staff up there --
16
: Okay.
17
to watch him.
18
: So, he would actually go
19
from observation to the attorney conference
20
rooms?
21
: And then, be escorted back.
22
Yes.
23
: Okay. So, it wasn't that
24
they were meeting him at the suicide --
25
: No.
EFTA00058757
1
: -- watch area.
2
: We never do that.
3
: Okay.
4
: Yeah.
5
: Okay.
6
: Do you know if those are all-
7
day meetings? Like, he normally had, or was it
8
just short meetings?
9
: I don't know how long the
10
meetings were.
11
: Okay.
12
: Yeah. Because if you
13
don't know, he was meeting with the attorneys
14
from, like, 7:00 or 8:00 a.m., up until, like,
15
7:00 p.m., every day. At least outside of this
16
17
: Yes. I knew that. Because
18
that's --
19
: -- but you don't know if
20
21
: -- that's why I could never
22
see him, but I don't remember, while he was on
23
watch, how many hours a day. I think he was
24
probably there for a significant period of
25
time.
EFTA00058758
1
: While he was on
2
observation?
3
: Yes.
4
: Okay.
5
: But then, he would be
6
returned to psych ops while someone would sit
7
on him.
8
: But is that normal, though?
9
I mean, someone who is on psych ops be - you
10
mentioned that somebody who was in psych
11
observation should be monitored constantly.
12
Right? There's someone monitoring --
13
: Yeah.
14
: -- them?
15
: But he was right in front of
16
the officer that worked at attorney conference.
17
He was right there. And right by the
18
lieutenant's office. So, they could be
19
observing him the whole time.
20
: Okay. So, someone
21
: Right.
22
: -- is sitting there, watching
23
him --
24
: Yeah.
25
-- at all times?
EFTA00058759
76
1
: Yeah. There was somebody
2
there. Like, the way our attorney. I don't
3
know. Have you been to our attorney conference
4
room?
5
: Mm-hmm.
6
: Do you know where the officer
7
sits there, there is an attorney conference
8
room right next to him, that has windows.
9
That's where Epstein was every day.
10
: So, you could see in?
11
: Full. Yeah.
You could see
12
his, like, white - you come off the elevator -
13
you saw his white hair. Like, he was right
14
there.
15
: Okay.
16
: Like, he could be seen by the
17
attorney conference officer. At all times.
18
And he was with his attorneys. So, I mean, if
19
God forbid, he started banging his head for one
20
second, the officer was right outside his
21
window.
22
: Okay.
23
: Yeah. So, we felt, you know,
24
it was okay, and again, he wasn't on suicide
25
watch. We didn't think he was eminently
EFTA00058760
77
1
suicidal. But precautionary, we had him on
2
psych ops, because we - the vagueness of his
3
responses.
4
: Okay.
5
: And not feeling completely
6
comfortable putting him in GP, until we
7
observed him over a period of time. So, that
8
is why.
9
: Okay.
10
: Because he wasn't on suicide
11
watch anymore. So.
12
: Anything else on that?
13
: No. I guess just on that
14
note, if he is meeting his, with his attorneys,
15
while he was on observation, are his
16
psychological needs being met?
17
: Well, that's why we had to go
18
up there, and talk to him.
19
: Right, right, right.
20
: So, we would go up there and
21
interview him.
22
: And around how long would
23
those interviews take?
24
: I guess five to ten minutes.
25
: Okay.
EFTA00058761
78
1
: Just to check in. But a lot
2
of times, on suicide watch, they were, too.
3
mean, we would review the suicide watch book
4
throughout the night, because we are not there
5
24 hours.
6
: Mm-hmm.
7
: So, we would look at his book
8
from before his visit, through the night. And
9
then, we would see him daily.
10
: Mm-hmm.
11
: We would see him
And
12
maybe, some of the times we saw him before he
13
saw his attorneys.
14
: Sure.
15
: See, I don't, I don't know if
16
-. I know --
17
: So, as far as --
18
:
I personally went up there
19
once or twice.
20
: -- but what --
21
: I don't know if Dr.
22
maybe went there once or twice, because when
23
she went back there to see him, he was with his
24
attorney.
25
: Now, would that be any
EFTA00058762
1
different than if he were not seeing his
2
attorneys? Was that the same amount of time
3
that psychology would see him, if he was with
4
his attorneys, or staying in the cell where he
5
was being observed?
6
: Yeah. We usually, like, 15
7
minutes. I mean, it's not a therapy session.
8
: Sure.
9
: We're just, you know, doing a
10
mental status, seeing how they are doing. Are
11
you eating or sleeping? Are you having
12
thoughts of hurting yourself? We read the
13
book.
14
: Mm-hmm.
15
: In its entirety, for the past
16
24 hours, to see, did he voice anything to the
17
companions that he wanted to hurt himself. Did
18
he take his meals? Did he eat his meals? Did
19
he shower? Is he, you know, is he displaying
20
any behaviors that are consistent with
21
depression? So, we look at all of that. Ana
22
then, we interview him. We do the mental
23
status. We ask him how he's doing. And so,
24
that would be pretty consistent. It might have
25
been a little shorter on occasion, if he was up
EFTA00058763
80
1
there with his attorneys, because his attorneys
2
were there. So, it wouldn't really be
3
confidential. But we do --
4
: Oh, so, when you were
5
conversing with him, it would be in front of
6
his attorneys?
7
: -- yeah.
8
: Okay.
9
: Is that normal?
10
: Yeah. Well, because he was
11
in there with his - he has a right to his legal
12
meetings - so, he was with his attorneys. It
13
wasn't every time. I mean, there might have
14
been one or two occasions where we had to see
15
him up there, because he was in the meeting
16
with the attorneys. So, yeah. We talked to him
17
in front of his attorney to make sure he was
18
okay.
19
: Now, when you say he has
20
a right to his attorneys, if he was on suicide
21
watch, would he have the right to his
22
attorneys?
23
: Normally, I really do try to
24
get them to meet with their attorney. I mean,
25
that's only if they are actively, like,
EFTA00058764
1
cutting, or --
2
: Yeah.
3
: -- wanting to hurt
4
themselves, then I would have a lieutenant up
5
there.
6
: Sure.
7
: Like, I always try to give
8
people the right to be with their attorneys
9
because that could make them even more
10
depressed.
11
: Sure.
12
: If you deprive them of being
13
able to work on their legal case.
14
: Okay.
15
: All right. "On July 29th,
16
visited Epstein. Epstein expressed
17
that he would like to stay in psychological
18
observation because it is safe. Epstein had
19
been requesting his CPAP machine, so that he
20
could get a good night's sleep. Due to the
21
machine having a cord, this could not be
22
accommodated in psychological observation.
23
Epstein was given a chance to stay in
24
psychological observation -".
25
: A choice. Not a chance.
EFTA00058765
1
2
: Sorry.
: Epstein was given
3
: "Epstein was given a choice
4
to stay in psychological observation one more
5
night without it, or go to the SHU with it. He
6
chose to stay in psychological observation one
7
more night.
consulted with the
8
executive staff, prior to this decision."
9
: Yeah.
10
"On July 30th, 2019, Dr.
11
transitioned Epstein back to the SHU.
12
Dr.
sent an email, updating the
13
appropriate staff for Epstein's transition off
14
psychological observation, and the need for him
15
to be housed with a cellmate."
16
: Okay.
17
: Bear with us.
18
: So, that contact was at his
19
cell. It wasn't with the attorney. If there
20
was, like I said, a couple of contacts that
21
were in attorney conference, they were field
22
most of them were at his cell, we caught him
23
before he went up to his legal visits. That
24
last visit was in person. I remember that
25
visit.
EFTA00058766
1
: Okay.
2
: With the CPAP.
3
: Now, do you recall, when Dr.
4
transitioned Epstein back to the SHU, was
5
that solely the decision of psychology, or was
6
there any recommendation from executive
7
management? Like, the warden, the associate
8
warden, or somebody from the outside, as Agent
9
asked before.
10
: No. That was our decision.
11
After him being between suicide watch and psych
12
ops for almost a full week. It was our
13
decision that he was not eminently suicidal,
14
and could be transitioned.
15
: Okay.
16
: And just to, I mean,
17
Epstein expressed that he would like to stay in
18
psychological observation because it was safe.
19
So, he actually preferred psychological
20
observation over the SHU?
21
: Because he wasn't being able
22
to be housed where he wanted to be housed. He
23
didn't want to go to Special Housing. Like I
24
said, he wanted to be housed in the Cadre unit.
25
He wanted to dictate his housing arrangements.
EFTA00058767
84
1
When they weren't what he wanted them to be,
2
and I guess maybe he heard rumors, or whatever,
3
that the SHU was, like, a bad place, or a scary
4
place, he didn't want to go back there.
5
But a lot of inmates don't want to go to
6
SHU, and that is why, earlier, when you said a
7
lot of people fake mental illness, or fake
8
suicidality, so that they can come down to our
9
suicide watch area, and just interact with the
10
companions, and hope that maybe someone will
11
slip them something they couldn't have while
12
they were in the SHU. Or just to get a timeout
13
because it could be loud up there, because
14
inmates will scream outside their cells,
15
because I don't know if you are familiar with
16
an AD-SEG (Phonetic Sp. *01:06:16) unit, or a
17
Special Housing Unit, where inmates are in a
18
cell, with a cellmate, like, 23 out of 24 hours
19
a day. So, it gets loud and rowdy.
20
So, a lot of times, people try to come
21
down. It's, like, almost, like, the Marriott,
22
you know, to come to our suicide watch area,
23
where it is peaceful and quiet, and they don't
24
have to hear things, or if they are having
25
problems with officers up there. So, it's not
EFTA00058768
85
1
uncommon for any inmate to try to avoid going
2
to the Special Housing Unit.
3
: Okay.
4
: You know, it's not an
5
uncommon occurrence.
6
: Yeah. And I'm assuming -
7
8
: I never have any --
9
: -- (Indiscernible
10
*01:06:50).
11
-- inmates say I want to go
12
back to the, you know, the SHU.
13
: From observation?
14
: No.
15
: So, it's bet --
16
: Very rarely.
17
: -- yeah.
18
: Unless they are so sick of it
19
because they have been deprived for so long
20
down there, that they feel that their wants and
21
needs will be met, or better suited up in the
22
SHU, then they will be, like, okay, I'll go
23
back, I'll go back.
24
: Okay. But --
25
: Yeah.
EFTA00058769
86
1
: -- in observation, he was
2
housed by himself. Correct?
3
: Yes.
4
: And he wanted to be
5
housed by himself. Correct?
6
: Not necessarily. Because he
7
wanted to go to the Cadre Unit, which is a
8
dorm-style unit.
9
: Okay.
10
: With all the other, with tons
11
of other inmates.
12
: All right. Yeah.
13
: He just, there were certain
14
places he didn't want to go.
15
: SHU. So, he just
16
: Yeah.
17
: -- rather be in
18
observation than the SHU.
19
: Right. I mean, this is a guy
20
that has never jailed before.
21
: Sure.
22
: He's in, you know, his late
23
sixties. He's probably afraid, like anybody
24
would be.
25
: So, he preferred the
EFTA00058770
1
general housing unit over the SHU, though?
2
: Yes.
3
: Okay.
4
: Particularly, the dorm-style
5
Cadre Unit.
6
: Yeah. Maybe I'm not -.
7
Is that different than the general housing
8
unit?
9
: Yeah.
10
: Okay.
11
: Because in the regular
12
housing units, you are celled with a cellmate
13
14
: Mm-hmm.
15
: -- at night. Whereas in the
16
Cadre Unit, there are tiers of dorms. So, it
17
is a bunch of bunkbeds. And so --
18
: Oh, it's per --
19
: -- it's more open.
20
: -- it's per tier, would it
21
be?
22
: I'm not sure per tier. I
23
know there is about - it can house, like, 100,
24
120 inmates. The dorms.
25
: With no, like, doors, or
EFTA00058771
88
1
not separated?
2
: No. There is just a tier.
3
There is a -. No.
4
: So, he -. So, we had
5
always heard, up until this time, that he
6
wanted to be housed alone. What you are saying
7
is he wanted to be actually housed with more
8
people?
9
: Well, that is where -. Well,
10
he wanted to be housed there, where Manafort
11
and other people had been housed, where Cadre
12
inmates were housed. Maybe because the Cadres
13
were, he felt they were less dangerous.
14
: Okay.
15
: I don't know. I know when he
16
came in, he didn't like being on the unit.
17
That was for sure.
18
: And is the Cadre
19
: You know?
20
: -- Unit the low --
21
: Yeah.
22
: -- security level --
23
: -- yeah.
24
: -- inmates?
25
: Yeah. Because those are the
EFTA00058772
1
ones that have been sentenced, to lower
2
sentences.
3
: Okay. So, he wanted to
4
be where the lower sentence inmates were.
5
: Yeah.
6
: Okay.
7
: That was the only place,
8
think, he was wiling to go. In our
9
conversations.
10
: Okay.
11
: Was Paul Manafort still
12
there, at that point?
13
: I don't know if he had
14
recently left. He thought he was still there
15
because he was only there briefly.
16
: So, he's not asking
So,
17
he, as if he knows Paul Manafort, and he wants
18
to go be housed with Paul Manafort. He just
19
wants to be -. He just wanted to be in the
20
same area as Paul Manafort was housed.
21
: Right.
22
: Okay.
23
: And there was somebody else.
24
I can't remember who he said. There was
25
somebody else, more high-profile, that was
EFTA00058773
90
1
there, and he said he wanted to be where that
2
person was.
3
: Okay.
4
: Maybe he felt it was safer
5
because they were surviving there, or whatever.
6
I don't know what his thought process was, but
7
that's how, that's -. I think it's -. I mean,
8
it was part of his personality. I mean, he
9
wants to be associated with higher-level
10
people, and these were, that was a higher-level
11
inmate. You know, so, he would feel
12
comfortable being amongst those type of people.
13
: Okay.
14
: Does that make sense?
15
: Yes.
16
: Yeah. Okay.
17
: I'm going to keep going.
18
: Yes.
19
discussed the
20
importance of SHU inmates having a cellmate for
21
the following reasons: it decreases isolation;
22
it decreases privacy; provides a distraction;
23
provides a rescue opportunity."
24
: Yes.
25
"At risk settings for
EFTA00058774
91
1
inmates, including housing, single cells, and
2
private spaces. SHU employees receive training
3
on suicide prevention quarterly. All employees
4
receive suicide prevention training once a
5
year.
provided slides from MCC's
6
suicide prevention training to the interviewing
7
agents, reference that, referred to as
8
references any denying, attached to his report.
9
She stated all lieutenants should be aware of
10
the cellmate policy. Both due to the training
11
regularly provided, and psychological services
12
constantly reminding them of the procedure, and
13
needs of specific inmates.
noted,
14
after Epstein's death, his old cellmate's label
15
was still on his door. That is one of the
16
things that the psych department looks for, in
17
their daily rounds in the SHU, that there are
18
two bodies in each cell." Now, that label on
19
the door, if an inmate is removed, should that
20
label have been removed, too?
21
: Yes.
22
: How soon?
23
: It should have been done
24
immediately, especially since he was housed
25
with Epstein.
EFTA00058775
1
: Why should it have been
2
removed immediately?
3
: Because then his cellmate was
4
bailed out, and wasn't coming back.
5
: By removing it, would that
6
also give SHU officers, inform the SHU officers
7
that there is only one inmate in that cell?
8
: That would have helped. Yes.
9
Most definitely. It wouldn't have been the
10
only way they should know, but it definitely
11
would have helped the situation.
12
: Are we talking about
13
August 9th right now?
14
: I don't know.
15
: Yeah. Because it says, "Dr.
16
noted that after Epstein's death, his
17
old cellmate's label was still on his door."
18
: Okay. So, who would have
19
been, on August 9th, the one who would have
20
done the rounds in the SHU?
21
: The psychologist?
22
: I guess, it sounds like -
23
24
: Well, psychology, psychology
25
rounds is weekly. We do weekly rounds. And
EFTA00058776
93
1
monthly SHU reviews, which are more intense
2
rounds. So, we didn't see Epstein every single
3
day.
4
: Yeah. Okay.
5
: That, we didn't do. We don't
6
do daily rounds. We do weekly rounds.
7
Sometimes, we are up there, we are up there
8
almost every day, especially when we were, our
9
SHU was full, because there is always inmates
10
that have concerns or needs. So, if we are up
11
there, and an inmate has a concern, we go to
12
that tier and see those inmates.
13
: Just those --
14
: But as far as going cell to
15
cell, we do that weekly.
16
okay. Because this,
17
yeah, this last sentence said, "This is one of
18
the things the psych department looks for in
19
their daily rounds in the SHU --
20
: In our rounds --
21
: -- that there are two
22
bodies in each cell."
23
: In our rounds. Like, if we
24
are doing our weekly rounds, and we notice that
25
EFTA00058777
1
: Okay.
2
-- someone doesn't have a
3
cellmate, especially if we know that person is
4
a care two and above, we are going to say
5
something. Like, why is this inmate housed by
6
themselves?
7
: So, when they said daily
8
rounds, you are not doing that every day.
9
: Hmm-mm.
10
: They meant your weekly
11
rounds.
12
: Yeah.
13
: And do you know what day
14
of the week that was done back then?
15
: I don't.
16
: No?
17
: I do not know the -. I would
18
have to look at the SHU logs.
19
: Okay. And do you know if
20
it was done on that Friday, on August 9th, the
21
day before?
22
: No. But I do know, on August
23
8th, before I left for vacation, I personally
24
went up there, just to check on him, and he had
25
a cellmate at that time.
EFTA00058778
1
: Right. Okay.
2
: Anything else?
3
: Nope.
4
was aware that
5
Dr.
attended the close out
6
meeting that week, and discussed Epstein's
7
desire to have a single cell, but his need for
8
a cellmate.
was unaware regular
9
rounds by the correctional officers were not
10
being completed. She is considered executive
11
staff, so officers would not tell her they were
12
not being completed, and inmates wouldn't tell
13
her because of fear of retaliation by the
14
guards.
15
noted Lieutenant
is very
16
regimented, and regularly does what she asks.
17
was not aware that Epstein signed a
18
new will on August 8th. Had she known, it
19
would have been considered a red flag, and
20
Epstein would have been placed on psychological
21
observation. The attorneys did not tell anyone
22
from psychological services that it had
23
occurred." So, we had a couple of questions.
24
How did you learn that he had signed a will?
25
: The newspaper.
EFTA00058779
1
: In the paper?
2
: Yes.
3
: That's not something that you
4
learned firsthand, from the attorneys, or by
5
being --
6
: No.
7
: -- okay.
8
: Do you know if he
9
actually, in fact, signed a new will on the
10
8th?
11
: No. Hearsay.
12
: Okay. Did you bring that
13
up during the interview, or did the agents ask
14
you about it?
15
: That, I don't remember.
16
: Okay.
17
: How it came up. They may
18
have asked me a question, if I knew about it.
19
: Okay.
20
: And I may have said, probably
21
said no. I didn't know about it directly from
22
them. I knew about it from reading it in the
23
paper.
24
: Okay.
25
: But one thing I did say,
EFTA00058780
1
after reading the paper, gee, that would have
2
been helpful information. Because had I known
3
that, I would have said, that is a red flag,
4
and let's put him back on, and just watch him
5
for a few more days, and see if we can get more
6
information from him. About why he would do
7
that, or what was going on.
8
: Should have the attorneys
9
notified you?
10
: Well, the attorneys have
11
their own ethical, you know, confidentiality
12
issues.
13
: Mm-hmm.
14
: So, you know, a lot of times,
15
attorneys call us all the time if they are
16
concerned about their patients. I mean, I get,
17
I used to get, like, several a week, where
18
attorneys would call in and say, you know, I'm
19
worried, I talked to my client on the phone. I
20
don't like how he sounded. Can psychology
21
check on that inmate? And I was, like, why
22
didn't they do that this time? Because they
23
always do that. And we do. We go immediately.
24
So, if that was true, I wish someone would have
25
called us, but they didn't.
EFTA00058781
98
1
: All right. Thank you Did
2
you have the key to the restroom? I think that
3
that person needed it.
4
: Oh.
5
: Is this the only one we
6
have?
7
: Yes.
8
: But, you know, again, like,
9
attorneys have their own ethical -. Like, they
10
can't -. I don't know what their ethical
11
standards are, but I guess, if he didn't say he
12
was going to kill himself, and he's just
13
signing a will, they don't -. I don't think
14
they have to tell, call us. It would be a
15
choice if they had a concern, that he was going
16
to hurt himself.
17
: Okay.
18
: But -.
19
: Well, before -.
20
: Yeah. Yeah.
21
: Did he ever bring up changing
22
his will in any of his your meetings, or the
23
psychological meeting
24
: No.
25
: -- psychological meetings
EFTA00058782
1
with him?
2
: No.
3
: That was the first time you
4
guys had, you ever heard that would be from --
5
: Right.
6
-- (Indiscernible *01:16:30).
7
: After the fact. I read that,
8
and I was, like -.
9
: And now, why would it be a
10
red flag?
11
: Because he is in jail. He is
12
not happy being in jail. He is facing a lot of
13
time. He's high risk. And he is signing a
14
will. You know, I definitely would have
15
interviewed him. I can't say 100 percent he
16
would be put on psych ops, but if he didn't
17
give me the answers that I was looking for, he
18
would have been put on some form of
19
observation, until we could get the answers
20
that we were looking for.
21
mentioned that
22
was the first day ever, she ever heard about
23
the will being changed. There was no
24
discussion with Epstein before
25
: No.
EFTA00058783
100
1
: -- about the will."
2
: Epstein never shared that
3
with me. It was something that I read after
4
the fact.
5
: Mm-hmm.
6
: And again, I don't know if
7
it's true or not true.
8
: Sure.
9
: "On August 8th, 2019, Dr.
10
attended the SHU meeting. She couldn't
11
recall all who was there, but it included unit
12
team members, executive staff, and attorneys
13
for MCC. Nothing significant was discussed
14
about Epstein at the meeting. She conducted
15
SHU rounds, to see Epstein." Is this what you
16
mentioned before, that before you went on
17
vacation?
18
: Mm-hmm.
19
: Okay. "He had a cellmate at
20
the time, and Epstein had the lower bunk. He
21
didn't have any visible problems, appeared in
22
good spirits, and reported getting along with
23
his cellmate. He had received his pack number,
24
which allows him to make phone calls, and he
25
had asked for his books from psychological
EFTA00058784
101
1
observation." When he received his pack
2
number, do you know if it was active, and was
3
he able to make phone calls with it?
4
: That, I don't know. That,
5
only unit team would know.
6
: Do you know around what
7
time the SHU meeting would have been held?
8
: Thursdays. Thursdays, at
9
that time, they say that my meetings have
10
changed with different --
11
: Sure.
12
every warden changes it.
13
: And what time --
14
I believe they --
15
: -- did you work?
16
were in the morning.
17
Like, around 9:00.
18
: Okay.
19
: Like, 9:00.
20
: So, if around, like,
21
3:00, 3:30, the Marshals sent an email saying
22
that his cellmate was going to be transferred,
23
that wouldn't have been discussed at that SHU
24
meeting?
25
: Hmm-mm.
EFTA00058785
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1
: And did you know anything
2
about any emails --
3
: No.
4
: -- regarding -?
5
: And I didn't know the inmate
6
was
The inmate -. I didn't know that he
7
went to court that day, or anything. I was not
8
even in town.
9
: Right. I'm saying the
10
day before --
11
: Yeah.
12
: -- on August 8th, there
13
was emails that were sent from the U.S. Marshal
14
Service, saying that his celimate Reyes was
15
going to be transferred to another institution.
16
I was just wondering if that was at all
17
discussed --
18
: No. Not that I --
19
: -- that wasn't discussed.
20
: -- and I, likely, I don't
21
know. Yeah. I was -. Huh. I don't remember
22
hearing that at all.
23
: Okay.
24
: Because that would have been
25
EFTA00058786
1
2
103
: Even after the fact?
: -- that would been something
3
that, you know, the lightbulb kind of would
4
have went on.
5
: Sure.
6
: I was pretty shocked to find
7
out that he didn't have a cellmate.
8
: Right.
9
: After he killed himself.
10
That was the first question I asked. When I
11
was away, and I was went to
and the
12
times difference was off, and my flight was
13
delayed. I had slept for, like, two hours. it
14
was very strange. I went into the restroom,
15
you know how you bring your phone? I know,
16
TMI. I pressed my phone, and all these alerts
17
came on, and everyone was texting me, and then,
18
I saw that he had hung himself, and I was just,
19
like, how could that happen? And the first
20
thing, when I called my associate warden, the
21
first thing I asked is, did he have a cellmate?
22
Because that was the first thing that came in
23
my mind. And she was, like, no.
24
: What -? So --
25
: So -.
EFTA00058787
104
1
: -- who was this?
2
: I called
3
: And what did she say
4
about that?
5
: You know, she just said no.
6
And then, I was just, like, I started, like,
7
crying, because I was, like, why? Like -.
8
: And did she respond to
9
where his cellmate was?
10
: She didn't. She was, like, I
11
don't know,
. You know, this was all
12
just that morning.
13
: Right.
14
: I mean, she was probably, you
15
know, very upset, too. And that was it. I
16
mean, later on, I found out what happened,
17
which was that his cellmate went to court. He
18
was --
19
: And so --
20
: -- bonded out, and that they
21
didn't replace the cellmate with him.
22
•
-- so, that is not
23
accurate information. So, who told you that he
24
went to court and bonded out?
25
: That was later on. I don't
EFTA00058788
105
1
remember the person who told me that.
2
: But someone told you he
3
actually went to court, and not transferred to
4
a different institution?
5
: That's what I had heard.
6
: Okay.
7
: That he had gone to court,
8
and then he was
That might not be accurate,
9
though. He was bailed out, or he wasn't,
10
didn't come back.
11
: Okay.
12
: That's what I had heard.
13
: Sure. But you don't
14
remember where you heard that from?
15
: Hmm-mm.
16
: Okay.
17
: Well, just to clarify, I
18
think you mentioned it already. There was an
19
email that came up the day before, from the
20
Marshals, on August 8th, in the afternoon, that
21
stated that he was being transferred -
22
was being transferred - to another facility.
23
He wasn't going to court. So, that morning, he
24
would, he wasn't going to court. He was
25
actually transferred out to another facility.
EFTA00058789
1
2
: Okay. Okay. So --
: Now, if an email like that
106
3
came out, whose responsibility would it have
4
been to make those notifications up, hey,
5
listen,
is now gone?
6
: I mean, everybody reviews
7
that. I mean, the captain's review that log.
8
The warden. The executive staff. I mean, I
9
guess they would all see that.
10
: Would psychology have the
11
court production list?
12
: I don't always review the
13
court production list. No.
14
: Yeah. No. You weren't
15
even there.
16
: No. Yeah.
17
: I'm just saying --
18
: No.
19
: -- like, on, like, on the
20
9th, I guess there would have been a court
21
production list that would have said
22
WAB, With All Belongings.
23
: Right. I mean, I don't have
24
access to that. Some of my staff have that
25
correctional services box.
EFTA00058790
1
2
: Mm-hmm.
: And they do review it,
197
3
sometimes. But I'm not so sure we reviewed it,
4
anybody in my department.
5
: Yeah. And again, I know
6
you weren't even --
7
: Yeah.
8
: -- there, but so, should
9
have someone reviewed that?
10
: That's not something that we
11
did on a regular basis.
12
: Okay.
13
: You know, we - custodial wise
14
- we don't manage hands-on like that.
15
: Mm-hmm.
16
: As much. Like, we're not
17
looking all the time. I think now, since this
18
event happened, we might become more involved
19
with that. And review those things. Like,
20
when I get the Marshal's list, I was, I look to
21
make sure they don't have any histories of
22
things, or there is a no Marshal's notices.
23
: Mm-hmm.
24
: More so than ever now,
25
because, you know, we are hyper alert.
EFTA00058791
1
2
108
: Sure.
: But as psychologists, that is
3
not something that is our job to review, and
4
then compare it to the SHU list, and make sure
5
everybody --
6
: Absolutely.
7
: -- is cell, you know, that is
8
not something we do.
9
: So, when
was listed
10
as WAB, and was removed from the institution on
11
the count numbers and everything - -
12
: Mm-hmm.
13
: -- should someone have
14
notified psychology? Now, this isn't Epstein.
15
: Right.
16
: This is his cellmate.
17
: Right.
18
19
: I don't know so much as
20
notified us, but at least made - or I would
21
think - someone would make arrangements to say,
22
well, this guy is coming out, we've got to get
23
someone in with Epstein. There would be no
24
need to call psychology. Unless Epstein was
25
demonstrating any psychological issues, because
EFTA00058792
109
1
we were --
2
: Okay.
3
-- following him as needed,
4
and during our weekly rounds, anyway. So, if
5
he display