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efta-efta01173139DOJ Data Set 9OtherJeffrey Epstein 012512
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Jeffrey Epstein 012512
January 25, 2012
Pagel
1
IN THE CIRCUIT COURT OF THE 15TH JUDICIAL CIRCUIT
IN AND FOR PALM BEACH COUNTY, FLORIDA
2
CASE NO. 502009CA040800XXXXMBAG
3
4 JEFFREY EPSTEIN,
5
Plaintiff(s),
6
vs.
7 SCOTT ROTHSTEIN, individually,
BRADLEY J. EDWARDS, individually,
8 and L.M., individually,
9
Defendant(s).
10
VIDEOTAPED DEPOSITION OF JEFFREY EPSTEIN
11
12
January 25, 2012
13
9:34 a.m. - 10:03 a.m.
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SEARCY, DENNEY, SCAROLA, BARNHART & SHIPLEY, PA
2139 Palm Beach Lakes Boulevard
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West Palm Beach Florida 33409
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19
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Stenographically Reported By:
Tammy Nestor, RPR
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EFTA01173139
Page 2
1 APPEARANCES:
2
ON BEHALF OF PLAINTIFF:
3
JACK SCAROLA, ESQUIRE
4
SEARCY, DENNEY, SCAROLA
BARNHART & SHIPLEY, PA
5
2139 Palm Beach Lakes Boulevard
West Palm Beach, Florida 33409
6
7 ON BEHALF OF DEFENDANT:
8
CHRISTOPHER E. KNIGHT, ESQUIRE
JOSEPH L. ACKERMAN, JR., ESQUIRE
9
FOWLER WHITE BURNETT, PA
Espirito Santo Plaza
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1395 Brickell Avenue, 14th Floor
Miami, Florida 33131
11
JACK A. GOLDBERGER, ESQUIRE
12
ATTERBURY, GOLDBERGER & WEISS, PA
One Clearlake Centre, Suite 1400
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250 Australian Avenue South
West Palm Beach, Florida 33401
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DARREN K. INDYKE, ESQUIRE
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301 East 66th Street, #10B
New York, New York 10065
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EFTA01173140
Page 3
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- - -
INDEX
- - -
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EXAMINATION:
PAGE
5
By Mr. Scarola
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6
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8
9
EXHIBITS
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11 EXHIBIT
DESCRIPTION
PAGE
12
1
Third Amended Complaint in LM v. Epstein
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EFTA01173141
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THE VIDEOGRAPHER:
January 25, 2012. The
9:34 a.m. This is the
Jeffrey Epstein in the
Edwards.
This deposition is
Palm Beach Lakes Boulevard, West Palm Beach,
Florida.
The court reporter is Tammy Nestor of
Phipps Reporting. The videographer is Chris
Kennedy of Legal Video Services, Inc. in
association with Phipps Reporting.
And will the counsel please announce
appearances for the record.
MR. SCAROLA: My name is Jack Scarola.
I'm counsel for Brad Edwards. Brad is also
present.
MR. KNIGHT: Christopher Knight on behalf
of Jeffrey Epstein.
MR. GOLDBERGER: Jack Goldberger on behalf
of Jeffrey Epstein.
MR. INDYKE: Darren Indyke on behalf of
Jeffrey Epstein.
MR. ACKERMAN: Joseph Ackerman on behalf
of Jeffrey Epstein.
Today's date is
time is approximately
videotaped deposition of
matter of Epstein versus
being conducted at 2139
EFTA01173142
Page 5
1
JEFFREY EPSTEIN
2
Was called as a witness and after being duly sworn on oath was
3
examined and testified as follows:
4
EXAMINATION
5
BY MR. SCAROLA:
6
Q
Would you please state your full name and
7
your current residence address?
8
A
I'm Jeffrey Edward Epstein. And my
9
residence address is 6100 Red Hook Boulevard in
10
Virgin Islands.
11
Q
Do you maintain any other residences
12
presently?
13
A
I have vacation homes in New Mexico, Palm
14
Beach, New York, and Paris.
15
Q
Would you give us the address of each,
16
please.
17
A
Yes. New York is 9 East 71st Street. New
18
Mexico is Zorro Ranch Road. Paris is 22 Avenue
19
Foch, F-O-C-H. And where else? Palm Beach is 358
20
El Brillo Way.
21
THE VIDEOGRAPHER: Pardon me, sir.
22
THE WITNESS: Yes.
23
THE VIDEOGRAPHER: Excuse me. Do you have
24
your mike on? Thanks.
25
EFTA01173143
Page 6
1
BY MR. SCAROLA:
2
0
Do you now or have you ever had a sexual
3
addiction?
4
MR. KNIGHT: I'm going to instruct him not
5
to answer the question. That's outside of the
6
area of this abuse of process lawsuit.
7
And just to let you know, he's here to
8
answer all the questions you want relative to
9
the abuse of process. The judge has been pretty
10
clear relative to the discovery regarding any of
11
the prior sexual allegations, et cetera. And
12
just so we don't waste your time or our time,
13
I'll be consistent on that per what the judge
14
has previously discussed regarding discovery.
15
MR. SCAROLA: Well, you and I have a very
16
different understanding of what the court's
17
prior rulings have been. But we'll let the
18
court deal with that.
19
BY MR. SCAROLA:
20
0
Do you now or have you ever had a sexual
21
preference for minors?
22
MR. KNIGHT: Same.
23
BY MR. SCAROLA:
24
0
Have you ever acted on a sexual preference
25
for minors?
EFTA01173144
Page 7
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MR. KNIGHT: Same.
BY MR. SCAROLA:
Q
Have you ever informed anyone other than
your legal counsel that you have a sexual preference
for minors?
MR. KNIGHT: Same.
BY MR. SCAROLA:
4
Have you ever informed anyone other than
your legal counsel that you have acted on a sexual
preference for minors?
MR. KNIGHT: Same.
BY MR. SCAROLA:
Q
Have you ever sought or received
evaluation, counseling, or treatment for any form of
sexual addiction?
MR. KNIGHT: Same.
BY MR. SCAROLA:
4
Have you ever sought or received
evaluation, counseling, or treatment for any
sex-related issue?
MR. KNIGHT: Same.
BY MR. SCAROLA:
Q
Have you ever retained the services of a
consultant to assist in changing your public image
following your arrest on sex-related charges?
EFTA01173145
Page 8
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MR. KNIGHT: Same.
BY MR. SCAROLA:
Q
Have you ever discussed with anyone
undertaking an effort to change your public image
following your arrest for and conviction of a
sex-related crime?
MR. KNIGHT: Same.
BY MR. SCAROLA:
Q
Have you ever been convicted of a crime?
A
Yes.
Q
What was the crime of which you were
convicted?
A
Two counts, one soliciting prostitution,
and procuring a minor for prostitution.
Q
Did you, in fact, commit those acts?
MR. GOLDBERGER: I can invoke the Fifth
Amendment privilege for you or you can invoke
it yourself. I prefer you invoke the
privilege.
THE WITNESS: I'm going to invoke my Fifth
Amendment right.
BY MR. SCAROLA:
Q
How many times have you solicited for
prostitution?
A
I'm going invoke my Fifth Amendment right.
EFTA01173146
Page 9
1
0
How many times have you solicited a minor
2
for prostitution?
3
A
Same answer.
4
0
How many times have you solicited for
5
prostitution in the State of Florida?
6
A
Same answer.
7
Q
How many times have you solicited a minor
8
for prostitution in the State of Florida?
9
A
Same answer.
10
0
How many times have you solicited for
11
prostitution in the Virgin Islands?
12
MR. KNIGHT: Can we stop it here just for
13
a second? Can we go off the record for one
14
minute?
15
THE VIDEOGRAPHER: The time is 9:39. We
16
are going off the record.
17
(Thereupon, a discussion was held off the
18
record.)
19
MR. SCAROLA: I would like you to take it
20
down, please.
21
MR. KNIGHT: Fine.
22
MR. SCAROLA: And we'll go back on the
23
record. Thank you.
24
THE VIDEOGRAPHER: Stand by.
25
MR. KNIGHT: I'm wondering if you have any
EFTA01173147
Page 10
1
intention to ask any questions, and you may be,
2
any questions outside of this clearly harassing
3
area relative to issues that are outside of the
4
four corners of the complaint or whether this
5
is just going to be a continuance of questions
6
of this witness that have no other means of
7
advancing this lawsuit but only have means of
8
doing other things of which I won't -- I don't
9
care to list them here. Do you plan to go into
10
other areas?
11
MR. SCAROLA: I am -- I am planning on
12
taking a very thorough and comprehensive
13
deposition of Mr. Epstein.
14
MR. KNIGHT: Are you asking -- planning to
15
ask any questions that are not sexual or
16
criminal in nature?
17
MR. SCAROLA: Oh, I'm sure there will be
18
many that you would probably not consider
19
sexual or criminal in nature, but I don't know.
20
MR. KNIGHT: Let's proceed for a little
21
while, see what we can do, because certainly we
22
have taken the time out to come up here,
23
people's schedules have been made, et cetera,
24
people have traveled long distances, but we may
25
have to quit and go to the court.
EFTA01173148
Page 11
1
BY MR. SCAROLA:
2
Q
Have your ever solicited for prostitution
3
in the Virgin Islands?
4
A
Same answer.
5
Q
That is that the
you are invoking your
6
Fifth Amendment
7
A
Yes.
8
Q
-- right?
9
A
Yes, Mr. Scarola.
10
Q
Have you ever solicited for prostitution
11
in New York?
12
A
Same answer.
13
Q
Have you ever solicited for prostitution
14
in new Mexico?
15
A
Same answer.
16
Q
Have you ever solicited for prostitution
17
in Paris?
18
A
Same answer.
19
Q
Have you ever solicited for prostitution
20
anywhere at any time?
21
A
Same answer.
22
Q
Have you ever solicited a minor for
23
prostitution anywhere at any time?
24
A
Same answer.
25
Q
Who is the prostitute that you solicited
EFTA01173149
Page 12
1
for prostitution with respect to the claim on which
2
you were convicted?
3
A
Same answer.
4
Q
Who is the minor that you solicited for
5
prostitution with respect to the claim on which you
6
pled guilty?
7
A
Same answer.
8
Q
Did you, in fact, plead guilty to
9
soliciting for prostitution?
10
MR. KNIGHT: Asked and answered.
11
THE WITNESS: Yes, sir.
12
BY MR. SCAROLA:
13
Q
Did you, in fact, plead guilty to
14
soliciting a minor for prostitution?
15
A
No.
16
Q
Where was it that you solicited for
17
prostitution in the manner -- in the matter in which
18
you pled guilty?
19
A
Same answer.
20
Q
When was it that you solicited for
21
prostitution in the matter in which you pled guilty?
22
A
Same answer.
23
Q
Have you ever discussed your sex-related
24
arrest or conviction with any reporter or news media
25
representative?
EFTA01173150
Page 13
1
MR. KNIGHT: I'm going to instruct you not
2
to answer the question.
3
MR. SCAROLA: And what is the basis of
4
that instruction?
5
MR. KNIGHT: What is the basis?
6
MR. SCAROLA: Yes.
7
MR. KNIGHT: What does it have to do with
8
this lawsuit? It's for no other reason other
9
than to harass him. There are plenty of areas
10
you can go into which are reasonable. We are
11
here.
12
MR. SCAROLA: So the objection is
13
relevancy, is that correct?
14
MR. KNIGHT: No, it goes beyond relevancy.
15
MR. SCAROLA: Well, what is it then?
16
MR. KNIGHT: Well, it is harassing. It is
17
used -- it is being used to intimidate the
18
witness. It is being used for various
19
different reasons. And I believe it is
20
improper.
21
BY MR. SCAROLA:
22
0
Have you ever discussed your sex-related
23
activities with minors in the State of Florida with
24
any reporter or news media representative?
25
MR. KNIGHT: Same instruction. We are
EFTA01173151
Page 14
1
going to take a quick break if we can go off
2
the record.
3
THE VIDEOGRAPHER: The time is 9:30 --
4
9:40. We are going off the record.
5
(Thereupon, a recess was taken at
6
9:43
.)
7
THE VIDEOGRAPHER: The time is 9:50
8
We are back on the record.
9
MR. KNIGHT: As I mentioned earlier, we
10
are here to answer questions relevant to the
11
lawsuit that is at issue.
12
Relative to your question earlier and the
13
instruction not to answer, I do believe it was
14
appropriate, but I'm going to have
15
Mr. Goldberger address what be believes the --
16
is the -- our client is entitled to, but at the
17
same time, there are other issues we want to put
18
on the record.
19
I will allow you to ask more questions, but
20
if it's going to stay on this line, we may have
21
to adjourn.
22
MR. GOLDBERGER: Okay. This is Jack
23
Goldberger. A couple issues. First, as to the
24
questions that, Mr. Scarola, you asked
25
concerning conversations that Mr. Epstein may
EFTA01173152
Page 15
1
or may not have had with, I believe you couched
2
it as news reporters or news media, he would be
3
invoking Fifth Amendment privileges as to those
4
questions in addition to the objection raised
5
by Mr. Knight.
6
MR. KNIGHT: I'm withdrawing the
7
instruction.
8
MR. GOLDBERGER: Okay. All right
Anyhow
9
he's invoking Fifth Amendment privileges as to
10
that line of questioning.
11
As to the total line of questioning where
12
you are asking Mr. Epstein about sex-related
13
issues, as you know, your client, Mr. Edwards,
14
has filed a lawsuit in federal court where he is
15
seeking to overturn the non-prosecution
16
agreement that Mr. Epstein is a party to.
17
I believe that you are asking these
18
questions in an effort to further Mr. Edwards'
19
attempts to set aside that non-prosecution
20
agreement, and I think it serves no purpose
21
other than to assist your client in that
22
lawsuit. And I just think it's totally outside
23
the realm of the discovery that is allowed in
24
this case. And I'm simply not going to allow my
25
client to answer those questions given the fact
EFTA01173153
Page16
1
that your client has filed an action to set
2
aside the non-prosecution agreement that
3
Mr. Epstein is a party to.
4
MR. SCAROLA: Would you please mark this
5
as Exhibit No. 1 to this deposition
6
MR. KNIGHT: As soon as you get the
7
sticker on it, I'll look at that one.
8
(Thereupon, Deposition Exhibit No. 1 was
9
marked for identification.)
10
THE VIDEOGRAPHER: Is someone's phone by a
11
microphone or in their pocket?
12
MR. GOLDBERGER: I am.
13
THE VIDEOGRAPHER: If you can put it to
14
the side, please.
15
MR. GOLDBERGER: I'm all the way over
16
here.
17
MR. KNIGHT: Mine is off.
18
MR. GOLDBERGER: I'll shut it off.
19
MR. KNIGHT: Okay. Thank you.
20
BY MR. SCAROLA:
21
Q
You have been handed a copy of what's been
22
marked as Exhibit No. 1 to this deposition. It is a
23
copy of Plaintiff's Third Amended Complaint in a
24
case styled III versus Jeffrey Epstein.
25
Have you seen this document before?
EFTA01173154
Page 17
1
A
Not to the best of my recollection, no.
2
Q
Do you recall having been sued by Bradley
3
Edwards on behalf of an individual who was
4
identified by the initials El
S
A
Yes, sir.
6
Q
And is this one of the cases that you
7
contend was abusively prosecuted by Bradley Edwards?
8
A
I'm not sure if this is the exact
9
complaint.
10
Q
Well, is this the case?
11
A
I don't know.
12
Q
Which case is it that you contend Bradley
13
Edwards abusively prosecuted against you?
14
A
It was the ■ case. I don't know if this
15
is the specific case.
16
Q
Well, I want you to assume that there was
17
only one IMI case that was filed by Bradley Edwards
18
against you.
19
A
That's correct.
20
Q
Do you have any recollection that is at
21
odds with that assumption?
22
A
Yes, I do.
23
Q
You have a recollection that there was, in
24
fact, a federal court case as well as a state court
25
case, correct?
EFTA01173155
Page 18
1
A
Correct.
2
Q
All right. Now, is it your --
3
A
I believe that's --
4
Q
Is it your contention --
S
MR. KNIGHT: Finish your answer. Did you
6
finish your answer?
7
THE WITNESS: That's all right.
8
BY MR. SCAROLA:
9
Q
Is it your contention that Bradley --
10
MR. KNIGHT: And any time you want to
11
finish your answer, please do so.
12
THE WITNESS: Sure.
13
BY MR. SCAROLA:
14
Q
Is it your contention that Bradley Edwards
15
abusively prosecuted the state court case on behalf
16
of LM?
17
A
I don't know. Sorry.
18
Q
Is it your contention that Bradley Edwards
19
abusively prosecuted the federal court case on
20
behalf of LM?
21
MR. KNIGHT: Objection, asks for legal
22
conclusions. Obviously there were lawsuits
23
that were raised in this case.
24
MR. SCAROLA: You don't need to make a
25
speaking objection --
EFTA01173156
Page 19
1
MR. KNIGHT: Okay.
2
MR. SCAROLA: -- that's intended to coach
3
the witness, Mr. Knight.
4
MR. KNIGHT: I'm going to object.
5
MR. SCAROLA: So if you say you are
6
objecting on the basis that it calls for a
7
legal conclusion, that's fine. And now I would
8
like the witness's answer unless you are
9
instructing him not to answer.
10
MR. KNIGHT: I'm not instructing him not
11
to answer.
12
BY MR. SCAROLA:
13
Q
Okay. Then would you please answer the
14
question?
15
A
I'm sorry. Would you repeat it?
16
Q
Yes, sir. Is it your contention that
17
Bradley Edwards abusively prosecuted the federal
18
court action on behalf of
19
A
Yes, sir.
20
Q
How?
21
A
Bradley Edwards filed a 234-count federal
22
complaint in conjunction with his partner Scott
23
Rothstein to enable his partners at RRA to defraud
24
south Florida investors of millions of dollars.
25
His partner Scott Rothstein and his partner
EFTA01173157
Page 20
1
Mr. Adler have -- excuse me, Mr. Rothstein has now in
2
deposition admitted that they needed to file a complaint to
3
show investors that there was real action, in
4
Mr. Rothstein's words, going on in federal court. The
5
investors had not been able to find a filed complaint and
6
had complained to Mr. Rothstein that there was no filed
7
complaints two days, excuse me, before Mr. Edwards filed
8
the federal complaint for 234.
9
Q
Were you ever served with that complaint?
10
A
Not to the best of my recollection.
11
Q
So one contention is that Mr. Edwards
12
abusively rosecuted a federal court action on
13
behalf of
with which you were never served,
14
correct?
15
A
I had -- I was notified that the case was,
16
in fact, filed.
17
Q
But you were never served with the case,
18
correct?
19
A
I was notified that the case was filed.
20
Q
But you were never served with the case,
21
correct?
22
A
Not to the best of my recollection.
23
Q
Okay. What damage did you incur as a
24
consequence of the filing of a complaint with which
25
you were never served?
EFTA01173158
Page 21
1
A
I incurred many legal -- much legal fees,
2
many legal fees, in fact, to try to figure out
3
why -- what was going on and, in fact, getting
4
prepared to defend the case though I had not yet
5
been served.
6
Q
Were the allegations in the federal
7
complaint on behalf of Many different than the
8
allegations in the state court case on behalf of III
9
A
I don't recall.
10
Q
Did you, in fact, engage in any sexual
11
conduct with LM?
12
A
I'm sorry, but I'm sure -- the jury is
13
going to recognize this is simply meant to harass
14
me, and I'll have to take the Fifth Amendment since
15
your client, Mr. Edwards, is trying to overturn my
16
prosecution agreement.
17
Q
How many times did you engage in sexual
18
conduct with
19
A
I'm going to have to invoke my Fifth
20
Amendment right again, sir.
21
Q
Do you know who LM is?
22
A
Again I'm going to assert my right.
23
MR. KNIGHT: We are going to go off the
24
record and take another break.
25
THE VIDEOGRAPHER: The time is 9:58. We
EFTA01173159
Page 22
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are going off the record.
2
(Thereupon, a recess was taken at
3
9:58 a.m.)
4
THE VIDEOGRAPHER: The time is 10:00. We
5
are on the record.
6
MR. KNIGHT: Okay. We have asked on
7
several occasions that you ask questions that
8
are relevant to the lawsuit at bar. There have
9
been some questions that were getting to it.
10
You are back into the sexual stuff which we
11
feel is inappropriate, and also relative to the
12
issues that were raised by Mr. Goldberger.
13
As such, we are going to recess and ask
14
further direction from the court on what is
15
allowable and what is not allowable in this
16
deposition.
17
MR. SCAROLA: So you are terminating the
18
deposition at this time?
19
MR. KNIGHT: We are recessing the
20
deposition to get direction from the court.
21
MR. SCAROLA: Until when?
22
MR. KNIGHT: We will find out what the
23
court says.
24
MR. SCAROLA: When? Are you contacting
25
the judge right now?
EFTA01173160
Page 23
1
MR. KNIGHT: I am not. We are going to
2
file an appropriate motion and we are going to
3
take it to the judge and see what he does.
4
Thank you.
5
MR. SCAROLA: So that the record is clear,
6
it is my intention to ask very specific
7
questions about every factual allegation
8
included in every claim brought by Mr. Edwards
9
on behalf of every victim in every case in
10
which it is alleged that Mr. Edwards has
11
abusively prosecuted that claim.
12
I want to know about the connection between
13
Mr. Epstein and each one of those alleged
14
victims. I want to know about every individual
15
who had information concerning the events that
16
are alleged in those complaints, every
17
individual who was in a position to have
18
possibly had information about the events
19
alleged in those complaints.
20
I want to ask this witness about every
21
person whose deposition was taken and scheduled
22
to be taken, the relationship of those persons
23
to Mr. Epstein, knowledge that those persons may
24
have with respect to Mr. Epstein's activities
25
with minors, other crimes committed by
EFTA01173161
Page 24
1
Mr. Epstein as part of an ongoing and continuous
2
course of conduct supportive of claims for
3
punitive damages against Mr. Epstein and
4
supportive of RICO claims against him.
5
And had this deposition been permitted to
6
continue, we would have covered each of those
7
areas and substantially more.
8
MR. KNIGHT: Thank you.
9
THE VIDEOGRAPHER: The time is 10:03. We
10
are going off the record.
11
(Thereupon, the deposition was adjourned at
12
10:03 a.m.)
13
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EFTA01173162
Page 25
1
CERTIFICATE OF REPORTER
2
3 STATE OF FLORIDA
4 COUNTY OF BROWARD
5
6
I, TAMMY NESTOR, Registered Professional
7 Reporter, do hereby certify that I was authorized to and
8 did stenographically report the foregoing deposition of
9 JEFFREY EPSTEIN, that a review of the transcript was
10 requested, and that the transcript is a true record of
11 my stenographic notes
12
I further certify that I am not a relative,
13 employee, attorney, or counsel of any of the parties,
14 nor am I a relative or employee of any of the parties'
15 attorneys or counsel connected with the action, nor am I
16 financially interested in the action.
17
Dated this 25th day of January 2012.
18
19
TAMMY NESTOR, RPR
20
21
22
23
24
25
EFTA01173163
Page 26
1
CERTIFICATE OF OATH
2
3 STATE OF FLORIDA
4 COUNTY OF BROWARD
5
6
I, the undersigned authority, certify that
7 JEFFREY EPSTEIN personally appeared before me and was
8 duly sworn.
9
Witness my hand and official seal this 25th
10 day of January 2012.
11
12
13
Tammy Nestor, Court Reporter
Notary Public, State of Florida
14
Commission No.: EE 133933
Commission Exp. Date: 10/23/2015
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EFTA01173164
Page 27
1 January 25, 2012
2 FOWLER WHITE BURNETT, PA
1395 Brickell Avenue, 14th Floor
3 Miami, Florida 33131
ATTN: CHRISTOPHER E. KNIGHT, ESQUIRE
4
Re: Epstein v Edwards
5 Case No. 502009CA040800XXXXMBAG
6 Please take notice that on the January 25, 2012, you
gave your deposition in the above cause. At that time
7 you did not waive your signature. The transcript is now
available for your review.
8
Please call
or email
9
to schedule and
appointment between the hours of 9:00
. and 4:00
10 p.m., Monday through Friday, for you to have access on
your computer to a read-only version of the transcript.
11
If you are a party in this action and your attorney has
12 ordered a copy of this transcript, you may wish to read
their copy of the transcript. In that event, please
13 execute the Errata Sheet, which can be found at the back
of the transcript and return it to us for distribution
14 to all parties.
15 If you do not read and sign the deposition within thirty
(30) days, the original, which has already been
16 forwarded to the ordering attorney, may be filed with
the Clerk of the Court.
17
If you wish to waive your signature now, please sign
18 your name in the blank at the bottom of this letter and
return it to us.
19
Very truly yours,
20
TAMMY NESTOR, RPR
21 Phipps Reporting, Inc.
1615 Forum Place, Suite 500
22 West Palm Beach, Florida 33401
23 I do hereby waive my signature.
24
25 JEFFREY EPSTEIN
EFTA01173165
Page 28
1
ERRATA SHEET
2
DO NOT WRITE ON TRANSCRIPT
ENTER CHANGES ON THIS PAGE
3
In Re: Epstein v Edwards
4
Case No. 502009CA040800XXXXMBAG
JEFFREY EPSTEIN
5
January 25, 2012
6
7
PAGE
LINE
CHANGE
REASON
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Under penalties of perjury, I declare that I have read
the foregoing document and that the facts stated in it
22
are true.
23
24
DATE
JEFFREY EPSTEIN
25
EFTA01173166
EFTA01173167
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