UNITED STATES DISTRICT COURT
Page 270
UNITED STATES DISTRICT COURT
SOUTHERN DISTRICT OF FLORIDA
2
3 JANE DOE NO. 2,
4 Plaintiff,
5 Vs.
6 JEFFREY EPSTEIN,
7 Defendant.
JANE DOE NO. 3,
Plaintiff, 9 8
10 CASE NO: 08-CV-80119
CONDENSED
CASE NO: 08-CV-80232
Vs.
JEFFREY EPSTEIN,
Defendant.
13
,14 JANE DOE NO. 4, CASE NO: 08-CV-80380
15 Plaintiff,
16 Vs.
17 JEFFREY EPSTEIN,
18 Defendant.
JANE DOE NO. 5, CASE NO: 08-CV-80381
Plaintiff, 11
12
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25 Vs
JEFFREY EPSTEIN,
Defendant.
EFTA00310278
Page 271
1 JANE DOE ea 6, USE NO: 08-CV-80994
2 Plaintiff,
3 Vs.
JEFFREY tpSie81,
Defendant.
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8 WE DOE NO. 7, CASE NO: 08-CV-80993
Plaintiff,
vs.
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JEFFREY EPSIEIN,
10
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12 C.N.A.,
13 Plaintiff,
14 Vs.
15 JEFFREY EPSTEIN,
16 Defendant.
17
JANE DOE, CASE NO: 08.07-80893
18
Plaintiff,
19
Vs.
20
21
Defendant.
22
23
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25 Defendant.
CASE NO: 08.CV-80811
JEFFREY EPSTEIN, 1 IN THE CIRCUIT COURT OF THE 15TH
JUDICIAL CIRCUIT IN AND FOR
2 PALM BEACH COUNTY, FLORIDA
3 CASE NO. 502008CA0373199000<MB AB
4
B.B.,
5
Plaintiff,
6
Vs.
7
JEFFREY EPSTEIN.
B
Defendant.
9
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11
12 1031 Ives Dairy Road
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:5
16 CONTINUED
17 VIDEOTAPED
18 DEPOSITION
19 of
20 ALFREDO RODRIGUEZ
21.
22 taken on behalf of the Plainbffs pursuant
23 to a Re-Notice of Taking Continued Videotaped
24 Depo9tlon (Duals Tatum)
25 - - - Page 2/3
Page 272
1 JANE DOE NO. Ii, CASE NO: 08-CV.80469
2 Plaintiff,
3 Vs.
4 JEFFREY EPSTEIN,
5 Defendant.
6
JANE DOE NO. 101 CASE NO: 08-CV-80591
7
Plaintiff,
8
VS.
9
JEFFREY EPSTEIN,
10
Defendant.
11
12 JANE DOE NO. 102, CASE NO: 08-0/-80656
13 Plaintiff,
14 VS.
15 JEFFREY EPSTEIN,
16 Defendant.
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25 1 APPEARANCES:
2
3 TERVELSTEIN & liOROWIT2, P.A.
BY: ADAI4HORownt ESQ.
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6, and 7.
ROTHSTEIN ROSENfELOT ADLER
BY: BRAD J. EDWARDS, ESQ., and
PODHURST ORSECK
SQ.
Attorney for lane Doe 101 and 102.
Palm Bead, Gardens, Florida 33410
Attorney for B.B. Pa4e 274
2 (Pages 271 to 274
Kress Court Reporting, Inc.
EFTA00310279
1 APPEARANCES:
2
3 RICHARD WILLITS, ESQ.
2290 10th AVenue North
4 Suite 404
Lake Worth, Florida 33461
S Attorney for C.MA.
speared via telephone.
6
7
BURMAN, CRITTON, CURTER
8 COLEMAN, LLP
BY: ROBERT CRITTON, ESQ.
9 515 North Rapier Drive
Suite 400
10 West Palm Beach, Florida 33401
Attorney for Jeffrey Epstein.
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13 ALSO PRESENT:
14
30E LANGSAM, VIDEOGRAPHER
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Deposition taken before MICHELLE PAYNE, Court
Reporter and Notary Public in and for the State of
Florida at Large, in the above cause.
THE VIDEOGRAPHER: This is a continuation
of the deposition of Alfredo Rodriguez.
Today is Friday, August the 7th, the year
2009, starting time approximately 1:15 p.m.
Will the court reporter please swear in
the witness?
Thereupon,
ALFREDO RODRIGUEZ,
having been first duly sworn or affirmed, was
examined and testified as follows:
MR. CRITTON: Before we get started just
with regard to Ms. Ezell represents Jane Doe
101 and 102, the alleged time of her
incidents as of least have been plead in the
complaint for 101 is '99 -- I'm sorry, '98
through 2002, with Jane Doe 102 the Spring
of -- Spring/Summer of 2003. Mr. Rodriguez
never even began employment until '04 and
'05. I think her questioning I think -- I
can't say she doesn't have standing based on
the court order, but I would say it's
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25 CONTINUED INDEX OF EXAMINATION
WITNESS DIRECT CROSS REDIRECT RECROSS
ALFREDO RODRIGUEZ
(By Ms. Ezell) 278 441, 467
(By Mr. Willits) 334 453, 469
(By Mr. Crkton) 338 464
(By Mr. Edwards) 419, 454, 468
(By Mr. Langlno) 452
CONTINUED INDEX OF EXHIBITS
PLAINTIFFS PAGE
3 Drawing 315
4 Photograph 327
5 Photograph 331
6 Photograph 331
7 Photograph 331
8 Photograph 331
9 Report 446
(Exhibits 4, 5, 6, 7, and 8 were retained by Ms.
Ezell.) Page 276 Page 278
1 completely irrelevant and immaterial and has
2 no probative value with regard to this
3 particular witness based upon the two
4 clients at least that are in suit at this
5 point in time.
6 MS. EZELL: As Mr. Critton well knows I
7 represent a number of other dients whose
8 cases have not been filed and I believe we
9 do have standing to ask questions, and I do
10 intend to do that today.
11 EXAMINATION
12 BY MS. EZELL:
13 Q. Mr. Rodriguez, you stated last time that
14 there were guests at the house, frequent guests,
15 friends from Harvard.
16 Do you remember that testimony?
17 A. Yes, ma'am.
18 Q. And was there a lawyer from Harvard named
19 Alan Dershowitz?
20 A. Yes, ma'am.
21 Q. And are you familiar with the fact that
22 he's a famous author and famous lawyer?
23 A. Yes, ma'am.
24 Q. How often during the six months or so
25 that you were there was Mr. Dershowitz there?
Kress Court Reporting, Inc. I
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EFTA00310280
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1 A. Two or three times.
2 Q. And did you have any knowledge of why he
3 was visiting there?
4 A. No, ma'am.
5 Q. You don't know whether or not he was a
6 lawyer -- acting as a lawyer or whether he was
7 there as a friend?
8 A. I believe as a friend.
9 Q. Were there also young ladies in the house
10 at the time he was there?
11 MR. CRITTON: Form.
12 THE WITNESS: Yes, ma'am.
13 BY MS. EZELL:
14 Q. av in ded for
15 instan
16 A. Yes, ma'am.
17 Q. Were there other young ladies there when
18 Mr. Dershowitz was there?
19 MR. CRITTON: Form.
20 THE WITNESS: Yes, ma'am.
21 BY MS. EZELL:
22 Q. Do you have any idea who those young
23 women were?
24 A. No, ma'am.
25 Q. Were any of those the young women that Page 281
1 Q. Can you tell me where those were?
2 A. One in the kitchen, and the one in the
3 formal -- the main entrance. And there was one
4 more added later on, but there is two when I was
5 working there.
6 Q. Could you just give me a rough sketch of
7 the house of where the main entrance was and where
8 the kitchen was?
9 A. I'm not an architect but it's something
10 like this. This is the kitchen, this is the main
11 entrance.
12 Q. Will you mark the kitchen with a K,
13 please, and the main entrance with ME?
14 A. This is the pool.
15 Q. The pool?
16 A. Yes, ma'am.
17 Q. And in the upper left?
18 A. In the terrace, yeah, there was a balcony
19 here.
20 Q. And where were the staircases?
21 A. This is one, the kitchen, one in the
22 foyer, and the pool.
23 Q. Okay. And would you just put an F where
24 the foyer staircase began? And KS where the
25 kitchen staircase began.
Page 280
1 you have said came to give massages?
2 A. Yes, ma'am.
3 Q. And do you have any Idea whether or not
4 Mr. Dershowitz was also receiving massages?
5 A. I don't know, Ma'am.
6 Q. I want to ask you to take this piece of
7 paper, please, and a pencil --
8 MR. WILLITS: Can anybody hear me?
9 MS. EZELL: Yes. Can you hear me?
10 MR. WILLITS: I've heard nothing for
11 about a minute or so.
12 MR. CRITTON: Can you hear me now?
13 MR. WILLITS: Yes.
14 MS. EZELL: I'm asking questions, I'm
15 sorry.
16 MR. CRITTON: Why don't we go off the
17 record for a second.
18 (Thereupon, a discussion was held off the
19 record.)
20 THE VIDEOGRAPHER: We're back on the
21 record
22 BY MS. EZELL:
23 Q. Mr. Rodriguez, you indicated that there
24 were several staircases in the house?
25 A. Yes, ma'am. Page 282
1 And you said that later another staircase
2 was added?
3 A. Yeah, we rehabilitated this, you know,
4 but you asked me how many stairs there were, to
5 answer your question there were three.
6 Q. Three. So where was the third one?
7 A. The pool, this leads to the pool.
8 Through the outside master bedroom you could go
9 downstairs to the pool.
10 Q. Okay. A stairway then from the outside,
11 from outside the master bedroom?
12 A. Yes, ma'am.
13 Q. Down to the pool?
14 A. Yes, ma'am.
15 Q. One of your duties was to answer the
16 door. Is that correct?
17 A. Yes, ma'am.
18 Q. Which door would you answer?
19 A. Mainly the kitchen.
20 Q. And why was that, why would people mainly
21 come to the kitchen?
22 A. I'll say it was for practicable reasons
23 because not to go to the main -- it was shorter
24 because the entrance was here, so this was the
25 driveway and we used to take Into the back door of
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1 the kitchen and they will wait there.
2 Q. All right. Would you just put BD where
3 the back door of the kitchen was, please?
4 Now, these young women that came to give
5 Mr. Epstein massages, would they usually come to
6 the kitchen door?
7 A. Yes, ma'am.
8 MR. CRITTON: Form.
9 BY MS. EZELL:
10 Q. Did any ever come to the front door?
11 A. Very rarely.
12 Q. And you would let them in the kitchen?
13 A. Yes, ma'am.
14 A h n how did you then turn them over
15 to 7
16 MR. CRITTON: Form.
17 THE WITNESS: I will call her.
18 BY MS. EZELL:
19 Q. How would you call her?
20 A. On her cell phone and she will know they
21 were waiting in the kitchen.
22 Q. And would you bring them in the kitchen
23 and then just leave?
24 A. Yes, ma'am.
25 Q. And where would you go? Page 285
1 A. You're welcome.
2 Q. Could you see the pool from the staff
3 house?
4 A. No, ma'am.
5 Q. How would you know, or would you know
6 when the young women were brought downstairs after
7 giving the massages?
8 MR. CRITTON: Form.
9 THE WITNESS: I will hear the commotion,
10 some voices, but I was not told they were
11 leaving.
12 BY MS. EZELL:
13 Q. And so did you have any duties that had
14 anything to do with their leaving?
15 A. Check the security and see if the gate
16 was closed, that the cars were locked because the
17 garage were here.
18 Q. Would you put a G where the garage was?
19 I believe you testified that you were
20 required to have on your person $2,000 everyday?
21 A. More or less, Ma'am.
22 Q. And if you open the door and a young
23 there to give a massage you would call
24 and go back to the staff house?
25 . es, ma'am.
Page 284
1 A. To my -- to the staff house that was
2 here.
3 Q. Good, I was going to ask you to show me
4 where the staff house is. Just put SH.
5 A. It was just maybe five feet, I used to
6 stay here.
7 Q. Okay. So what you're saying, it's about
8 five feet from the kitchen?
9 A. More or less, yes.
10 Q. Was it connected to the house?
11 A. No, it's detached but it's very dose
12 proximity.
13 Q. Okay. So to get to the staff house would
14 you come out the kitchen door?
15 A. Yes, ma'am. And I came through my --
16 there was two entrances, one through the laundry
17 here and one to the main entrance to the staff
18 house.
19 Q. All right. And what was your usual
20 pathway if you left the kitchen to enter the staff
21 house, how would you generally do it?
22 A. Normally I will came to the laundry, the
23 laundry was here and my office was next to the
24 laundry.
25 Q. Okay. Thank you. Page 286
1 Q. And then you believ would
2 come In and lead the young woman upstairs.
3 Correct?
4 MR. CRITTON: Form.
5 THE WITNESS: I'm sorry, can you repeat
6 your question?
7 BY MS. EZELL:
8 Q. I'll try to, yes.
9 When you would answer the door and there
10 would be a young lady there to give a massage.
11 A. Yes, ma'am.
12 Q. I believe you testified you would let her
13 in the kitchen.
14 A. Yes, ma'am.
15 Q. And you called a
16 A. Yes, ma'am.
17 Q. And you then left her in the kitchen
18 alone?
19 A. Yes.
20 Q. And went to the staff house?
21 A. Yes, ma'am.
22 Q. And sometimes you heard the commotion
23 when the young woman was leaving --
24 A. Yes, ma'am.
25 Q. -- but you didn't necessarily see them
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1 leave. Is that correct?
2 A. Exactly, yes, ma'am.
3 Q. How did the money that you
4 were keeping t 'to pay those young
5 women?
6 A. =would tell me who to pay and how
7 much, that's the way we work.
8 Q. And when would she tell you that?
9 A. She will call me by phone and say I'll
10 give so much to so on and so forth.
11 Q. Okay. Was that at the condusion of the
12 massage?
13 MR. CRITTON: Form.
14 THE WITNESS: Yes, ma'am.
15 BY MS. EZELL:
16 Q. Okay. Then I'm a little confused because
17 I thought you said that you didn't see them when
18 they left from giving the massage.
19 A. She will call me and she will say pay X,
20 Y, or Z, and that's the way I knew how much and to
21 whom. But sometimes they would leave and I didn't
22 pay those, I don't know who paid them.
23 Q. Okay. So if she calls you and told you
24 to pay X, Y, and Z $200, would you then go back
25 into the kitchen and give X, Y, and Z $200 each? 1
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A. Yes. le south face of the house,
but this was .
Q. All rig . nd so did she usually work
with her laptop on the dining room table?
A. She will have all over the house but she
will sit down here to work on the desk.
Q. Do you know whether she kept any lists of
names of girls to come and give massages?
A. She did, Ma'am.
MR. CRITTON: Form.
BY MS. EZELL:
Q. And do you know in what form she kept
those?
A. She had notes, you know, she always have
papers, but I don't know.
Q. Do you recall seeing the papers with
telephone numbers on them?
A. A couple of times.
Q. Do you know whether she also kept records
on the computer relating to the girls?
MR. CRITTON: Form.
THE WITNESS: Yes, ma'am.
BY MS. EZELL:
Q. And how do you know that?
A. Everything was recorded in -- everything
Page 288
1 A. Sometimes in the kitchen, sometimes in
2 the driveway I will pay them in an envelope, you
3 know.
4 Q. Okay. And she would tell you how much to
5 pay them?
6 A. Yes, ma'am.
7 Q. Where was Ms. when you would call
8 her to tell her that there was someone at the
9 kitchen door to give a massage?
10 A. She was inside the house so I call her on
11 her cell and say, Alfredo, leave them in the
12 kitchen, but I don't know where she was.
13 Q. Okay. Did she have an office?
14 A. No, ma'am.
15 Q. Did she have a computer In the house?
16 A. Yes.
17 Q. Where was her computer?
18 A. She had a laptop but she usually work in
19 the dining room.
20 Q. And where was the dining room?
21 A. All this area facing the garde
22 north -- I'm sorry, facing south, a
23 was at her desk here.
24 Q. So did the dining room have large
25 windows? Page 291
1 we did as employees we used to record and kept in
2 the internal circuit we used to have among the
3 employees.
4 Q. And so would it be, if I understand you
5 correctly then, was there some sort of a program
6 so could access Information that lil
7 Ms as putting into that program and she
8 co information you put in?
9 A. Yes, ma'am.
10 Q. And did you also send each other e-mails
11 that way or did you use a different program for
12 e-mail`.,
13 A. didn't send direct e-malls to me
14 but she will call me on her cell. But I was
15 supposed to send through Citrix to other
16 employees.
17 Q. E-mail them through Citrix?
18 A. Yes, ma'am.
19 Q. Okay. And who would those other
20 employees be, have been, I mean, while you were
21 there?
22 A. Mrs. n New York, mostly
23 them Mind --
24 Q.
25 A. yes, the secretary, and somebody as --
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1 else, I don't recall.
2 Q. Was there anyone else that you could
3 e-mail?
4 A. We could e-mail anybody in the
5 organization.
6 Q. On that particular program?
7 A. Yes, ma'am.
8 Q. And so who else would be In that
9 organization?
10 A. Other household managers from Parks or
11 the Island, Manhattan.
12 Q. Do you know whether Ms kept any
13 pictures of the young women whit come to give
14 massages on her laptop?
15 A. Yes, ma'am.
16 Q. You saw those pictures?
17 A. Yes.
18 Q. Were the pictures uniform? And by that I
19 mean, were they all taken, for instance, there at
20 the house so that they would all be fairly
21 standard?
22 MR. CRITTON: Form.
23 THE WITNESS: They will be all over, you
24 know, sometimes out of the country and
25 sometimes in the house. Page 293
"Il.* 1 A. I don't remember '
2 Q. Did you ever see sing that
i 3 small compact camera to a e a pi re of the
4 girls?
5 A. Yes, ma'am.
6 MR. CRITTON: Form.
7 BY MS. EZELL:
8 Q. When you saw her doing that where were
9 they, the girls?
10 A. The dining room, the library, the first
11 floor of the house.
12 Q. Did you ever see Ms. Maxwell taking
13 pictures of the girls?
14 A. No, ma'am.
15 Q. Did you ever see Mr. Epstein taking
16 pictures of the girls?
17 A. No, ma'am.
18 Q. Were you ever told by anyone that Mr.
19 Epstein sometimes took pictures of the girls?
20 MR. CRITTON: Form.
21 THE WITNESS: Yes, ma'am.
22 BY MS. EZELL:
23 Q. And do you rtgalleo told you that?
24 A. I think it wasM.
25 Q. Do you recall what she said about that?
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BY MS. EZELL:
Q. Were these pictures that were taken by
someone for the purpose of keeping them in that
program?
A. I don't know.
MR. CRITTON: Form.
BY MS. EZELL:
Q. Or opposed to, for instance, one of the
nuunc3 ladies bringing a picture to give to
AEI don't know.
Q. You don't know where the pictures came
from?
A. No, ma'am.
Q. Do you know was there anyone staying in
the house who often took pictures of young women?
MR. CRITTON: Form.
THE WITNESS: There was several cameras
in the house and they were used often, but I
don't know who used them.
BY MS. EZELL:
Q. Okay. Do you remember what kind of
cameras they were?
A. The small compact camera.
Q. Any other kind? Page 294
1 A. He likes photography and he likes -- like
2 a hobby.
3 Q. Do you know which camera or what kind of
4 camera he used to take those pictures?
5 A. No, ma'am.
6 Q. And you said I think you never saw him
7 taking them?
8 A. Yes.
9 Q. So --
10 MR. CRITTON: Yeah meaning correct?
11 THE WITNESS: Yes.
12 BY MS. EZELL:
13 Q. Was it your understanding that he took
14 those pictures upstairs?
15 MR. CRITTON: Form.
16 THE WITNESS: Yes, ma'am.
17 BY MS. EZELL:
18 Q. And when you had occasion to go upstairs
19 do you recall seeing camera equipment?
20 A. No, ma'am.
21 Q. Were you ever told that he took pictures
22 of the girls nude?
23 A. No, ma'am.
24 Q. Were you ever told that he liked to have
25 pictures taken of the girls nude?
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EFTA00310284
Page 295
1 MR. CRMON: Form.
2 THE WITNESS: No, ma'am.
3 BY MS. EZELL:
4 Q. I believe you were asked before In the
5 deposition about the stairway leading from the
6 kitchen upstairs and whether or not there were
7 pictures on that stairway.
8 A. Yes, there were pictures.
9 Q. Were those pictures some of them of nude
10 young women?
11 MR. CRITTON: Form.
12 THE WITNESS: Not on the stairway, they
13 were in the foyer in the second -- on the
14 foyer and the foyer leading to the master
15 bedroom.
16 BY MS. EZELL:
17 Q. I see. Were those -- what size generally
18 were those pictures?
19 A. They were, you know, I'll say three by
20 five.
21 Q. So very large --
22 A. Yes, ma'am.
23 Q. -- pictures? Were there lots of
24 photographs just around the house on top of
25 furniture in the various rooms? Page 297
1 BY MS. EZELL:
2 Q. And was that already installed when you
3 came there?
4 A. Yes, ma'am.
5 Q. Where is it you -- first of all, did they
6 tell you where the equipment was installed?
7 A. No.
8 Q. Did you have any understanding of where
9 the equipment was installed?
10 A. No.
11 Q. Do you know whether or not there was
12 surveillance photography equipment upstairs and
13 downstairs?
14 MR. CRITTON: Form.
15 THE WITNESS: Yes, ma'am.
16 BY MS. EZELL:
17 Q. And how do you know that?
18 A. I read it through the FBI report after
19 the fact that I -- after I left the job.
20 Q. Before reading through the FBI report did
21 you have any knowledge of the fact that there was
22 surveillance equipment both upstairs and
23 downstairs?
24 A. No, ma'am.
25 Q. While you were there was there ever an
Page 296
1 A. Yes, ma'am.
2 Q. And were any of those photographs of
3 young women in the nude?
4 A. Yes, ma'am.
5 Q. Did you recognize any of those young
6 women?
7 A. Yes, a couple.
8 Q. And who was it that you recognized?
9 A. Miland some other girl from Brazil
10 that was house but I don't remember her
11 name.
12 Q. Was this a girl that would come and stay
13 in the house or one of the girls that would come
14 and give massages?
15 A. They will stay at the house.
16 Q. Stay at the house. Do you recall a
17 picture of the girl, of a young women nude in a
18 hammock?
19 MR. CRITTON: Form.
20 THE WITNESS: No, I don't remember.
21 BY MS. EZELL:
22 Q. Was there surveillance equipment
23 installed in the house?
24 A. Yes, ma'am.
25 MR. CRITTON: Form. Page 298
1 occasion when someone came to do any maintenance
2 or repair on the surveillance equipment?
3 A. Yes, ma'am.
4 MR. CRITTON: Object to the form of the
5 last question.
6 MS. EZELL: Pardon?
7 MR. CRITTON: Form of the last question.
8 BY MS. EZELL:
9 Q. Did that happen more than one time?
10 A. I believe so, yes, ma'am.
11 Q. Do you have any recollection of who came
12 there, either the name of the company or the name
13 of the person who would come to repair or do
14 maintenance on the video equipment?
15 A. We used to have a young technician from
16 Ohio who used to maintain all the computers and he
17 would be the only one dealing with those things.
18 Q. So he maintained the computers and the
19 video equipment.
20 A. Yes.
21 Q. Is that correct?
22 MR. CRITTON: Form.
23 BY MS. EZELL:
24 Q. Do you have any recollection of what his
25 name was?
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1 A. I don't remember, Ma'am. He came from
2 New Albany, Ohio.
3 Q. From New --
4 A. New Albany, Ohio.
5 Q. New Albany, Ohio.
6 business?
7 A. No, he worked for Mr. Epstein. He will
8 maintain all the computers.
9 Q. Was he there everyday?
10 A. No, ma'am.
11 Q. Do you know whether at that time Mr.
12 Epstein had an office in Palm Beach?
13 A. Not outside the house, no.
14 Q. Do you have any knowledge of whether or
15 not the video equipment was -- and I don't know
16 the technical term, forgive me, but was it the
17 kind of equipment that would record for a certain
18 amount of time and then record over that film?
19 A. I don't know.
20 MR. CRITTON: Form.
21 BY MS. EZELL:
22 Q. You don't know?
23 A. No, ma'am.
24 MR. CRITTON: Just for clarification, I
25 may have misunderstood, but I thought he Did he have his own Page 301
1 video, even phones.
2 Q. Would he also repair the televisions if
3 they needed work?
4 A. No.
5 Q. No. Did you have any kind of intercom
6 system in the house?
7 A. Yes, ma'am.
8 Q. And what kind of system was that?
9 A. It was standard office equipment, Lucid
10 Technologies maybe, but it was an intercom like we
11 using right now.
12 MS. EZELL: Just let the record reflect
13 that the witness pointed to the telephone on
14 the table that has a speaker phone.
15 THE WITNESS: Yes, ma'am.
16 BY MS. EZELL:
17 Q. And did you use that in your work?
18 A. Yes, ma'am.
19 Q. And what did you use it for?
20 A. Mr. Epstein used to page me when he
21 needed me.
22 Q. Did you have one of those phones in the
23 kitchen?
24 A. Yes, ma'am.
25 Q. And was there one out in the staff house
Page 300
1 said he didn't even know the video equipment
2 existed until he read the FBI report.
3 MS. EZELL: He said he didn't know that
4 it was upstairs and downstairs, I believe.
5 MR. CRITTON: I thought he said he didn't
6 know that it even existed.
7 MS. EZELL: I may be wrong.
8 BY MS. EZELL:
9 Q. Did you know it existed before you read
10 the FBI report?
11 A. No, ma'am.
12 Q. I'm sorry, then I was wrong.
13 How did you know then that the young
14 technician from Ohio maintained the computers and
15 the video equipment?
16 A. Because we used to request -- there were
17 always problems with the computers so he came to
18 the house and he was the programmer. It was very
19 sophisticated.
20 MR. CRITTON: Form to the last question,
21 move to strike the answer as nonresponsive.
22 BY MS. EZELL:
23 Q. How did you know then that he maintained
24 the video equipment as well?
25 A. Because he was In charge of computers, Page 302
1 as well?
2 A. Yes, ma'am.
3 Q. Do you know where others were in the
4 house?
5 A. Probably have like 15 phones. We used to
6 have three in the staff house, one in the cabana,
7 two in the master bedroom, one in each room,
8 kitchen, dining room, Mrs. Maxwell's office, the
9 garage.
10 Q. Where was Mrs. Maxwell's office?
11 A. Under the stairs next to the kitchen.
12 Q. Can you give me some idea of what size
13 space that was?
14 A. It was probably -- we change the floor.
15 Twelve by five, something like that
16 Q. And was the computer equipment in that
17 space?
18 A. Yes, ma'am.
19 Q. Do you know whether Ms. Maxwell kept the
20 names and telephone numbers of the girls who came
21 to do massages?
22 A. Yes, ma'am.
23 MR. CRITTON: Form.
24 BY MS. EZELL:
25 Q. Do you know that because you saw the
9 (Pages 299 to 302)
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1 names and phone numbers?
2 MR. CRITTON: Form.
3 THE WITNESS: Yes, ma'am.
4 BY MS. EZELL:
5 Q. Do you know if she kept pictures of the
6 girls on the computer?
7 A. Yes, she did.
8 Q. And you know that as well because you
9 happen to see them?
10 A. Yes, ma'am.
11 MR. CRITTON: Form to the last two
12 questions.
13 BY MS. EZELL:
14 re they similar to the pictures that
15 Ms had on her computer?
16 . CRITTON: Form.
17 THE WITNESS: Yes, ma'am.
18 BY MS. EZELL:
19 Q. Did the pictures that they kept there
20 look like pictures that were posed?
21 A. They were more casual.
22 Q. Did they look as though the person being
23 photographed knew that they were being
24 photographed?
25 MR. CRITTON: Form. Page 305
1 computer?
2 MR. CRITTON: Form.
3 THE WITNESS: Yes, ma'am.
4 BY MS. EZELL:
5 Q. And did she generally have phone numbers
6 for those girls?
7 A. Yes, ma'am.
8 Q. And were they generally pictures of the
9 girls?
10 MR. CRITTON: Form.
11 THE WITNESS: No, ma'am.
12 BY MS. EZELL:
13 Q. And did Ms. Maxwell have a list of the
14 girls who came to give massages?
15 MR. CRITTON: Form.
16 THE WITNESS: Yes, ma'am.
17 BY MS. EZELL:
18 Q. Did she have telephone numbers generally?
19 A. Yes, ma'am.
20 MR. CRITTON: Form.
21 BY MS. EZELL:
22 Q. Were there pictures on her computer of
23 the girls who came to give massages?
24 MR. CRITTON: Form.
25 BY MS. EZELL:
Page 304
1 THE WITNESS: No, ma'am.
2 BY MS. EZELL:
3 Q. And what can you tell me about that, what
4 lead you to draw that conclusion?
5 A. They were probably taken in parties in
6 big reception or banquet.
7 MR. CRITTON: Let me offer as a
8 suggestion, not that you have to accept or
9 that you would, you're using the term young
10 girls generically, he has probably seen
11 many, many young girls, there was no --
12 you've used it interchangeably with just
13 young girls versus young girls who may have
14 come to -- purported to give a massage and,
15 therefore, that may be a different answer,
16 so that's part of my form objection.
17 MS. EZELL: Okay, thank you.
18 BY MS. EZELL:
19 Q. When I asked you about Ma whether
20 she had a list of the girls and teleph mbers,
21 I think I asked about those girls that came to
22 give massages, but let me go back and just ask it
23 that way.
24 Did you notice that Ms. Mad a list
25 of the girls that came to give massages on her Page 306
1 Q. Ms. Maxwell I'm talking about.
2 A. Yes, ma'am.
3 Q. And were those pictures the more casual
4 ones that you described when I asked whether or
5 not the subject looked as though she knew she was
6 being photographed?
7 MR. CRITTON: Form.
8 THE WITNESS: I'm sorry, can you repeat?
9 BY MS. EZELL:
10 Q. Yeah. The pictures of the young girls
11 who came to the house to give massages that were
12 on Ms. Maxwell's computer, did they appear to have
13 been taken when the girls knew they were being
14 photographed?
15 MR. CRITTON: Form.
16 THE WITNESS: I don't think they knew
17 they were being photographed.
18 BY MS. EZELL:
19 Q. I believe you said they were more casual
20 pictures.
21 A. Yes, ma'am.
22 Q. Did you notice any nude photographs in
23 those pictures?
24 A. Yes, ma'am.
25 MR. CRITTON: Form for the last question.
10 (Pages 303 to 306)
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1 BY MS. EZELL:
2 Q. Among those pictures in Ms. Maxwell's
3 computer of the young women who came there to give
4 massages, were the nude photographs in that group
5 taken, did they appear to be taken in the house?
6 MR. CRITTON: Form.
7 THE WITNESS: No, ma'am.
8 BY MS. EZELL:
9 Q. You said before they appeared to be taken
10 at receptions or banquets?
11 A. Yes, ma'am.
12 Q. And Pm a little confused about how they
13 were casual and taken while the girls were nude at
14 receptions and banquets?
15 A. What I saw there were parties in Russia,
16 Eastern Europe, I don't know which country, but
17 there were also pictures of nude girls in a
18 shower, for instance, In a shower stall.
19 Q. You said for instance, so were there
20 other places other than the shower?
21 A. Yes, ma'am.
22 Q. Like what?
23 A. Gatherings, you know, in a party. You
24 could tell everybody is smiling so I believe It
25 was a place where they're having fun. Page 309
1 Q. And was there more than one during the
2 time you were there?
3 A. Yes.
4 Q. Do yougaber their names?
5 A. One w I don't remember the other
6 one name.
7 Q. Did they appear to be American?
8 A. Yes, ma'am.
9 Q. Do you know the name
10 A. Could be, ma'am, but I'm not sure of his
11 last name.
12 Q. Do you have any idea where those chefs
13 had goiiiiieir training?
14 A. was working in San Francisco when
15 he was hired.
16 Q. Was he still there when you left Mr.
17 Epstein's employ?
18 A. Yes, to my knowledge, ma'am.
19 Q. Did the chef interact with the girls who
20 came to give massages?
21 A. In the kitchen, yes.
22 Q. And did he often offer them some food
23 while they were there?
24 A. Yes, ma'am.
25 Q. Were there occasions where a girl came to
Page 308
1 Q. Were any of those pictures, if you
2 recall, taken in the cabana?
3 A. I don't remember.
4 Q. Do you recall there being parties and
5 gatherings in the cabana at the house?
6 A. I don't remember.
7 MR. CRITTON: Form.
8 BY MS. EZELL:
9 Q. When Mr. Epstein entertained did you have
10 anything to do with seeing that the bars were
11 stocked and that there was food that was needed
12 and so forth?
13 MR. CRITTON: Form.
14 THE WITNESS: There was no alcohol in the
15 house, only for guests. But, yeah, he will
16 ask sometimes for food.
17 BY MS. EZELL:
18 Q. And do you ever recall him asking for
19 food for parties In the cabana?
20 A. No, ma'am.
21 Q. Was there a chef at the house on El
22 Brillo Way when you were there?
23 A. I'm sorry?
24 Q. A chef.
25 A. Yes, there was. Page 310
1 give a massage accompanied by another girl, or
2 another person, let me say?
3 A. Yes, ma'am.
4 Q. And sometimes was that other person a
5 woman and sometimes a man?
6 A. No, ma'am, always a woman.
7 Q. Always a woman. Usually would it have
8 been a woman about the same age as the young woman
9 coming to give the massage?
10 MR. CRITTON: Form.
11 THE WITNESS: Yes, ma'am.
12 BY MS. EZELL:
13 Q. Were you ever told by Ms to pay
14 the person who came who didn't give a massage?
15 A. Yes, ma'am.
16 Q. Do you recall how much you paid that
17 person?
18 A. Yes, ma'am.
19 MR. CRITTON:
20 BY MS. EZELL_:
21 Q. Now much?
22 A. 300 to 500 dollars.
23 Q. Were some of those young women who
24 brought other young women for massages regulars, I
25 mean, did they regularly bring other young women? Form.
11 (Pages 307 to 310)
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Page 311
1 MR. CRITTON: Form.
2 THE WITNESS: Yes, ma'am.
3 BY MS. EZELL:
4 Q. And were there some who maybe came just
5 once or twice with other young women?
6 A. That's correct, ma'am.
7 Q. Now, where would the young woman who was
8 bringing another young woman go during the time
9 the person that she brought was upstairs giving
10 the massage?
11 MR. CRITTON: Form.
12 THE WITi v(v)ill take them to the
13 kitchen an uld take them from
14 there.
15 BY MS. EZELL:
16 Q. Do you know where she took them?
17 A. No, ma'am.
18 Q. Were they ever taken to just sit in the
19 living room and wait?
20 MR. CRMON: Form.
21 THE WITNESS: I don't know, ma'am.
22 BY MS. EZELL:
23 Q. These pictures of nude young women taken
24 in gatherings where they were smiling, did they
25 appear to you to be taking part in an orgy? Page 313
1 shower, I don't know whether he ever used
2 plural.
3 BY MS. EZELL:
4 Q. Was there more than one picture of a girl
5 in the shower?
6 A. There were two girls in the shower.
7 Q. Two girls in the shower together?
8 A. Yes, ma'am.
9 Q. And were those two girls engaged in
10 something sexual?
11 A. Yes, ma'am.
12 Q. And I may have asked you this question,
13 forgive me if I did, did you know those two girls?
14 A. No, ma'am.
15 Did Ms. Maxwell have nude pictures of
16 on her computer?
17 MR. CRITTON: Form.
18 THE WITNESS: I don't know, ma'am.
19 BY MS. EZELL:
20 Q. Did you ever meet a young woman named
21 who had an accn iafinn with Ms. Maxwell?
22 MR. CRMO
23 MS. EZELL:
24 THE WITNE on remember, ma'am.
25 BY MS. EZELL:
Page 312
1 MR. CRITTON: Form.
2 THE WITNESS: I don't know, ma'am.
3 BY MS. EZELL:
4 Q. Do you know the word cavorting?
5 A. No, ma'am, I don't know.
6 Q. I need my Thesaurus. You said they were
7 smiling, did they appear to be having a good time?
8 A. Yes, ma'am.
9 Q. Did they appear to be doing anything
10 sexual?
11 A. Yes, ma'am.
12 Q. And in these Instances were there girls
13 doing sexual things with other girls?
14 A. Yes, ma'am.
15 Q. And I'm still talking about the pictures
16 on Ms. Maxwell's computer.
17 A. Yes, ma'am.
18 MR. CRITTON: You're talking about the
19 group shots that he's mentioned from Russia
20 and Eastern Europe?
21 MS. EZELL: And girls In the shower.
22 MR. CRITTON: Let me object to the form
23 then the way you just now described that.
24 MS. EZELL: He said for instance.
25 MR. CRITTON: He had said a girl in the Page 314
1 Q. Did you ever have any conversations with
2 Ms. Maxwell about any of the women in those
3 pictures?
4 A. No, ma'am.
5 d you ever have a conversation with
6 about any of the pictures of the
7 mputer?
8 A. No, ma'am.
9 Q. You were asked last time about the creams
10 and lotions that Mr. Epstein typically had
11 available to him and you said you thought there
12 was a favorite one but you couldn't remember it.
13 A. Spa.
14 Q. Spa, you did say Spa.
15 A. Yeah.
16 Q. Thank you.
17 Where did the stairway from the kitchen
18 lead -- to where did it lead?
19 A. To the second floor between the first and
20 second bedrooms.
21 Q. Were either of those bedrooms the master
22 bedroom?
23 A. No, ma'am.
24 Q. Could one go up that stairrace through --
25 could one go up that staircase and reach the
12 (Pages 311 to 314)
EFTA00310289
Page 315
1 master bedroom?
2 A. Yes, ma'am.
3 Q. And how would you do that? If you want
4 to turn the page over for the upstairs you could
5 do that
6 A. Okay.
7 MR. CRITTON: Are you going to mark this
8 as an exhibit?
9 MS. EZELL: Uh-huh.
10 MR. CRITTON: Would that be Exhibit 3?
11 MR. EDWARDS: I think so.
12 (Exhibit No. 3 was marked for
13 Identification.)
14 THE WITNESS: This is the master bedroom,
15 master bath, and there were one, two -- the
16 rest of the bedrooms were here and the
17 master bedroom was here. This is master
18 bath one and master bath two.
19 So the staircase came to the second floor
20 like this and it was between the first and
21 second bedroom. And you could go through
22 here and you enter a foyer with double doors
23 here, double doors here, and you enter the
24 master bedroom.
25 BY MS. EZELL: Page 317
1 Q. White. By the way, I have some more
2 water, would you like some?
3 A. Thank you, ma'am.
4 Q. I figure if I'm a little dry you may be
5 too.
6 I believe one of the items that you
7 mentioned that sometimes had to be picked up after
8 girls were there giving massages was a back
9 massager.
10 A. Yes, ma'am.
11 Q. Could you describe that for me, please?
12 A. It was a piece about this big.
13 Q. Would you say that's about 18 inches?
14 A. Yes, ma'am. And two prongs with the
15 rubber tips and a cord.
16 Q. Okay.
17 A. Or it could be detached too.
18 Q. Do you have any recollection of what make
19 that was?
20 A. No, ma'am.
21 Q. Were there any other massagers that you
22 recall seeing there regularly?
23 A. Those are the ones I remember. I think
24 they are from Sharper Image, but I don't --
25 Q. Okay. Were there often girls around the
Page 316
1 Q. All right. How would you get to the
2 master bathroom on that end?
3 A. You go through these double doors, go
4 around the bed and you gain access to the master
5 bedroom — master bathroom, sorry.
6 Q. And then there was another master
7 bathroom on the other side of the room?
8 A. Yes, ma'am.
9 Q. Where generally did the massages take
10 place?
11 A. Right here, ma'am.
12 Q. And is that in the master bathroom?
13 A. Master bathroom, yes.
14 Q. Do you recall what color the tile was in
15 that bathroom?
16 A. There was carpet.
17 Q. Was there tile on the walls or marble
18 or —
19 A. There was a sauna here with marble but
20 outside the sauna everything was carpet, and the
21 walls, they didn't have any tile. Oh yes, I will
22 say four feet off the floor they will have marble.
23 Q. And do you remember what color marble it
24 was?
25 A. White. Page 318
1 pool at the house?
2 A. Yes, ma'am.
3 Q. And were these sometimes the same girls
4 that came to give massages?
5 A. Yes, ma'am.
6 Q. Were there girls in addition to those who
7 came to give massages who hung around the pool?
8 A. The girls who were staying at the house.
9 Q. Okay. And so they weren't girls who Just
10 regularly came to hangout around the pool?
11 A. No, ma'am.
12 MS. EZELL: Excuse me. Can we go off the
13 record for a minute?
14 (Thereupon, a recess was had.)
15 THE VIDEOGRAPHER: We're back on the
16 record with tape number two.
17 BY MS. EZELL:
18 Q. Mr. Rodriguez, did you receive a subpoena
19 that asked you to bring documents with you to the
20 deposition?
21 A. Yes, ma'am.
22 Q. And did you bring any with you?
23 A. I couldn't find anything at my house.
24 Q. Okay. I believe we talked about a
25 Journal that you kept, and you looked for that?
I= ,. K.ressrn_ Reporting,Coiduila 2.;13 (Pages 315 to 318)
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1
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9
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15
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17
18
19
20 Q. Do you know if she was married to
21 MI Do you know Mr...
22 MR. CRITTON: Form.
23 THE WITNESS: I believe, yeah, I'm not
24 sure, ma'am.
25 BY MS. EZELL: Page 319
A. Yes, ma'am.
Q. And you couldn't find it?
A. I give it to Detective Joe.
Q. Recarey?
A. Yes, ma'am.
Q. You mentioned that you called Mr.
Jean-Luc Bernell about a recommendation when you
were looking for a job.
A. Yes, ma'am.
Q. And did you know him from his visits in
the home?
A. Yes, ma'am.
Q. Did you say that his wife's name w.
MR. CRITTON: Form.
THE WITNESS: No, ma'am.
BY MS. EZELL:
Q. A.
years u know what his wife's name was?
was a model, a former model from
ho was friend of Mr. Epstein. 1
2
3
4
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25 Page 321
BY MS. EZELL:
Q. Did they ever visit Mr. Epstein at the
home when you were there?
A. Yes, ma'am.
Q. How old was the little girl at that time?
A. Eight years old.
Q. Did the girl's father come to visit as
well?
A. Yes, ma'am.
Q. And do you remember his name?
A. No, ma'am.
Q. Do you remember hearing anything about
what he does for a living?
A. No, ma'am.
Q. Can you describe him?
A. Tall, American born, I will say 50 years
old.
Q. What color hair did he have?
A. At that time it was black with a few
white hairs.
Q. Were there drawings of nude women in the
house?
A. No, ma'am.
Q. Were there paintings of nude women in the
house?
Page 320
1 Q. Is she now a doctor?
2 A. No, she was a model, her husband could be
3 a doctor but I don't think she Is.
4 Q. Okay. So is Jean-Luc Bernell married; to
5 your knowledge?
6 A. I don't know, ma'am.
7 Q. I think I must have gotten confused
8 because we were talking about the picture in the
9 house of the little girl who is lifting up her
10 skirt or her underpants, I'd forgotten what it
11 was.
12 A. Yes, ma'am.
13 MR. CRITTON: Form.
14 BY MS. EZELL:
15 Q. And I thought you said that that was
16 Jean-Luesill.
17 A. No, ., she is Mrs
18 Q. Eva'srr IIM?
19 A. Yes, ma'am.
20 Q. And she is Jeffrey
21 A. Yes, ma'am.
22 Q. Do you know where she and her mother
23 live?
24 A. They live in Manhattan.
25 MR. CRITTON: Form. Page 322
1 A. Yes, ma'am.
2 Q. Did any of those appear to be
3 Ms. Maxwell?
4 A. Yes, ma'am.
5 Q. You mentioned that who was still
6 working there when you left --
7 A. Yes, ma'am.
8 Q. -- was a very religious woman --
9 A. Yes, ma'am.
10 Q. -- and would sometimes be upset about
11 seeing pictures of nude girls or having to pick up
12 sex toys, et cetera.
13 MR. CRITTON: Form.
14 THE WITNESS: Yes, ma'am.
15 BY MS. EZELL:
16 Q. And you said that you remembered her
17 crying because there was a picture of the Pope
18 next to a picture of a naked girl.
19 MR. CRITTON: Form.
20 THE WITNESS: Yes, ma'am.
21 BY MS. EZELL:
22 Q. Do you know who that naked girl was?
23 A. I don't remember, ma'am.
24 Q. I believe David Copperfield's name came
25 up in the last deposition as someone who would
14 (Pages 319 to 322)
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Page 323
1 call or visit.
2 A. Yes, ma'am.
3 Q. Were you ever there when he visited?
4 A. Yes, ma'am.
5 Q. And do you remember did he spend the
6 night?
7 A. No, ma'am.
8 Q. Did he come for dinner?
9 A. Yes, ma'am.
10 Q. Did that happen more than one time when
11 you were there?
12 A. Yes, ma'am.
13 Q. Do you remember whether or not any of the
14 young ladles who came to perform massages also
15 stayed for dinner?
16 A. No, ma'am.
17 MR. CRITTON: Just so It's clear, no, you
18 don't remember?
19 THE WITNESS: No, they were not there.
20 BY MS. EZELL:
21 Q. Did any of them ever stay for dinner?
22 Just any dinner, not the dinner with David
23 Copperfield.
24 A. You said they, the girls?
25 Q. The girls who came to give massages. Page 325
1 we are start with It and then you can use
2 the initials after that for all I care.
3 BY MS. EZELL:
4 Q. Do you remember a girl nameclill?
5 A. I heard that name.
6 Q. So I will refer to her as Mom now
7 on.
8 I'm going to show you a document, we can
9 mark it but I'm not going to leave it. I'm going
10 to take the exhibit.
11 MR. CRITTON: Wait a minute. Are you
12 going to make a copy of it?
13 MS. EZELL: No, I'm not going to leave a
14 copy.
15 MR. CRITTON: All right. Then I object
16 to you showing him a document that is not
17 part of this record.
18 MS. EZELL: Then object and the Judge can
19 rule, but I'm going to ask him to look at
20 this document. We can mark it as Exhibit 4.
21 THE WITNESS: Oh yeah.
22 BY MS. EZELL:
23 Q. Do you remember this young woman?
24 A. Yes.
25 MR. CRITTON: Let's see.
Page 324
1 A. No, ma'am.
2 Q. In the earlier part of the deposition you
3 stated that you didn't drive the girls but then
4 later you remembered that you did sometimes have
5 to drive them.
6 A. Yes, ma'am.
7 Q. Do you remember a young woman named A.
8 who came there?
9 A. Yes, I do remember.
10 MS. EZELL: And again, we're going to
11 have the same agreement, if we use a girl's
12 name it will be shown on the transcript as
13 the initials only.
14 MR. EDWARDS: Agreed.
15 MR. CRITTON: Why don't you give him the
16 initials? Because in reading the transcript
17 we could end up with 25 Cs or E's or Ts,
18 in looking at it by just using the first, I
19 am just offering a suggestion because none
20 of us will remember who in the heck these
21 people are.
22 MS. EZELL: So you're asking me to give
23 both names so we would have two initials?
24 MR. CRITTON: lie may not recognize either
25 the first or the second name but as long as Page 326
1 BY MS. EZELL:
2 Q. And was she one of the ones who came to
3 the house to give massages?
4 A. Yes, ma'am.
5 Q. Do you remember her name?
6 A. No, ma'am.
7 Q. Is it possible she waM
8 MR. CRITTON: Form.
9 THE WITNESS: I hear that name but I
10 cannot say for sure.
11 BY MS. EZELL:
12 Q. Okay. Did she come often to the house?
13 A. Yes, ma'am.
14 Q. Were you ever aware of her being
15 photographed?
16 A. No, ma'am.
17 Q. I asked you about David Copperfield
18 before and let me ask you again. In thinking
19 about it is it possible that you remember that she
20 was there for dinner with David Copperfield?
21 MR. CRITTON: Form, asked and answered.
22 THE WITNESS: Possible, yes, ma'am.
23 BY MS. EZELL:
24 Q. Did you ever meet her parents?
25 A. No, ma'am.
15 (Pages 323 to 326)
EFTA00310292
Page 327
1 Q. I'll take the pictures back.
2 MR. CRITTON: Just put on the record that
3 my client obviously could be here at the
4 deposition, or anyone's clients could be
5 here at the deposition and have full access
6 to the information that's being provided, by
7 taking the photograph back I'm not going to
8 be able to provide to that dient, nor will
9 I have possession of it so I could discuss
10 that photograph, it's now been explored with
11 this witness.
12 (Exhibit No. 4 was marked for
13 Identification.)
14 BY MS. EZELL:
15 Q. Do you recall that on occasion you drove
16 this young woman to or from Mr. Epstein's house?
17 MR. CRITTON: Form.
18 THE WITNESS: I don't remember, ma'am.
19 BY MS. EZELL:
20 Q. Do you ever recall driving her by the
21 airport and showing her Jeffrey Epstein's plane?
22 MR. CRITTON: Form.
23 THE WITNESS: Yes, ma'am.
24 BY MS. EZELL:
25 Q. Do you ever recall one time perhaps by Page 329
1 BY MS. EZELL:
2 Q. You mentioned last time that Mr. Epstein
3 asked you to go and rent a car for one of the
4 girls who gave him massages.
5 A. Right.
6 Q. Do you know if that waO
7 A. I'm not hundred percent sure, ma'am.
8 Q. Do you know how long that girl kept the
9 car?
10 A. A couple of months.
11 Q. Did she bring it back to you or did she
12 turn it in at the agency?
13 A. She brought it back to me.
14 Q. Did you ever have any knowledge of Mr.
15 Epstein helping this girl with her college
16 applications?
17 MR. CRITTON: Form.
18 THE WITNESS: I believe Mr. Epstein was
19 giving her money for good grades, that's
20 what I -- she told me, I understood that.
21 BY MS. EZELL:
22 Q. Was this the girl that you were
23 instructed by Mr. Epstein to take roses to at the
24 completion of her graduation?
25 A. I don't remember exactly, ma'am, but
Page 328
1 accident seeing her naked?
2 MR. CRITTON: Form.
3 THE WITNESS: Yes, ma'am.
4 BY MS. EZELL:
5 Q. How happen?
6 A. I told to go upstairs because I
7 saw Mr. Epstein leave, so we rushed upstairs to
8 clean and this girl was sleeping naked in the
9 sauna, she fall asleep there, there was nobody
10 else there.
11 MR. CRITTON: Can I ask just for
12 darification, Is he talking now about the
13 person he thought was A. but he wasn't sure
14 or the person that's in photo four?
15 MS. EZELL: The person that's in
16 photo four.
17 THE WITNESS: Yes.
18 MR. CRITTON: Okay, thank you.
19 BY MS. EZELL:
20 Q. just so we're clear, do you think
21 this i but you're not sure?
22 . CRITTON: Form.
23 THE WITNESS: I heard the name so many
24 times but I know I took her, you know, in
25 the Suburban, so it was her. Page 330
1 there were so many faces, you know, but I cannot
2 say a hundred percent.
3 Q. But it's possible that this is the same
4 girl?
5 A. Yes, ma'am.
6 MR. CRITTON: Form.
7 BY MS. EZELL:
8 Q. And thinking about it carefully you still
9 believe she kept that car for two months?
10 A. Yes, ma'am.
11 Q. Do you recall an encounter with this same
12 girl when you saw a strange vehicle in the
13 driveway one day?
14 MR. CRITTON: Form.
15 THE WITNESS: Yes, ma'am.
16 BY MS. EZELL:
17 Q. And what happened then?
18 A. I saw, you know, an old car that didn't
19 belong to the house so I went to the police
20 department, so the police department follow me and
21 they with flashlight they went into the driver and
22 ask her because she was -- I forgot I was suppose
23 to pay her but it was late at night, 8:00 p.m.,
24 something like that, 8:30, so I recognize her and
25 I said to the police department I know this girl,
16 (Pages 327 to 330)
Re ortin Inc
EFTA00310293
Page 3M
1 so I paid her and she went off.
2 Q. Do you recall how much you paid her?
3 A. Between two and
📷 Images in this document (52 detected; 6 largest described)
AI-generated factual descriptions of embedded images (llava:13b). These are searchable across the corpus.
[Image 1] The image shows a document that appears to be a transcript of a conversation or interview. The document is structured with numbered questions and corresponding answers. There are visible names, such as "Mr. Smith," "Mr. Johnson," and "Ms. Brown," which suggest that this is a record of a discussion between individuals. The text includes various topics and responses, indicating a formal or semi-form
[Image 2] The image is a scanned document, specifically a page from a test or examination. It contains a series of multiple-choice questions with four answer options each. The questions are numbered from 1 to 20, and the answers are provided in a column to the right. The document is structured in a standardized format typical for educational or assessment materials. There are no visible names, dates, places
[Image 3] The image shows a document that appears to be a transcript of a conversation or a series of questions and answers. The document is structured with numbered questions and corresponding answers. The text is black on a white background, and the document is presented in a portrait orientation. There are no visible names, dates, places, or logos that can be discerned from this description. The content
[Image 4] The image shows a document that appears to be a transcript of a conversation or a series of questions and answers. The document is structured with numbered questions and corresponding answers. The text is black on a white background, and there are no visible images or logos. The content of the text is not described, as per the guidelines.
[Image 5] The image shows a document that appears to be a transcript of a conversation or interview. It is a black and white scan, and the text is organized into numbered questions and answers. The document includes questions such as "What do you think about the film?" and "What do you think about the director?" with corresponding answers. The text is too small to read the specific details of the conversati
[Image 6] The image shows a document that appears to be a transcript of a conversation or a series of questions and answers. The document is structured with numbered questions and corresponding answers. The text is too small to read in detail, but it seems to be a formal or professional exchange, possibly related to a job interview or a technical support conversation. The document includes a header with a d