gov.uscourts.nysd.447706.216.8.pdf PDF
…6/10/2016 Case Bill Clinton Sex1:15-cv-07433-LAP Document Scandal — Prince Andrew’s Alleged 216-8 Sex Slave Claims Filed …
…6/10/2016 Case Bill Clinton Sex1:15-cv-07433-LAP Document Scandal — Prince Andrew’s Alleged 216-8 Sex Slave Claims Filed …
… 1n the summer of 2006, when I was twenty-two years old and living in New York, I was introduced to Jeffrey Epstein by a girl I had met named Natalya. Malyshov. Shortly after meeting Jeffrey he invited me to…
…Upon securing the residence we met with the gentleman who identified himself to Detective Recarey as the lawyer for the defendant and he was informed that the residence was secured and that copies of the inventory return had been left…
…Upon securing the residence we met with the gentleman who identified himself to Detective Recarey as the lawyer for the defendant and he was informed that the residence was secured and that copies of the inventory return had been left…
…Upon securing the residence we met with the gentleman who identified himself to Detective Recarey as the lawyer for the defendant and he was informed that the residence was secured and that copies of the inventory return had been left…
…they should not be served because they are not “a more practical method of obtaining the information sought than a request for production or a deposition,” and because they were served in advance of the period “30 days prior to…
…any kind, and, to my knowledge, I never even met her until her deposition in 2016. By swearing to this, I am deliberately exposing myself to a perjury prosecution and disbarment if I am not telling the truth. If Ms…
…16 Q When did she tell you this? 17 A I'm not exactly sure on the dates. 18 Q Was it while you were still together? 19 A Yes. 20 Q Did you -- had you met Ms. Maxwell? 21 …
…they should not be served because they are not “a more practical method of obtaining the information sought than a request for production or a deposition,” and because they were served in advance of the period “30 days prior to…
…16 Q When did she tell you this? 17 A I'm not exactly sure on the dates. 18 Q Was it while you were still together? 19 A Yes. 20 Q Did you -- had you met Ms. Maxwell? 21 …
… .. PROPERTY DAMAGE? .......... N 8 AT 1600 HOURS I RESPONDED TO A CONFIDENTIAL L CATIO REFERENCE A COMPLAINTOF SEXUAL BATTERY. UPON ARRIVAL I\MET WITH THE ON-DUTY COUNSELOR, WHITE FEMALE, DOB 122864. M STATED, EARLIER IN THE …
…5 BY MR. KUVIN: 6 Q. Who introduced you to Jeffrey Epstein the 6 Q. Would you agree with me that 7 first time that you met him? 7 Jeffrey Epstein owns numerous planes, private 8 MR. RHEINHART: Same instruction…
…time. And 17 and were roommates. 18 During that time, had met with 19 and went shopping with her at the Palm Beach 20 Mall, where they purchased items from 21 Victoria's Secrets. 22 After spending the day together…
…form and 14 foundation. 15 THE WITNESS: was allegedly 16 17 dating Jeffrey Epstein at the time. and - were roommates. And - 18 19 20 …
… 9 A. Twenty dollars an hour. 10 Q. Was there anybody else with Ms. Maxwell 11 when you met her? 12 A. There was another woman with her. I don't 13 recall her or what she looks like or…
…they should not be served because they are not “a more practical method of obtaining the information sought than a request for production or a deposition,” and because they were served in advance of the period “30 days prior to…
…they should not be served because they are not “a more practical method of obtaining the information sought than a request for production or a deposition,” and because they were served in advance of the period “30 days prior to…
…any kind, and, to my knowledge, I never even met her until her deposition in 2016. By swearing to this, I am deliberately exposing myself to a perjury prosecution and disbarment if I am not telling the truth. If Ms…
…16 Q When did she tell you this? 17 A I'm not exactly sure on the dates. 18 Q Was it while you were still together? 19 A Yes. 20 Q Did you -- had you met Ms. Maxwell? 21 …
…they should not be served because they are not “a more practical method of obtaining the information sought than a request for production or a deposition,” and because they were served in advance of the period “30 days prior to…
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