gov.uscourts.nysd.447706.1328.30.pdf PDF
…then transitioned to something other than a 4 masseuse? 5 A No. She never said that it transitioned. 6 But she ended up explaining to me what had happened 7 before, so... 8 Q What has -- what is that? 9 …
…then transitioned to something other than a 4 masseuse? 5 A No. She never said that it transitioned. 6 But she ended up explaining to me what had happened 7 before, so... 8 Q What has -- what is that? 9 …
…then transitioned to something other than a 4 masseuse? 5 A No. She never said that it transitioned. 6 But she ended up explaining to me what had happened 7 before, so... 8 Q What has -- what is that? 9 …
…then transitioned to something other than a 4 masseuse? 5 A No. She never said that it transitioned. 6 But she ended up explaining to me what had happened 7 before, so... 8 Q What has -- what is that? 9 …
…that has allowed Fort Lauderdale lawyer Bradley Edwards’ claim of malicious prosecution against Epstein to proceed. President Trump “has been identified as an individual who may have information relating to these allegations,” said Edwards’ West Palm Beach attorney Jack Scarola…
… 25 A I mean, like I said, it was an alternative Southern Reporting Company (386)257-3663 Case 1:15-cv-07433-LAP Document 1325-17 Filed 01/04/24 Page 5 of 11 Video Deposition of Tony Figueroa…
…Islands? 21 A. He asked me if I wanted to go, and I said 22 I would still like to go. 23 Q. And do you recall who you -- who went with 24 you to the Virgin Islands? 25 A…
…5 eggs without the ham, in other words, and you recognize that 6 because you said that you would provide a list of the exhibits 7 on February 21. If you did, I don't think you did is my…
…Epstein, I'm going to instruct her 12 A. I just said no. 12 not to answer because it's not part of 13 Q. Did you participate in a massage 13 this litigation and it is her private 14…
…9 first, he could be returned to his office more rapidly. 10 THE COURT: Why should we be nice to him? 11 MR. POTTINGER: Other people have said that before, 12 your Honor. It is entirely, of course, up to…
…During my deposition in the Edwards case, I was asked about and shown photos of “Tatiana”; I said that I thought she appeared to “about 25” years old. It turned out that my estimate was correct. This exchange followed: [DERSHOWITZ…
…locks at JFK then-underage Roberts, saying she was 'making the whole thing up'. airport 'I was never in the presence of a single underage woman,' he said. 'I never saw [Epstein] doing anything improper. I was not a witness…
… 8 A. No. I d i dn ' t hi r e h e r , as I said , 9 Jeffrey did. 10 Q. Did ever have sex wi th 11 Jeffrey? 12 MR. PAGLIUCA: Objection to the 13 form and f…
…7 you hired her? 8 A. No. I didn ' t hire her , as I said , 9 Jeffrey did. 10 Q. Did Emmy ever have sex with 11 Jeffrey? 12 MR. PAGLIUCA: Objection to the 13 form and foundation. 14 A. …
…On May 9, 2016, the parties conferred regarding deposition scheduling and Ms. Giuffre noticed depositions in accordance with the dates and locations that Defendant’s counsel said were available, and, on May 17, 2016, provided her with a calendar outlining…
…right? 10 A. Yes. 11 Q. And with regard to AH, she never said 12 anything about Ghislaine Maxwell being at 13 Mr. Epstein's house, did she? 14 MS. SCHULTZ: Object to form and 15 foundation. 16 BY MR…
…is said to have flown on the paedophile's 'lolita express' almost as many times as the disgraced couple. 1/11 Case 1:15-cv-07433-LAP Document 1078-5 Filed 07/29/20 Page 57 of 161 Ms…
…Yuck I People hate sloppy couples! Has j said anything about me lately? M issing you lots honey and I run really tooking Social forward to seeing you. Shoppilg Lots of hugs and kisses Travel …
…from 30 underage 8 girls? 9 A. I can't testify to what the girls 10 said. I can only testify to the fact that I 11 read a police report that stated that. 12 Q. Were you working for…
…25 MR. KUVIN: I'm just trying to find out. 25 question is compound and therefore ambiguous. Page 98 Page 100 1 MR. RHEJNHART: Like I said, good try. 1 THE WITNESS: On the instruction of my 2 Move oo. …
…On May 9, 2016, the parties conferred regarding deposition scheduling and Ms. Giuffre noticed depositions in accordance with the dates and locations that Defendant’s counsel said were available, and, on May 17, 2016, provided her with a calendar outlining…
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