📄 Extracted Text (778 words)
Case 1:15-cv-07433-LAP Document 1198-27 Filed 01/27/21 Page 1 of 6
EXHIBIT U
Case 1:15-cv-07433-LAP Document 1198-27 Filed 01/27/21 Page 2 of 6
GIUFFRE
VS.
MAXWELL
Deposition
STEVEN W OLSON
05/26/2016
_______________________________________________________________________
Agren Blando Court Reporting & Video, Inc.
216 16th Street, Suite 600
Denver Colorado, 80202
303-296-0017
Agren Blando
Case 1:15-cv-07433-LAP Court Reporting
Document 1198-27 & Video,
Filed Inc. Page 3 of 6
01/27/21
Page 1 Page 3
IN THE UNITED STATES DISTRICT COURT 1 INDEX OF EXHIBITS
SOUTHERN DISTRICT OF NEW YORK 2
INITIAL
Civil Action No. 15-cv-07433-RWS 3 DESCRIPTION REFERENCE
__________________________________________________
4
CONFIDENTIAL DEPOSITION OF DR. STEVEN W. OLSON Exhibit 1 Authorization for the Release 7
May 26, 2016 5 and Disclosure of Protected
__________________________________________________ Health Information and Medical
6 Records
VIRGINIA L. GIUFFRE,
7 Exhibit 2 Subpoena to Produce Documents, 7
Plaintiff, Information, or Objects or to
8 Permit Inspection of Premises in
v. a Civil Action
9
GHISLAINE MAXWELL, Exhibit 3 Subpoena to Testify at a 8
10 Deposition in a Civil Action
Defendant.
__________________________________________________ 11 Exhibit 4 Document titled Centura Health 40
Physician Group Patient
APPEARANCES: 12 Information
S.J. QUINNEY COLLEGE OF LAW, UNIVERSITY OF UTAH 13 Exhibit 5 Visit note for Dr. Olson 43
By Paul G. Cassell, Esq.
383 S. University Street 14 Exhibit 6 Document titled Patient Health 100
Salt Lake City, UT 84112 Summary, The Entrance Medical
Phone: 801.585.5202 15 Centre
[email protected]
Appearing on behalf of the 16 Exhibit 7 Document titled Patient Health 105
Plaintiff Summary from Central Coast
17 Family Medicine
HADDON, MORGAN AND FORMAN, P.C.
By Laura A. Menninger, Esq. 18
150 East 10th Avenue
Denver, CO 80203 19
Phone: 303.831.7364
[email protected] 20
Appearing on behalf of the
Defendant 21
22
23
24
25
Page 2 Page 4
1 Pursuant to Subpoena, Notice and the 1 *******
2 Federal Rules of Civil Procedure, the DEPOSITION OF 2 PROCEEDINGS
3 DR. STEVEN W. OLSON, called by Defendant, was taken 3 (Exhibits 1 through 3 marked.)
4 on Thursday, May 26, 2016, commencing at 8:54 a.m., 4 EXAMINATION
5 at 150 East 10th Avenue, Denver, Colorado, before 5 BY MS. MENNINGER:
6 Kelly A. Mackereth, Certified Shorthand Reporter, 6 Q All right. Good morning.
7 Registered Professional Reporter, Certified Realtime 7 A Hi.
8 Reporter and Notary Public within Colorado. 8 Q As we mentioned off the record, my name is
9 9 Laura Menninger --
*******
10 INDEX 10 A Um-hum.
11 11 Q -- and I represent the defendant,
EXAMINATION PAGE
12 12 Ghislaine Maxwell, in this litigation.
MS. MENNINGER 4
13 MR. CASSELL 109 13 MR. CASSELL: This is Paul Cassell. I
MS. MENNINGER 127
14 MR. CASSELL 136 14 represent Virginia Giuffre, the plaintiff in this
15 15 action.
PRODUCTION REQUEST(S):
16 16 Q (BY MS. MENNINGER) Dr. Olson, have you
44
17 17 been deposed previous to today?
18 18 A No.
19 19 Q Okay. So just a couple ground rules for
20 20 purposes of the deposition, if I could ask you not to
21 21 read any documents --
22 22 A All right.
23 23 Q -- unless we talk about that on the
24 24 record.
25 25 A All right.
STEVEN W OLSON 5/26/2016 1 (1 - 4)
Agren Blando
Case 1:15-cv-07433-LAP Court Reporting
Document 1198-27 & Video,
Filed Inc. Page 4 of 6
01/27/21
Page 77 Page 79
3 A Correct.
4 Q It may have not shown anything in the past
5 year, correct?
6
13 A Correct, that's what it's showing,
14 correct.
15 Q Other than that, you don't know what it
16 said?
17 A I don't remember, no.
18 Q Do you know whether Ms. Giuffre had lived
19 in Colorado very long?
20 A I don't know.
21 Q Do you know that Ms. Giuffre had actually
22 moved from Florida a few months earlier?
23 A I think she might have mentioned that,
24 actually. That sounds familiar. I do remember her
25 saying that she had moved at some point recently, but
Page 78 Page 80
1 I don't remember. I can't say that for certain.
2 Q Did you --
3 A Right, so I couldn't check with Florida.
4 So --
5
STEVEN W OLSON 5/26/2016 20 (77 - 80)
Agren Blando
Case 1:15-cv-07433-LAP Court Reporting
Document 1198-27 & Video,
Filed Inc. Page 5 of 6
01/27/21
Page 101 Page 103
Page 102 Page 104
STEVEN W OLSON 5/26/2016 26 (101 - 104)
Agren Blando
Case 1:15-cv-07433-LAP Court Reporting
Document 1198-27 & Video,
Filed Inc. Page 6 of 6
01/27/21
Page 105 Page 107
Page 106 Page 108
STEVEN W OLSON 5/26/2016 27 (105 - 108)
ℹ️ Document Details
SHA-256
0b12b9c60e768f230b73b7632e2ce0f427c0c576008ce71d47fa8e0f20e004ca
Bates Number
gov.uscourts.nysd.447706.1198.27
Dataset
giuffre-maxwell
Document Type
document
Pages
6
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