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Case 1:15-cv-07433-LAP Document 1328-13 Filed 01/05/24 Page 1 of 9 EXHIBIT 12 (Filed Under Seal) Case 1:15-cv-07433-LAP Document 1328-13 Filed 01/05/24 Page 2 of 9 Condensed Transcript • IN THE CIRCUIT COURT OF THE FIFTEENTH JUDICIAL CIRCUIT IN AND FOR PALM BEACH COUNTY, FLORIDA CIVIL DIVISION L.M., Plaintiff, vs. CASE No. 502008CA028051XXXXMB AB JEFFREY EPSTEIN, Defendant. DEPOSITION OF • LOUELLA RABUYO VOLUME! October, 20, 2009 10:10 a.m. 515 N. Flagler Drive Suite 200-P West Palm Beach, Florida 33401 Reported By: Teresa Whalen, RPR, FPR, Notary Public, State of Florida • ESQQ.• !.R~ Toll Free: 866.709.8777 Facsimile: 561.394.2621 Suite 600 4440 PGA Boulevard Palm Beach Gardens, FL 33410 www.esquiresolutions.com GIUFFRE004386 Case 1:15-cv-07433-LAP Document 1328-13 Filed 01/05/24 Page 3 of 9 Louella Rabuyo - Vol ume I October 20, 2009 9 11 • 1 head or shake your head, and she can't take that down. 1 that it's clean and~t:1rQPriatel}'. what's this... 2 A All right. 2 Q And as I understand this property, there is a 3 Q It's also very easy to say uh-huh or huh-uh, 3 main house and then there's also a staff house on the 4 but it kind of looks the same on paper, so you can't do 4 property; is that right? s that either. I'm going to wait until you finish your s A Yes, sir. 6 answer, and you have to wait until I finish my question, 6 Q And when the guests would come over, would you 7 because if we talk over one another, then the court 7 stay in the main house, or would you go to the staff a reporter can't get it down. a house? 9 A Okay. Yes, sir. 9 MR. REINHART: Can we get a time frame to the 10 Q All right. So if you don't understand the 10 question? 11 question, tell me you don't understand and I'll try to 11 BY MR. EDWARDS: 12 ask a better question. 12 Q Over the last five years while you worked 13 A Yes. - ....- .:::-:,-,., 13 there. 14 Q Okay. So you ere hired in November of 2004 14 A l usually stay in the staff house and do the 15 to be the housekeeper for Mr. Epstein? 1s laundry, then I go to the kitchen and then tidy the 16 A Yes. 16 kitchen. 17 Q And when :,,ou were hired who exactly hired 17 Q You were hired in November of 2004, and what 1a you, who •· let me strike that. 1a were your hours that you worked there back in November 19 When you were hired to be the housekeeper for 19 of 2004 when you were hired? 20 Mr. Ef1stein, who did :,,ou interview with? 20 A Eight to five. 21 A Ms. Maxwell. 21 Q How many days a week? 22 Q ts that Ghislaine Maxwell or jus 22 A Depends. 23 [aine Maxwell? 23 Q How would the schedule be relayed to you? 24 A Ghislaine Maxwell. 24 A When Mr. Epstein is there, then I'm supposed 25 Q And where did the interview take place? 25 to report, but usually it's five days a week. 10 12 • l A At 358 El Brillo Way. 1 Q So am t correct in understanding that there 2 Q nd what did Ms. Maxwell and :,,ou speak 2 was one schedule when Mr. Epstein was in town, and the 3 prior to your being hired as the housekeeper? 3 schedule may be a little bit different if Mr. Epstein 4 A (Myduties 4 was out of town? s Q And what did she tell you your duties would s A Yes, sir. 6 e? 6 Q All right. Tell me the differences when 7 A To tidy, to make beds, do laundry. 7 Mr. Epstein is in town versus when Mr. Epstein was not a Q Did she tell you what would ak place in the a in town. 9 ouse on a day-to-day basis? 9 A If he stays like three or four days, then I'm 10 A No. 1o supposed to be there, and then the house is to be 11 Q So going into that position you had no idea 11 cleaned. And then when they do not come, then l can 12 who the guests would be or who the peof1le coming in the 12 either go there, or I'm given free days off. 13 house would be, or what would generally go on? 13 Q Three days off? 14 A Can :,,ou im~ t he question? 14 A No. A free day. l ~ Q Sure. When you talked about with 1s Q Oh, okay. But typically back in 2004 when you 16 Ghislaine Maxwell at this interview our duties being 16 were hired, you worked an average of about five days a 17 you would make the bed and tidy up, did she also tell 17 week; is that correct? 18 you that there would be a lot of gu~ there would be 18 A Yes. 19 a few guests, did she talk to you about that at all? 19 Q Alt right. And l guess by the way that you're 20 A Sne mentioned that If there are guest~ we 20 explaining it, If Mr. Epstein was in town for a longer 21 ave to, like ou ow, i:1repare the oom and what's 21 period of time, you may work more than five days, and if 22 this, attend to the guests. 22 Mr. Epstein was not in town, you may work less than five 23 Q And what d_&},ou understand that to mean that 23 days? 24 you have to attend to the guests? 24 A Yes. 2s A You have to prepare the room and see to it 25 Q Okay. Did )IOY ever talk to Mr. Epstein prior • ESQ •12.!BJ;.~ Toll Free: 866.709.8777 Facsimi le: 561.394.2621 Suite 600 4440 PGA Boulevard Palm Beach Gardens, FL 33410 www.esquiresolutions.com GIUFFRE004390 Case 1:15-cv-07433-LAP Document 1328-13 Filed 01/05/24 Page 4 of 9 Louella Rabuyo - Volume I October 20, 2009 13 15 • 1 to being h1roo? 1 Q Did she tell what you would be pald at that 2 A No, sir. -~~~- 2 time? 3 Q ere did this meeting, within the house wne 3 A Notyet. 4 did the meeting with Ghislaine Maxwell take place? 4 Q Did you show up that Saturday? I guess that's 5 A In the living oo . s November 17th of 2004? 6 Q Aside from tellingyou that_.you were going to 6 A No, that's not. 7 be rl!guire to ma e t e lleds an ·ust general! lid UJ:l 7 Q No. Was ii prior to November 17th of 2004, or s did she specify anything else that you would be required s after? 9 to do? 9 A After. 10 A No. 10 Q Okay. T he interview that you first went to 11 Q Where had you worked prior to working for 11 was November 17th, 2004 with Ms. Maxwell; is that the 12 Mr. Epstein? 12 date that you gave us? 13 A I work as a certified nursing assistant. 13 A I cannot remember. 14 Q Where? 14 Q The only reason I'm using that date is I 15 A At that time I was doing private duty. 15 believe the question I asked was when did you start 16 Q How long have you been a certified nursing 16 working for Mr. Epstein, and I thought the date that you 17 assistant? 17 gave me was November 17th, 2004. 10 A Since about ten years. 1s A Yes. 19 Q And what made you change professions from 19 Q Okay. And in the course of this whole thing , 2o being a certified nursing assistant to be a housekeeper 20 it sounds likfilOu interviewed with Ghislaine Maxwell 21 for Mr. Epstein? 21 there were other interviewees,_you received a call and 22 A The agency called me that there is an 22 u were as <ecl to try u on a Saturda~ 23 interview; if I like, I go to, so that's how it started. 23 Yes. 24 Q And when you went to the interview obviousJy 24 Q And where does that Saturday fall in related 2s ,you're going to this very big house arig_.you talked to 25 to November 17th, 2004? 14 16 • 1 Ghislaine Maxwell right? 1 A When I accepted the job offer. 2 A Yes. 2 Q Okay. And did they tell you al that time when 3 Q And did you decide right then that you liked 3 you accepted the job offer how much you were going to be 4 this and that you were going to change professions and 4 paid? s you were going to be his housekeeper? s A Yes. 6 A No. 6 Q What was that? 7 Q Okay. Then walk me through that, how did you 7 A II was 32,000 per annum s go about eventually accepting the position? s Q And has your salary increased over time? 9 A I didn't expect to be hired because there 9 A Yes, sir. 1o sic) interview peo1>le that 1o (Q And ca ou walk us throug the increments of 11 were to be interviewed. 11 increase in,_your salary? 12 a Okay. 12 It was promisecf ~ y-e-a~n')'~increase. 13 A And then I receive a call from Ms. Maxwell 1f 13 By whom? 14 I like, I can O~ ·0UI 14 ~ xwell. rs a Okay. Did she tell you how long this try-out 1s Was ttial at the time when you were 16 period would last? 16 interviewed. or took the job? 1'Q A No. ~~~, 17 Yes, sir. 18 Q And whafcll ')'OU le er when she made that 1s Q Did she promise you what your yearly increase 19 offer for you to try out? -~~ 1.9 would be? 2o I toldlierlhat I am still taking care of this 20 A No. 21 l)alient, so sJie said if you like ')'OU can come Saturda¼ 21 a And have you received a yearly increase every ·2 2 nd try II. 22 year? 23 Q OkaU!)d what did you tell er did you 23 A !did. 24 accept that? 24 Q And what has that yearly increase been? 25 A Yes, I did. 25 A Up to 42. • EsQ1!..!.BJ;; Toll Free: 866. 709.8777 Facsimile: 561.394.2621 Suite 600 4440 PGA Boulevard Palm Beach Gardens, FL 33410 www.esquiresolutions.com • GIUFFRE004391 Case 1:15-cv-07433-LAP Document 1328-13 Filed 01/05/24 Page 5 of 9 Louella Rabuyo - Volume I October 20, 2009 57 59 • 1 intentionally exposes the genitals in a lewd or 1 BY MR. EDWARDS: 2 lascivious manner, or intentionally commits any 2 Q Have you ever worked for anyone that had this 3 other sexual act that does not involve actual 3 many young females come over to his house every day? 4 physical or sexual contact with the victim in the 4 A No, sir. 5 presence of a victim who is less than sixteen years 5 Q Have you ever heard anybody say that these 6 of age commits lewd or lascivious exhibition. An 6 girls are making this up or that this did not happen, 7 offender eighteen years of age or older who 7 these sexual acts did not happen in Mr. Epstein's 8 commits a lewd or lascivious exhibition commits a 8 bedroom? 9 felony of the second degree. 9 MR. CRITTON: Form, argumentative. 10 Have you seen that crime committed in 10 BY MR. EDWARDS: 11 Mr. Epstein's house? 11 Q By that I mean Mr. Epstein, Ghislaine Maxwell? 12 A No, sir. 12 A No, sir. No. 13 MR. CRITTON: Form. 13 Q Did Sarah Kellen ever say any of these girls 14 BY MR. EDWARDS: 14 were making this up? 15 Q Are you aware of the allegations by multiple 15 A No, sir. 16 female girls that allege that these are the crimes that 16 MR. CRITTON: Form. 17 were taking place behind c losed doors when they were 17 BY MR. EDWARDS: 18 just minor females; are you aware of those allegations? 18 Q So these girls are making these allegations, 19 MR. CRITTON: Form. 19 you work in Mr. Epstein's house? 20 MR. REINHART: Do you understand the question? 20 A Yes. 21 MR. CRITTON: Asked and answered. 21 Q And you've never heard anybody deny these 22 MR. REINHART: Do you understand the question? 22 allegations, have you? 23 MR. CRITTON: And argumentative. 23 MR. CRITTON: Form, argumentative. 24 THE WITNESS: From the news, I heard that from 24 THE WITNESS: I do my job, we don't, like, 25 the news. 25 talk . 58 60 • l BY MR. EDWARDS: l BY MR. EDWARDS: 2 a And are you atso aware that many of these 2 a So is that a no, you've never heard anybody 3 girts did not know one another that were these female 3 deny that? 4 masseuses, are you aware of that? 4 MR. CRITTON: Form. 5 MR. CRITTON: Form. s THE WITNESS: No, sir. 6 THE WITNESS: I don't know. 6 BY MR. EDWARDS: 7 BY MR. EDWARDS: 7 a hen was the last lime you talked to 8 Q Okay. When these girts that would come - 8 Ghislaine Maxwell? 9 Where these females that would come over where 9 A I answer the phone when she... 10 you were told they were giving massages would come over, 10 a Okay. When you first started working there 11 how many would come over at any time, meaning would they 11 back in November of 2004, she was the person who you 12 come over with twenty at time, or one at a time? 12 interviewed with, right? 13 MR. CRITTON: Form. 13 A Yes, sir. 14 THE WITNESS: Sometimes one at a time. 14 a Was she somebody who you would regularly see 15 BY MR. EDWARDS: 15 at the house during that period of time? 16 a And given the number of these females that are 16 A Not regular. 17 making these allegations, doesn't it cause you to 17 a How often would you see her in the house back 18 believe the allegations that there are so many of them 18 in the late 2004, when you were hired, through 2005? 19 and their stories are so strikingly similar as to what's 19 A Three limes. 20 taking place in Mr. Epstein's bedroom? 20 Q Three times a week? 21 MR. CRITTON: Form, predicate, Sp€CUlation, 21 A No. During the period of that I was there. 22 argumentative. 22 Q Okay. During the entire five-year period you 23 THE WITNESS: I don't know what's happening in 23 were there you only saw Ghislaine Maxwell three times? 24 the bedroom, I did not see anything that cause me 24 A Not five years. 25 alarm. 25 (0 Okc!Y- From the end of 2004 throug]lgQ95 you • ~ Toll Free: 866.709.8777 Facsimile: 561.394.2621 Suite 600 ESQ12IB~ ~ 4440 PGA Boulevard Palm Beach Gardens, FL 33410 www.esquiresolutions.com GIUFFRE004402 Case 1:15-cv-07433-LAP Document 1328-13 Filed 01/05/24 Page 6 of 9 Louella Rabuyo - Volume I October 20, 2009 61 63 • 1 saw her three times? 1 MR. CRITTON; But if you just asked her, say 2 A Yes, sir. 2 did you ever have a discussion with her about it, 3 Q During - 3 if she says yes, then we'll find out what it is. 4 A Marlie more or less three times 4 If she didn't have one, why ask the question? 5 a During 2006 how often did you see her? 5 Go ahead. 6 A 2006? He was in New York so I saw her. 6 THE WITNESS: There was no discussion. 7 Q You worked for Jeffrey Epstein but you worked 7 MR. REINHART: There's no question pending. a in New York? I'm sorry. s Wait for Mr. Edwards to ask his question and answer 9 A I saw Ms. Maxwell in New York. 9 the question if you understand it. 10 Q I think I understand. Primarily, though, you 10 BY MR. EDWARDS: 11 were still working at the 358 El Brillo location? 11 Q How long were ou at Ghislaine Maxwell's house 12 A Yes. 12 this time that you visited her in 2006? 13 Q However, at some point in time that year you 13 MR. CRITTON: Form. 14 ooli a trip to the New Yorll house and you saw her there? 14 THE WITNESS: I cannot remember, because I 15 A In her house. 15 go... 16 (Q, In Ghislaine Maxwell's house? 16 BY MR. EDWARDS: 11 A Yes. 11 0 Back and forth? 18 Q What was the occasionJQr..you to go see her up 18 s 19 there? 19 Q From West Palm Beacn to New York? 20 A Lyn was having I think surgery. 2o A Yes 21 Q And when was that? 21 0 Why were ~ou up in Ghislaine Maxwell's house 22 A I cannot recall the month, but it's I think 22 in NewYorll? 23 2006. 23 A I help over there when she has a p<!(!y. 24 Q So this is after the criminal investigation 24 Q Okay. And then after the party you would 25 into Mr. Epstein, or before, if you remember? 25 return to West Palm Beach? 62 64 1 2 3 4 5 6 7 MR. CRITTON: Form, predicate. THE WITNESS: 2006? After. BY MR. EDWARDS: Q Okay. And while you were up there with Ghislaine Maxwell, did you talk to her about the criminal Investigation of Mr. Epstein? A No, sir. 1 2 3 4 s 6 7 A Yes. (g, While you were up there, during any of the times that ~ou were up there, did you nave any conversations with Ghislaine Maxwell? A I think once. But it was oh, and what's this, ii was just oh, I'm sorry about the bad news. That's it. • a Q At any point in time when you were up there. s Q You said that? 9 did she say to you or you overtieard -- let me ask you 9 A Because we have only, like, short 10 this way: Did she say to you that the allegations are 1o conversation, we just don't really, like, talk-talk. 11 false-· 11 Q When you're saying that a statement was made 12 MR. CRITTON: Form. 12 I'm sorry about the bad news, who made the statement to 13 BY MR. EDWARDS: 13 whom; she made it to you, or you made it to her? 14 Q •· that are being made against him? 14 A She made it. But that was •· I really cannot 15 MR. CRITTON: Form. There's no predicate that 15 remember how it was how, but it was, like, I'm sorry 16 a discussion ever took place about anything. 16 about the news. 17 THE WITNESS: There was no discussion about 17 Q Okay. What news was she referring to when she 18 that. 18 said to you I'm sorry to hear about the bad news? 19 MR. EDWARDS: Mr. Critton, if you could just 19 A She not say anything. I just·· I do not say 20 object to the form. Obviously this witnesses just 20 anything about what the bad news is. 21 takes your words and she's going to recite them to 21 Q Okay. I guess what I'm asking is did you have 22 me. If you want to say lack of predicate, okay, 22 a death in the family or something happen to you 23 fine. But to say no discussion took place and then 23 personally? Or why would she say this to you, if you 24 she says no discussion took place, we're leading 24 know? 25 the witness here, it's obvious. 2s A No. 8 • Toll Free: 866. 709.8777 Facsimile: 561.394.2621 Suite 600 ESQ1!.IBJ;~ 4440 PGA Boulevard Palm Beach Gardens, FL 33410 www.esquiresolutions.com GIUFFRE004403 Case 1:15-cv-07433-LAP Document 1328-13 Filed 01/05/24 Page 7 of 9 Louella Rabuyo - Volume I October 20, 2009 65 67 • 1 Q You have no idea why she said that statement? 1 Q What did she say when you answered the phone? 2 A I think that it was about the news that was 2 A Oh, she was happy. l was happy to hear her l goi g on about Mr. E11stein. 3 voice. And then she said oh, she was also happy to -- 4 MR. CRITTON: Move to strike as speculation. 4 she was so nice on the phone. 5 BY MR. EDWARDS: 5 a What did she say? 6 Q And did she elaborate on the news about 6 A Oh, nice talking to you, Louella. 7 Mr. Epstein? 7 a Then did she ask to speak to somebody else? 8 A No, sir. s A To Mr. Epstein. 9 Q During that conversation where she makes a 9 Q Aside from the telephone call one month ago, 10 statement that she's sorry about the news, did she ever 10 how many times has she called the house in the last 11 tell you that the allegations being made against him are 11 year? 12 false or unfounded or untrue? 12 A That was my only, what's this, my -- the time 13 MR. CRITTON: Form. 13 that I was answer the phone and it was Ms. Maxwell. 14 THE WITNESS: Our conversation was short. 14 Q Do you know why she called Mr. Epstein? 15 BY MR. EDWARDS: 15 A I do not know, sir. 16 a So the answer is no? 16 Q Have you ever seen scheduling logs, either on 17 A No. ~~~- 11 a computer or on paper, with girls' names on it and 1s Q What is your understanding of 10 numbers? 19 Ghislaine Maxwell's role in Jeffrey Epstein's life back 19 A No. No, sir. 20 n 2004 and 2005 and 2006? 20 Q Have you ever seen the names of these females 21 MR. CRITTON: Form. 21 that are alleged to have been masseuses written on 22 E WITNESS: She told me he was his boyfriend 22 anything? 23 (sic), 23 A Yes, sir. 24 BY MR. EDWARDS: 24 Q What have you seen them written on? 25 Q Ghislaine Maxwell told you that 25 A I just saw names, and that's it. 66 68 • 1 2 3 4 s ~ 7 Q And then over the next year and a hatt when :.Jeffre}' Epstein was in West Palm Beach, you onjy saw Ghislaine Maxwell at the house a~roximately three tt~~ A Yes, sir. 1 2 3 4 5 6 7 Q Just the names, or the telephone numbers as well? MR. CRITTON: Form. THE WITNESS: I cannot remember. BY MR. EDWARDS: a Where did you see this? A We have like butler's pantry and there's a 8 Q Did you still believe that Ghislaine Maxwell s telephone there. 9 ancl Jeffre}' Epstein were bo rlend and girlfriend? 9 Q Is this in the staff house or the main house? 10 MR. CRITTON: Form. 10 A No. The main house. 11 THE WITNESS: At that time or what time? 11 a And do you know who wrote the names? 12 BY MR. EDWARDS: ~~~ 12 A No, sir. 13 a Yeah . Back then in 2004, 2005. 13 a How do you know that these were the names of 14 A Yes. 14 the females that were alleged to have been masseuses? 15 Q All right. Is it your understanding that they 15 A Because there is time. 16 are still boyfriend and girlfriend today? 16 Q What do you mean, there is time? 17 A I don1 know. 17 A Sometimes name and then the time, that's it. 18 Q Ghislaine Maxwell and Jeffrey Epstein, do they 10 Q What does the time indicate? 19 still talk to one another today? 19 A I cannot remember. 20 A I do not know, sir. 20 Q The time to you •· you know, I'm watching what 21 Q What is the last time that_you talked to 21 you're doing, but the court reporter is not able to draw 22 Ghislaine Maxwell? 22 a picture of it. So I guess what I'm asking is you're 23 A She called the house and I answered the phone. 23 saying there is -- on the left-hand side there is a l4 Q 24 name, and on the right-hand side corresponding to that 2r;; A 25 name there is a time written down? Is that what you • Toll Free: 866.709.8777 Facsimile: 561.394.2621 Suite 600 4440 PGA Boulevard Palm Beach Gardens, FL 33410 www .esquiresolutions.com GIUFFRE004404 Case 1:15-cv-07433-LAP Document 1328-13 Filed 01/05/24 Page 8 of 9 Louella Rabuyo - Volume I October 20, 2009 81 83 • 1 A When I came back to report, that's how I 1 Q So are we talking about the dax e olice 2 learned. 2 went to Jeffrey Epstein's house you did not go in the 3 Q Elaborate on that for me. What do you mean, 3 morning but you went after lunch and the police had 4 when you came back to report that's how I learned? 4 already left? s A I reported in the afternoon, and then that's s A Oh. No. When I went there nobody was there. 6 how I learned that the police came. 6 no policemen were around. 7 Q All right. And when we!'.!Ll'OU •·_you're now 7 a Who was at the house then? a saying you came back to report and you learned that the a A Janusz, and Douglas, the architect. 9 ~lice had already come to the house r!ght? 9 a Schoettle? 10 A Yes, sir. 10 A Yes. 11 Q Prior to that occasion when was the 1:1revious 11 Q And did you have a discussion with them? 12 ime thlil._you were at the house? 12 A No. 13 A The day before. 13 Q How did you know the police had been to the 14 Q Okay. And the da before you left your shift 14 house? 1s at roughly five o'clock? 15 A Janusz told me. 16 A I cannot remember. I usuall leave 5:00 or 16 a When? 17 5:30 17 A When I arrive. 1a Q But sometime late in the afternoon? 10 Q That's what I was asking you when I said did 19 A Yes. -.-.- re. 19 you have a discussion with them, meaning Janusz and 20 a 20 Douglas. 21 warrant was issued, you had seen no police officers in 21 A Okay. Being because them - with Janusz only. n or around the house? 22 Q What did he say? 23 A No. 23 A He said the police came and, what's this, took 24 Q And then the next day _you reported to the job 24 away some stuff. 2s a hattirne? 25 Q Did he say what they took? 82 84 • A The next QIDI? A He said pictures. 1 1 2 Q The next dax. 2 Q Did he tell you which pictures? 1 A I report in the afternoon. 3 A No, sir. 1 Q Was there a reason wh }'OU reported in the 4 a Aside from pictures, what else did the police s afternoon? s take, as Janusz told you? i; A Ms. Maxwell called me 6 A He did not elaborate. 7 q) When ctid she call you? 7 a All right. Prior to the police going to the 0 A During hat dax s e said Louella a house and taking pictures, do you remember seeing 9 report in the afternoon 9 pictures around Mr. Epstein's house? 1n Q She called_you early in the morning? 10 A Yes. 11 A Not early 11 Q Do you remember seeing pictures of naked or 12 Q Normal!Y_you would report to the house between 12 nude females around Mr. Epstein's house? 13 eight and nine o'clock, right? 13 A Not around, in his closet. 14 A es sir. 14 Q In Mr. Epstein's closet you would see•· 1s Q Soinorderforxounottoarriveatthe 1s describe what you would see related to females in 16 house she had to have called xou before eight or 16 pictures. 17 nine o'clock, right? 17 A Some have topless. 1e A Yes. 10 Q Is this a big closet? 19 a Okay. So aJ.)proximately what time does 19 A No. Not really big, it's just this big, not 20 Ms. Maxwell call ou to tell you you can ree_ort to the 20 so big. 21 house later on that dax? 21 a Okay. Were these pictures that could be seen ?.?. A I cannot remember really the time. 22 by •· strike that. 23 a OKa . What time did you actuallx report to 23 Do you know of any other pictures of females 24 the house? 24 that were confiscated by the police that did not come 2'> A After lunch about •· maxbe after lunch. 25 from Mr. Epstein's closet? • ESQQIBJ;; @ Toll Free: 866. 709.8777 Facsimile: 561.394.2621 Suite 600 4440 PGA Boulevard Palm Beach Gardens, FL 33410 www .esquiresolutions.corn GIUFFRE004408 Case 1:15-cv-07433-LAP Document 1328-13 Filed 01/05/24 Page 9 of 9 '' Louella Rabuyo - Volume I October 20, 2009 129 • 1 STATE OF FLORIDA 2 COUNTY OF PALM BEACH 3 4 5 I, lhe undersigned aulhorily, certify !hat 6 LOUELLA RABUYO personally appeared before me on lhe 20th 7 of October, 2009, and was duly sworn. 8 9 Dated this 30th day of October, 2009. 10 11 12 13 14 Teresa Whalen, RPR, FPR 15 Nota,y Public - Stale of Florida My Commission Expires: 4125/11 16 My Commission No.: DD 644533 17 Job# 118991 18 19 20 n 22 23 24 25 130 • 1 CERTIFICAT E 2 STATE OF FLORIDA 3 COUNTY OF PALM BEACH 4 5 I, Teresa Whalen, Registered Professional Reporter and Nota,y Public in and for lhe Slate of 6 Florida at Large, do hereby certify that the aforementioned witness was by me first duly sworn to 7 testify the whole truth: that I was authorized to and did report said deposition in stenotype; and 8 that the foregoing pages are a true and correct lranscriplion of my shorthand notes of said 9 deposition. 10 I further certify that said deposition was taken at the lime and place hereinabove set forth 11 and that lhe taking of said deposition was commenced and completed as hereinabove set oul. 12 I further certify that I am nol attorney or 13 counsel of any of Iha parties, nor am I a relative o r employee of any attorney or counsel of party connected l4 wilh the action, nor am I financially interested In the action. 15 The foregoing certfficalion of this transcript 16 does not apply to any reproduction of the same by any means unless under the direct control and/or direction 17 of the certifying reporter. 18 19 Dated this 30th day of October, 2009. 20 21 22 Teresa Whalen, APR, FPR 23 Job # 118991 24 25 • Toll Free: 866. 709.8777 Facsimile: 561.394.2621 Suite 600 4440 PGA Boulevard Palm Beach Gardens, FL 33410 www.esquiresolutions.com GIUFFRE004420
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