EFTA01137783
EFTA01137786 DataSet-9
EFTA01137787

EFTA01137786.pdf

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891 893 1 not there are missing logs, have you -- 1 BY MR. EDWARDS: 2 A. That's not been something I've focused on. 2 Q. I just want the names of the individuals. 3 I was only looking at whether or not, within the 3 A. I can't just give you that. I can tell 4 timeframe, who was with who on what flights, and I 4 you that -- 5 saw that was on some flights with 5 Q. That's what Pm asking for. 6 other prominent academics, but never on a flight 6 SPECIAL MASTER POZZUOLI: Hang on one 7 with me. 7 second. The question is: Do you know who 8 Q. Do you know who was lent 8 was lent out to for sex by 9 out to for sex by Jeffrey Epstein? 9 Jeffrey Epstein? 10 MR. INDYKE: Objection based upon 10 MR. EDWARDS: Right. The names of the 11 attorney-client privilege, work product. 11 individuals is all Tm looking for. 12 A. No, I can tell you outside of the 12 SPECIAL MASTER POZZUOLI: There's an 13 privileged information. I can tell you outside of 13 objection. Okay. Go ahead. 14 the privilege. I can tell you outside of the 14 A. I was told by John Zeiger, who was Leslie 15 privilege that she has claimed to have had sex on 15 Wexner's lawyer, that Sigrid McCawley claims that 16 numerous occasions with Leslie Wexner, and was told 16 her client, , alleges that she had 17 by — by Sigrid McCawley that -- 17 sex with Leslie Wexner on numerous occasions, 18 MS. McCAWLEY: I'm going to object to the 18 including one -- and she said this, according to 19 line of questioning. 19 Mr. Zeiger, very aggressively -- 20 MR. SCOTT: Time out. 20 MS. McCAWLEY: This is revealing 21 A. That is from a statement made to me -- 21 confidential settlement discussions. 22 MS. McCAWLEY: No, I just want to be clear 22 A. Between who? 23 because if we're going to violate the privilege 23 MS. McCAWLEY: Between -- I'm not going to 24 again, the order of seal. 24 reveal what confidential settlement discussions 25 A. We are not. 25 because that breaches a privilege. 892 894 1 MS. McCAWLEY: Fm going to stop that 1 So what I'm going to say is that we are 2 right now because the only conversations I've 2 not entitled here to be revealing any 3 had with you are in the context of settlement 3 settlement discussions that have happened on 4 discussion in this case. 4 behalf of my client. I'm not going to allow 5 A. It was not a conversation with Sigrid 5 there to be testimony as to that. To the 6 McCawley. And please let me answer the question. I 6 extent this involves Mr. Wexner's attorneys, 7 had a conversation — 7 they are not present at this deposition at this 8 BY MR. EDWARDS: 8 moment who you are mentioning, John Zeiger, Q. Just so we know what the question is, my 9 who's not able to object to this line of 10 question is -- 10 questioning. You've had your client Jeffrey 11 A. The question is do I know whether she had 11 Epstein's lawyers on the phone the entire time, 12 sex -- 12 he should be entitled to a right to object to 13 Q. No, its not. 13 this before there's a revelation of any 14 MR. SCOTT: Let's just ask the question. 14 settlement discussions. 15 SPECIAL MASTER POZZUOLI: Hang on. And, 15 MR. SCAROLA: I want to know for the 16 court reporter, please reread the question so 16 record that Mr. Dershowitz has chosen to 17 we understand. 17 disregard the instruction that came from 18 COURT REPORTER: "Do you know who 18 Mr. Epstein's counsel. And that -- 19 was lent out to for sex by Jeffrey 19 A. No, I haven't. I have said this comes 20 Epstein?" 20 outside the privilege. 21 A. And the answer — 21 SPECIAL MASTER POZZUOLI: Stop. Let him 22 MR. SIMPSON: Darren had an objection for 22 put his — on the record. Go ahead. 23 you. 23 MR. SCAROLA: Which is inconsistent with 24 A. Okay. I understand the instruction, and I 24 the position that Mr. Dershowitz's counsel says 25 can answer the question. 25 they were taking, and that is that they were 29 (Pages 891 to 894) www.phippsreporting.com EFTA01137786
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