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FBI VOL00009
EFTA00725643
71 sivua
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3 is? 4 A. Yeah. 5 Q. Did you ever engage in a three-way? 6 A. A three-way phone call? 7 Q. No. Three-way sexual experience. 8 A. Yeah. 9 Q. That is, like, have you ever engaged in 10 those? 11 A. No. 12 Q. Have you ever had a sexual encounter with 13 another woman? 14 A. No. 15 Q. Okay. Now, whet." were at 16 Mr. Epstein's, you and are there. She writes 17 this pad out. She writes this note on this pad, 18 right? 19 A. Yeah. 20 Q. And then after she writes on it, you take 21 a pen and you draw these two hearts and you sign 22 your name? 23 A. Yeah. 24 Q. Nobody made you do that, right? 25 A. No. 0391 1 Q. You did it voluntarily. 2 A. Yeah. 3 Q. Thought it was funny? 4 A. Yeah. 5 Q. And you left it there for Mr. Epstein. 6 A. Yeah. 7 Q. Telling him, call me for a good time. 8 MR. MERMELSTEIN: Objection, form. 9 BY MR. LUTTIER: 10 Q. Right? 11 A. Yeah. 12 Q. And that's what you wanted him to do, was 13 to keep calling and have you come over, wasn't it? 14 MR. MERMELSTEIN: Objection to form. 15 BY MR. LUTHER: 16 Q. Isn't that right? That's the truth, isn't 17 it? 18 A. That I wanted him to keep calling me? 19 Q. Yeah, and you wanted to keep going there; 20 isn't that the truth? 21 A. I knew he was going to keep calling me. 22 He told me I was his favorite in Florida, so it 23 wasn't something that I, ever crossed my mind. 24 Q. And you wanted him to keep calling you and 25 you wanted to keep going; isn't that the truth? 0392 1 MR. MERMELSTEIN: Objection, objection to 2 form, asked and answered. 3 BY MR. LUTHER: 4 Q. Isn't that the truth, ma'am? 11 le:///q/Documents%20and%20Settings/Production/Desktop/Doe%20No.%204.162Ohne%20-%20Vol.%20Ill.txtl11/6/2009 5:12:34 PMI EFTA00725683
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5 MR. MERMELSTEIN: Objection. 6 THE WITNESS: That -- yes. 7 BY MR. LUTTIER: 8 Q. And the only reason you quit goiusto 9 Jeffre E stein after you were already a at was because you found out the police I I were investigating him and they showed up at 12 and interviewed you; isn't that true? 13 MR. MERMELSTEIN: Objection to form. 14 THE WITNESS: No. I got in touch with. 15 Wait. Ask the question again. 16 BY MR. LUTTIER: 17 Q. The only reason you quit going to Jeff. 18 i stein was because the police showed up at 19 and interviewed you. 20 A. No, because I was still, Jeffrey was still 21 renting me a car. After I knew the police were 22 going to everybody and interviewing questions, like 23 he had rented me. 24 (Brief telephone interruption.) 25 THE WITNESS: I was still talking to him 0393 1 after he was interviewing cops. I still talked 2 to him after I got interviewed by the cops. I 3 talked to him about -- I talked to his lawyers. 4 BY MR. LUTTIER: 5 Q. Well, why didn't you go back and give him 6 more massages after you got interviewed by the -- 7 A. Because he, like, he wasn't even -- he 8 didn't stay at his Palm Beach house. He like -- I 9 don't even know where he was at. 10 Q. You would have gone if he had asked you to 11 come back and give him a massage, wouldn't you? 12 MR. MERMELSTEIN: Objection to form. 13 Calls for speculation. 14 BY MR. LUTTIER: 15 Q. Would you have gone back? 16 A. I don't know. Probably more than likely. 17 I don't know. 18 Q You would have -- 19 A I thought he was my friend. 20 Q He never did anything to you, right? 21 MR. MERMELSTEIN: Objection to form. 22 BY MR. LUTTIER: 23 . He didn't do anythin compared to what 24 did to ou 25 0394 1 MR. MERMELSTEIN: Objection to form -- 2 MR. LUTTIER: -- treated you like dirt -- 3 MR. MERMELSTEIN: -- argumentative. 4 BY MR. LUTTIER: 5 Q. Right? He never did anything like that to 6 you, did he? file:///q/Documents%20and%20Settings/Production/Desktop/Doe%20No.%204.%2Ohne%20-%20Vol.%20Ill.txtl11/6/2009 5:12:34 PM1 EFTA00725684
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7 MR. MERMELSTEIN: Objection. 8 BY MR. LUTTIER: 9 Q. And what you want in this lawsuit is 10 money, right? 11 A. No. 12 Q. That's why you sued him was for money. 13 A. No. 14 Q. And you were offered money to settle the 15 suit, but you don't want that. You want more money; 16 isn't that right? 17 A. No. 18 MR. MERMELSTEIN: Objection. 19 BY MR. LUTTIER: 20 Q. Well, if you don't want money, what are 21 you suing for? 22 A. For him to get punished. 23 Q. That's the only thing you can get in this 24 case is money, right? Your lawyers have explained 25 that to you, haven't they? 0395 1 MR. MERMELSTEIN: Objection to form. 2 Don't talk about what your lawyers have 3 explained to you. 4 BY MR. LUTTIER: 5 Q. That's the only thing you can get. Are 6 you under the impression that you can get some kind 7 of relief here other than money? 8 MR. MERMELSTEIN: Objection to form. 9 THE WITNESS: No. It's not for me. It's 10 so that he can get punished for things that 11 he's done to me and several other girls. 12 MR. LUTTIER: Let me show you the next 13 exhibit. What number is this? 14 THE COURT REPORTER: Five. 15 MR. LUTTIER: Okay. 16 (Defendant's Exhibit No. 5 was marked for 17 identification.) 18 BY MR. LUTTIER: 19 Q. Let me show you what's been marked as 20 Exhibit 5. It's entitled Psychological/Social 21 History. Do you recognize that document? 22 A. Yeah. 23 Q. Is that your handwriting on it? 24 A. Yeah. 25 Q. Is this a document that you completed? 0396 1 A. Yeah. 2 And did you complete it ort- 3 4 A. Yeah. 5 Q. And do you remember why you completed this 6 document? 7 A. Yeah. 8 Q. Why? 11 le:///q/Documents%20and%20Settings/Production/Desktop/Doe%20No.%204.162Ohne%20-%20Vol.%20Ill.txtl11/6/2009 5:12:34 PMl EFTA00725685
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9 A. Because I was, had an appointment with 10 11 Q. Okay. Were all of the answers that you 12 gave on this document true and correct? 13 MR. MERMELSTEIN: Look at them carefully. 14 (Ms. Doe and Mr. Mermelstein were 15 conducting a discussion off the record.) 16 THE COURT REPORTER: Is this off the 17 record? 18 MR. MERMELSTEIN: Well, we're kind of on 19 the record right now. So, have you read all 20 these? 21 THE WITNESS: No. I mean there's a few 22 that I have questions about, you know. There's 23 a few that I have questions about that I am 24 kind of like, I am looking at this now and I am 25 like -- 0397 1 MR. MERMELSTEIN: Anything you need to 2 clarify. I think was -- what was the question? 3 BY MR. LUTHER: 4 Q. My question was are all of the answers 5 that you gave on this document true and correct? 6 MR. MERMELSTEIN: So, now that's just Page 7 1. The whole thing. 8 BY MR. LUTHER: 9 Q. Well, I should -- let me rephrase that. 10 Were all the answers that ou ave on this document 11 true and correct as o or 12 whatever date you completed this document? 13 A. On this one? 14 Q. Yeah. 15 MR. MERMELSTEIN: Okay. Go through each 16 page and look at that and refresh your mind. 17 BY MR. LUTHER: 18 Q. In all due respect, the answer is yes or 19 no. You can't really consult with your lawyer about 20 it. 21 MR. MERMELSTEIN: If you're confused by 22 something then, then you have to qualify your 23 answer. 24 THE WITNESS: Okay. 25 MR. MERMELSTEIN: But, okay. 0398 1 THE WITNESS: Is everything -- well, 2 there's one thing -- 3 MR. MERMELSTEIN: The question is, is 4 everything true and correct, that's, that's 5 written here, each page. 6 THE WITNESS: Well, I am going -- I 7 already know the answer to that question. I 8 have only gotten to the second page. 9 MR. MERMELSTEIN: Do you want to give your 10 answer and then you can go or -- file:///CyDocuments%20and%20Settings/Production/Desktop/Doe%20No.%204.%2Ohne%20-%20Vol.%20Ill.txtl11/6/2009 5:12:34 PM! EFTA00725686
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11 THE WITNESS: Yeah, well, it says, did you 12 ever get in trouble while in school? Well 13 yeah, when I was in high school I 14 but I had circled no. But yeah, when I was in 15 high school I got in trouble. 16 BY MR. LUTTIER: 17 . Well, was this paper given to you by 18 to complete? 19 A. Yeah. 20 Q. Did he tell you to give honest -- 21 A Yeah. 22 Q -- and truthful answers? 23 A. Yeah. 24 Q. Well, why didn't you give him honest and 25 truthful answers? 0399 1 MR. MERMELSTEIN: Objection, form. 2 THE WITNESS: Because if you, if you read 3 up above, it says how far did you go in school. 4 MR. LUTTIER: Right. 5 THE WITNESS: I said attended college, but 6 did no graduate college. So I am guessing, 7 like, whenever I looked at this it said did you 8 ever get in trouble while in school, I think 9 while I was in college. I think my mind frame 10 was set to college, not in high school. And 11 that's why I'm looking at this now and I'm 12 thinking, well, I know in high school I got 13 into trouble. So, I know that's not true. 14 MR. LUTTIER: Well, did you -- 15 THE WITNESS: And, like, whenever I look 16 at something, after reading 17, it says, like, 17 I am thinking, I was just thinking while I was 18 in college. I don't know. 19 BY MR. LUTTIER: 20 Q Did ask you after you completed 21 this, didn't he ask you whether you had any 22 questions about it? 23 A. I don't remember. 24 Q. Did you tell him you had questions and 25 didn't understand any of these? 0400 1 A. No, I don't remember. 2 Q. Did you tell him any of the answers 3 weren't right? 4 A. No, I don't remember. 5 Q. So, how is somebody supposed to know 6 whether you're telling the truth or lying? 7 MR. MERMELSTEIN: Objection to form, 8 argumentative. 9 BY MR. LUTTIER: 10 Q. How do, how does one know on what 11 occasions you're telling the truth and when you're 12 lying about something? file:///q/Documents%20and%20Settings/Production/Desktop/Doe%20No.%204.162Ohne%20-%20Vol.%20Ill.txtl11/6/2009 5:12:34 P141 EFTA00725687
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13 MR. MERMELSTEIN: Objection to form, 14 argumentative. 15 BY MR. LUTTIER: 16 Q How does somebody know? 17 MR. MERMELSTEIN: Objection. 18 THE WITNESS: They should know. 19 BY MR. LUTTIER: 20 Q. Well, first of all, you talked to the 21 police under oath, and you're telling us you lied to 22 th Police, right? 23 MR. MERMELSTEIN: Objection, asked and 24 answered. 25 0401 1 BY MR. LUTTIER: 2 Q. Is that right? That's what you're telling 3 us. 4 MR. MERMELSTEIN: Asked and answered. 5 THE WITNESS: Yeah. 6 BY MR. LUTTIER: 7 Q. So, we don't really know, even when you're 8 under oath, whether you're telling the truth or 9 you're lying, do we? 10 A. No. 11 MR. MERMELSTEIN: Objection. 12 BY MR. LUTTIER: 13 Q. Okay. All right. So what other answers 14 are, do you say are incorrect on here, 15 notwithstanding the fact, that you gave to 16 after he told you to answer truthfully? 17 MR. MERMELSTEIN: I'm going to object to 18 the form of that question. 19 THE WITNESS: It says have you had any 20 major changes in income during the last two 21 years. 22 BY MR. LUTTIER: 23 Q. What number is that? 24 A. Thirty. 25 Q. Okay. 0402 1 A. I said no, but durin the summers I worked 2 at, like, I worked at so I made a 3 little bit of money, but I put no because if you 4 read the question, it says no, increasing 5 significantly or decrease significantly. I only had 6 a summer job. 7 Q. Okay. Well, in 39 you reflect that you 8 had a summer job, right? 9 A. I'm sorry. I didn't read that far. 10 THE WITNESS: Can I ask a question? Yes, 11 or no? 12 MR. MERMELSTEIN: Huh? 13 THE WITNESS: Can I ask you a question? 14 MR. MERMELSTEIN: You really can't. 11 le:///q/Documents%20and%20Settings/Production/Desktop/Doe%20No.%204.162Ohne%20-%20Vol.%20Ill.txtl11/6/2009 5:12:34 PM1 EFTA00725688
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15 THE WITNESS: Okay. 16 MR. MERMELSTEIN: Again remember to keep 17 in mind what the question was that he 18 originally asked about. 19 THE WITNESS: Uh-huh. How would you -- 20 BY MR. LUTTIER: 21 Q. What number? 22 A. Fifty-five, how would you describe your 23 illegal drug usage. I said I never used drugs. 24 Q. That wasn't true, was it? 25 A. No. 0403 1 Q. You lied to right? 2 A. Yes. 3 Q. What should the answer have been? 4 A. I didn't -- 5 MR. MERMELSTEIN: Objection, that's been 6 asked and answered. 7 BY MR. LUTTIER: 8 Q. What should the answer have been of those 9 choices? 10 A Well, out of all those choices, it would 11 be two. 12 . Once or twice a year? And you didn't want 13 to know that, did you? 14 A. No. 15 Q. You knew when you answered that question 16 you were giving him a false answer, didn't you? 17 A It was -- 18 MR. MERMELSTEIN: Objection. 19 BY MR. LUTTIER: 20 Q. You knew that when you answered the 21 question you were giving a false answer, didn't you? 22 MR. MERMELSTEIN: Objection to form. 23 THE WITNESS: Yeah. 24 MR. LUTTIER: Okay. 25 MR. CRITTON: You know, you could all go 0404 1 off the record. 2 MR. MERMELSTEIN: I suppose. 3 MR. CRITTON: We're just burning up tape 4 there. Just go ahead and finish looking. 5 MR. MERMELSTEIN: Are you ready? 6 THE WITNESS: No. 7 MR. LUTTIER: Did you have a question? 8 MR. MERMELSTEIN: Well -- 9 THE WITNESS: If he's going to leave, can 10 I use the bathroom? 11 MR. LUTTIER: Well, no, I am not going to 12 leave. Okay. Go ahead. 13 MR. MERMELSTEIN: Yeah, because it's kind 14 of a question pending, so let's, let's just 15 finish this and then you can go to the 16 bathroom. file:///CyDocuments%20and%20Settings/Production/Desktop/Doe%20No.%204.162Ohne%20-%20Vol.%20Ill.txtl11/6/2009 5:12:34 PM! EFTA00725689
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17 THE WITNESS: 18 19 20 BY MR. LUTTIER: 21 22 A. 23 Q. 24 A. 25 Q. 0405 1 A. Yeah. 2 . And ou knew when this uestion was asked 3 tha 4 didn't you? 5 A. Yeah. 6 Q. So you knew you were giving a 7 false answer. 8 A. Yeah. 9 You didn't want him to know 10 . did you? 11 A. 1 didn't want anybody to know. 12 Q. You didn't want him to know because ou 13 were to have to tell him 14 weren't you? 15 MR. MERMELSTEIN: Objection, 16 argumentative. 17 BY MR. LUTTIER: 18 Q And you didn't want to have to do that; 19 isn't that right? 20 A Yeah. 21 MR. MERMELSTEIN: Objection. 22 MR. CRITTON: Just so you know, you're not 23 getting it because she's got the paper in front 24 of her face. 25 MR. LUTTIER: Yeah, you have that. 0406 1 BY MR. LUTHER: 2 You didn't want to tell that 3 4 , right? 5 A. Yeah. 6 Q. And you didn't want to have to tell him 7 that, right? 8 MR. MERMELSTEIN: Objection to form. 9 THE WITNESS: Yeah. 10 BY MR. LUTHER- 11 Q. 12 A. Yeah. 13 Q. 14 A. Yeah. 15 Q. 16 A. Yeah. 17 18 file:///CyDocuments%20and%20Settings/Production/Desktop/Doe%20No.%204.162Ohne%20-%20Vol.%20Ill.txtl11/6/2009 5:12:34 PM! EFTA00725690
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19 MR. MERMELSTEIN: Think about the question 20 before you answer. Objection to form. 21 THE WITNESS: Yeah. 22 BY MR. LUTTIER: 23 Sr 24 25 A. Yeah. 0407 2 3 A. (No verbal response.) 4 5 BY MR. LUTTIER: 6 7 8 9 10 11 12 13 14 15 16 17 18 BY MR. LUTHER: 19 20 21 22 23 THE WITNESS: 24 MR. MERMELSTEIN: Objection. 25 0408 1 BY MR. LUTHER: 2 3 4 5 6 7 8 9 10 11 13 • 12 14 A. No. 15 Q. Have you now told me all the questions you 16 answered false? 17 A. What was -- 18 Q. Have you now told me each of the questions 19 that appear in this exhibit that you answered false, 20 falsely? MR. MERMELSTEIN: Objection to form. MR. MERMELSTEIN: Objection to form. r THE WITNESS: file:///q/Documents%20and%20Settings/Production/Desktop/Doe%20No.%204.162Ohne%20-%20Vol.%20Ill.txtl11/6/2009 5:12:34 PM1 EFTA00725691
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21 A. Yeah. 22 Q. Well let's look at Question 52. Question 23 52 says which of the following have you used. And 24 it refers to 12 different drugs. What did you 25 answer? 0409 1 A. I stated that one. I already said that. 2 Q. And what should the answer -- you, you 3 wrote none, right? 4 A. Right. 5 Q. Or you circled it. And what should it 6 have been? 7 A. Cocaine. 8 Q. That would be two. What else? 9 A. Marijuana. 10 Q. Nine. What else? 11 MR. MERMELSTEIN: You've got the paper in 12 front of your face again. You might want to 13 try to hold it down just a bit. 14 BY MR. LUTTIER: 15 Q. Two and nine and what else? 16 A. What is barbit -- what is -- 17 Q. Barbiturates. 18 A. Yeah, what are those? 19 . So if you didn't know, you would ask 20 what that meant? 21 MR. MERMELSTEIN: Objection to form. Go 22 ahead and try. 23 BY MR. LUTTIER: 24 Q. At least two of these drugs you'd used, 25 you knew you'd used, and you just, you just gave a 0410 1 false answer to right? 2 A. Yeah, I already told you that I -- 3 Q. Okay. Let's take -- 4 A. -- already told you that. 5 Q. Let's take 53. The question was, have you 6 ever, have you ever felt there was a time you drank 7 too much alcohol. You answered, yes, on one 8 occasion. 9 A. Yeah. 10 Q. That wasn't truthful, was it? 11 A. Actually, I drank alcohol on more than one 12 occasion. It didn't ask me if I ever thought I did. 13 Q. It says, have you ever felt there was a 14 time you drank too much alcohol, and you had four 15 choices. One of the choices was, yes, on several 16 occasions, one was yes on more than several 17 occasions. But you answered, yes, on one occasion. 18 That's a false answer, wasn't it? 19 A. No. 20 Q. There was more than one time in your life, 21 prior to the time you answered this that you felt 22 you drank too much, wasn't there? file:///q/Documents%20and%20Settings/Production/Desktop/Doe%20No.%204.%2Ohne%20-%20Vol.%20Ill.txtl11/6/2009 5:12:34 PM1 EFTA00725692
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23 A. Apparently not at that time, no. 24 Q. You'd been drunk a bunch of times before 25 you answered this, weren't you? 0411 1 MR. MERMELSTEIN: Objection to form. 2 THE WITNESS: Have you ever drank too much 3 alcohol? No, I -- yeah, I drank, but never got 4 to the point where I was, like, wasted. 5 BY MR. LUTTIER: 6 Q. You got completely drunk on more than one 7 occasion before this? 8 A. Yeah. I mean -- 9 MR. MERMELSTEIN: Objection to form. 10 BY MR. LUTTIER: 11 Q. Just so we're clear, you didn't think that 12 meant that, that there was a time when you drank too 13 much alcohol, those occasions when you got 14 completely drunk? 15 A. I drank more -- yeah, I drank before, but 16 I guess, I am sorry, yeah. 17 Q. Okay. And then over on No. 57, it says -- 18 or 87, I'm sure, what is the primary problem 19 bothering you. You answered other. So none of the 20 first 13 items applied, but there was some other 21 that you answered, but you didn't say what the other 22 was, right? 23 A. Yeah. 24 Q. Okay. That was a truthful answer, right? 25 A. Yeah. 0412 1 Q. And then 88 says, how long ago did you 2 begin to be troubled by this problem, and you had 3 circled, does not apply, and then you crossed that 4 out. And you just didn't answer that question, 5 right? 6 A. I didn't answer it. 7 Q. And then 89, rank the degree to which this 8 problem has affected your life. You initially had 9 circled a little, and then you changed it to does 10 not apply, correct, meaning that whatever problem it 11 was wasn't a problem that affected your life, 12 correct? 13 MR. MERMELSTEIN: Objection, form. 14 THE WITNESS: No. 15 BY MR. LUTTIER: 16 Q. Why do you say it doesn't apply then? 17 MR. MERMELSTEIN: Same objection. 18 THE WITNESS: I don't know. 19 BY MR. LUTTIER: 20 Q. What did you mean by that when it said 21 rate the degree to which this problem has affected 22 your life, and you answered, does not apply. What 23 did you mean? 24 A. I don't know why I didn't answer it. I file:///q/Documents%20and%20Senings/Production/Desktop/Doe%20No.%204.1620Jane%20-%20Vol.%20Ill.txtl11/6/2009 5:12:34 P141 EFTA00725693
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25 don't know why I didn't answer that question. 0413 1 Q. Well, you answered it. You answered with 2 a specific answer does not apply. So, what were 3 you telling 4 A. It means that I don't want to answer that 5 question. 6 MR. MERMELSTEIN: Objection to form. 7 BY MR. LUTHER: 8 Q. Mean what? 9 A. That I don't want to answer that question. 10 Q. Well, it doesn't say I don't want to 11 answer. It says it doesn't apply. 12 MR. MERMELSTEIN: Objection. 13 THE WITNESS: That's what I, that's 14 what -- 15 MR. MERMELSTEIN: Objection. 16 THE WITNESS: Meaning I don't want to 17 answer that question. 18 BY MR. LUTTIER: 19 Q. Well, let's look at the next one, No. 90. 20 How often do you experience this problem? Again you 21 answered, does not apply, correct? 22 A. Yeah. 23 Q. Again you're saying it has no application 24 to your life; isn't that right? 25 MR. MERMELSTEIN: Objection to form. 0414 1 THE WITNESS: No. 2 BY MR. LUTTIER: 3 Q. Then the next one says what other kinds of 4 problems are bothering you, and there's 14 specific 5 items listed. You didn't answer any of those, and 6 you answered No. 15 does not apply. 7 A. Yeah. 8 Q. Indicating that none of those things 9 applied as a problem that was bothering you. 10 MR. MERMELSTEIN: Objection. 11 THE WITNESS: Because I don't want to 12 answer that question. 13 BY MR. LUTHER: 14 Q. 15 A. It doesn't mean that the don't a I . 16 17 18 A. I don't know. 19 Q. 20 A. I don't know. 21 Q. You have no knowledge about them? 22 A. No. 23 Q. Okay. And what drugs do you know from 24 your own personal knowledge that Jane Doe No. 7 has 25 used? 0415 file:///q/Documents%20and%20Settings/Production/Desktop/Doe%20No.%204.%2Ohne%20-%20Vol.%20Ill.txtl11/6/2009 5:12:34 PM1 EFTA00725694
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1 A. I don't know. 2 Q. None? You don't know of any drugs that 3 Jane Doe No. 7 has used? 4 A. Maybe -- I don't know. 5 Q. Well, let's make sure we're clear here. 6 Are you telling me under oath that you don't know of 7 any drugs that Jane Doe No. 7 has used? 8 A. No, I don't know. 9 Q. Never seen her use any drugs? She's never 10 told you she used any drugs? You're sure? 11 A. Not like, hey, what kind of drugs do you 12 do. It's not like we're drug addicts. It's not 13 like -- 14 Q. My question is under oath whether you're 15 aware, either from drugs you've seen her use or what 16 she's told you drugs she's used? 17 A. I have seen her drink. 18 Q. Okay. 19 A. Maybe smoke pot, maybe. Other than 20 that -- 21 MR. MERMELSTEIN: Do you remember? 22 BY MR. LUTTIER: 23 Q. Well, what do you mean, maybe? 24 THE WITNESS: No, I don't remember. 25 MR. MERMELSTEIN: Okay. 0416 1 BY MR. LUTTIER: 2 Q. Your testimony under oath is you've never 3 seen Jane Doe No. 7 smoke pot? 4 MR. MERMELSTEIN: No, no. 5 THE WITNESS: No, I didn't say I've never 6 seen her. I just don't remember. 7 BY MR. LUTTIER: 8 Q. You may have seen her smoke pot? 9 A. When I was in high school, I hung out with 10 her at high school parties. I don't remember. I 11 mean, everybody -- I don't know. I don't remember. 12 Q. My question is very simple. You may have 13 seen her smoke pot? 14 A. Yeah. 15 Q. What other drugs do you know that Jane Doe 16 No. 7 has used? 17 A. I don't know. 18 Q. Don't have any idea? 19 A. No. 20 Q. How about Jane Doe No. 3, what other 21 drugs, what drugs have you, do you know that Jane 22 Doe No. 3 has used? 23 A. Drinking and smoke pot. 24 Q. Any others? 25 A. No. 0417 1 Q. Are you sure? 2 A. Yeah. file:///q/Documents%20and%20Settings/Production/Desktop/Doe%20No.%204.%2Ohne%20-%20Vol.%20Ill.txtl11/6/2009 5:12:34 PM1 EFTA00725695
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3 . Oka . 4 5 r A. I don't know. 6 7 8 A. I don't know. 9 Q. You filled out a health insurance or a I 0 health questionnaire at saying that I I a friend of yours had MRSA. Do you know what MRSA 12 is? I 3 A. Yeah, it's where you get like in the 14 hospital after having, like, surgery. 15 Q. And who are you referring to when you said 16 you had a friend that had MRSA? 17 A. 18 Q. 19 A. At his, yeah, or -- yeah. 20 Q. How about any of your girlfriends that 21 went to Jeffrey Epstein's, were you referring to any 22 of them as having MRSA? 23 A. No. 24 Q. Do you know about any of the girls that 25 went to Jeffrey Epstein having MRSA? 0418 1 4 A. No. No. 2 3 5 A. No. 6 Q. Have you suffered any economic loss; that 7 is, have you lost any money as a result of going to 8 see Jeffrey Epstein? And, obviously, you got paid 9 for what you went, but have you lost any money as a 10 result of going to see Jeffrey Epstein? 11 A. No. 12 Q. Okay. Do you know what a pimp is? 13 A. Yeah. 14 Q. A pimp is someone that gets paid money to 15 prostitute somebody or to, to facilitate the service 16 of a prostitute. Is that what you understand a pimp 17 is? 18 A. Yeah. 19 Q. Would you agree with me that you were, in 20 essence, acting as a im • that is you got paid 21 money for taking to Jeff Epstein? 22 MR. MERMELSTEIN: Objection, 23 argumentative. 24 THE WITNESS: Yeah. 25 0419 1 BY MR. LUTTIER: 2 Q. And were you a prostitute at one time? 3 A. No. 4 MR. MERMELSTEIN: Objection, form. 11 le:///q/Documents%20and%20Settings/Production/Desktop/Doe%20No.%204.162Ohne%20-%20Vol.%20Ill.txtl11/6/2009 5:12:34 PMI EFTA00725696
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5 BY MR. LUTTIER: 6 Q. Did you ever consider yourself to have 7 been a prostitute? 8 A. No. 9 Q. Okay. You mentioned that, you were 10 talking about Mr. Epstein, and one other event that 11 you said was, you said, I think to use your 12 language, he licked your clit. 13 A. Yeah. 14 Q. When did that occur? 15 A. It happened one time. 16 Q. Was it afte 17 A. 18 Q. Of high school? 19 A. Yeah. 20 Q. How do you know it was in 21 in high school? 22 A. Because after that moment, I said I never, 23 never again. 24 Q. Never what again? 25 A. Like he is not, like, licking my clit. 0420 1 Q. Did he ask you -- 2 A. He kept begging me. 3 Q. Did he ask you to lick your clit? 4 A. Yeah, he kept begging me. 5 Q And did you -- 6 A Finally, I gave in. 7 Q. Did you say, no? 8 A. No. 9 Q. Had you said -- 10 A. Yes, I said no. And finally I said, yes. 11 Q. Had you said no on prior occasions? 12 A. No. 13 Q. He never asked you to lick your clit prior 14 to the time that, that he did it the first time? 15 A. No. 16 Q. Okay. So the first time he asked to lick 17 your clit, you said okay? 18 A. No, I said no. And then he kept begging 19 me and asking me to lick it that day. And finally 20 after saying no, like, three or four times, I said, 21 okay. 22 Q. Okay. So every time you said no, he 23 didn't do it, right? When you said no, he didn't 24 lick your clit? 25 A. Yeah. 0421 1 Q. And then when you said yes, then you say 2 he licked your clit? 3 A. Yeah. 4 Q. And for how long did this go on? 5 A. A couple of seconds. 6 Q. A couple of seconds. Now, you had had file:///q/Documents%20and%20Settings/Production/Desktop/Doe%20No.%204.162Ohne%20-%20Vol.%20Ill.txtl11/6/2009 5:12:34 PM1 EFTA00725697
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7 your clit licked before that event, had you not? 8 A. Yeah. 9 Q. had done it, right? 10 A. Yeah. 11 Q. Other boys had done it, right? 12 A. No. 13 MR. MERMELSTEIN: Objection. 14 BY MR. LUTTIER: 15 Q. And, and then, while he was licking your 16 clit, did you tell him you wanted him to stop? 17 A. Yeah. 18 Q. And did he stop? 19 A. Yeah. 20 Q. Okay. And when you say he licked your 21 clit, did he penetrate your vagina or just lick your 22 clitoris? 23 A. No, he licked my cult. 24 Q. Okay. And, and how were you positioned at 25 the time that this happened? 0422 1 A. I was standing. There was a massage table 2 to the right of me and there was a couch to the left 3 of me, and I had my right leg lifted up on the 4 massage table, and he was on his knees. 5 Q. So, you had positioned yourself for this? 6 A. Yeah, I was -- yeah, I guess. I didn't 7 position it for me to go like that. He kept begging 8 me and begging me. 9 Q Well, you -- 10 A Yeah, well, then, yes, I did. 11 Q. You had to put your leg up on the massage 12 table, right? 13 A. Yeah. 14 Q. And open up your vagina, right, your 15 legs -- 16 MR. MERMELSTEIN: Objection. 17 BY MR. LUTTIER: 18 Q so he could lick your clit, right? 19 MR. MERMELSTEIN: Objection. 20 BY MR. LUTTIER: 21 Q. That took you some time to do, right? 22 A. Yeah. 23 Q. So you did all that voluntarily. right? 24 A. Yeah. 25 Q. You could have said, no, and that would 0423 1 have been the end of it, right? 2 A. Yeah. 3 Q. You -- at any time while you were going to 4 see Jeffrey Epstein, you could have just said, no, 5 I'm not going back anymore, couldn't you? 6 A. Yeah. 7 Q. Nobody coerced you to do it. You were 8 going voluntarily, correct? 11 le:///q/Documents%20and%20Settings/Production/Desktop/Doe%20No.%204.%2Ohne%20-%20Vol.%20Ill.txtl11/6/2009 5:12:34 PMI EFTA00725698
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9 A. Yeah. 10 . Oka . I I 12 1 3 A. No. 14 Q. Wh not? Ii A. 16 17 Q. Did you, you told that you were 18 uncomfortable with, what you referred to as, your 19 body. I think the words used was "down there"; do 20 you remember that? 21 A. Yeah. 22 Q. Are you talking about your vagina or your 23 crotch area? 24 A. Yeah. 25 Q. Okay. And you said you'd been 0424 1 uncomfortable with it for some period of time. 2 A. Yeah. 3 Q. And you said that it didn't -- you, 4 something about you looked at other girls and you 5 thought yours looked different or something like 6 that? 7 A. Yeah. 8 Q. What is it you're referring to? 9 A. The way that my vagina is shaped compared 10 to other girls. 11 Q. And what is it that's different about your 12 vagina that's -- 13 A. My lips are a lot larger than other girls' 14 lips are. They come out more, and that's why 15 Jeffre E stein said that I was his favorite girl in 16 17 Q. Okay. And, and that's been true your 18 whole life? 19 A. Uncomfortable? Yeah. 20 Q. Didn't prevent you from having sex with 21 other men, right? 22 A. You mean with =? 23 Q. With anybody else. Your lawyer hadn't let 24 you answered about the other people you've had sex 25 with. 0425 1 A. Maybe that's -- maybe that's why I've been 2 with him for on and off with him for five or six 3 years. So yeah, I was uncomfortable with other 4 guys. 5 Q. Your current boyfriend, you had sex with 6 him, right? 7 A. After being with somebody that's abused me 8 for like seven year, five years, do you think I'm 9 comfortable -- do you think I would go back to being 10 with him if I was comfortable with my body? file:///CyDocuments%20and%20Seitings/Production/Desktop/Doe%20No.%204.162Ohne%20-%20Vol.%20Ill.txtl11/6/2009 5:12:34 PM1 EFTA00725699
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11 MR. MERMELSTEIN: Take it easy. Answer 12 the question. 13 BY MR. LUTTIER: 14 Q. By the way, even after you went and got an 15 injunction against domestic violence because of all 16 the horrible things that did, you 17 the 18 19 20 21 22 23 24 A. 25 Q. 042 1 2 A. Yeah. 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 Yeah MR. MERMELSTEIN: Ob'ection. THE WITNESS: BY MR. LUTHER: Objection, form. MR. MERMELSTEIN: BY MR. LUTHER: Q. Is that right? A. Yeah. Q. I mean, wouldn't -- have you discussed that with this s chiatrist that ou said ou had one in 9 A. Q. Yeah. Have you talked to him a little bit about that? A. I haven't got a chance to. 25 Q. Well, how many times have you been to him? 0427 1 A. Well, yeah, I mean, I don't remember. We 2 talked about several different things. So I am 3 sure, yeah. 4 Q. How many times have you been to him? 5 A. How many times have I been? 6 7 A. To ? Q. Yeah how man times have you been to him? 8 Q. Yeah. 9 A. Yeah. I don't know, but I have been going 10 there sinceM, maybe once or twice a week I've 11 been going to see him. I don't know, maybe • 12 times. file:///CyDocuments%20and%20Settings/Production/Desktop/Doe%20No.%204.162Ohne%20-%20Vol.%20Ill.txtl11/6/2009 5:12:34 PM! EFTA00725700
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13 Q. Have you, has everything that you told him 14 been the truth? 15 A. Yes. 16 Q. I'm going to tell you, we're going to get 17 his records. 18 A. Yeah. 19 Q. All right. And have you told him the 20 whole truth? 21 A. Yeah. 22 MR. MERMELSTEIN: Objection. 23 BY MR. LUTTIER: 24 Q. Told him about right? 25 A. Yeah. 0428 1 Q. Told him about =I? 2 MR. MERMELSTEIN: Objection. 3 BY MR. LUTTIER: 4 Q. Did you tell him was violent 5 towards you? Did you tell him that? 6 A. Yeah. 7 Q. Did you tell him everything that you've 8 told me in this deposition? 9 MR. MERMELSTEIN: Objection, form, 10 overbroad. 11 THE WITNESS: Not every single -- he knows 12 a broad, broad information about certain 13 things. 14 BY MR. LUTTIER: 15 Q. Okay. Who's paying his bill? 16 A. I am. 17 Q. Okay. And where is his office? 18 A. 19 How would you get toM 20 • to get this fellow ? How did you get 21 to him? Who referred you to him? 22 A. I have somebody that I -- my boyfriend's 23 mother. 24 Q. Who is that? 25 A. 0429 1 Q. By the way, this guy that you had the 2 domestic violence with that you got arrested for -- 3 A. That was my ex-boyfriend. 4 5 A. No, I live in Q. -- are you still livin with him? 6 . Did ou go hunting recently for 7 8 A. Hunting for=? 9 Q Yeah. 10 A No. I I Q. Did you go try to find her at her place of 12 employment? 13 A. No. 14 Q. Do you know why anybody would say you were file:///q/Documents%20and%20Seitings/Production/Desktop/Doe%20No.%204.162Ohne%20-%20Vol.%20Ill.txtl11/6/2009 5:12:34 P141 EFTA00725701
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15 at her place of employment looking for her? 16 A. No. 17 Q. Do you -- do you know where she works? 18 A. Yeah. 19 Q. You know where she works, don't you? 20 Where does she work? 21 A. 22 Q. located where? 23 A. In 24 Q. Okay. And that's where you went Friday 25 night and the domestic violence thing, isn't it? 0430 1 A. I didn't o there lookin for her. 2 3 4 5 6 7 8 9 Q Did ou tell -- 10 A 11 12 . Did you tell anybody when ou were at the 13 that you were working for 9 14 A. No, I didn't even bring u name. 15 Q. Do you know why a message would have been 16 left if you were looking for her? 17 A. No, because I never even brought up her 18 name. 19 O. Okay. Now, you say -- what's this 20 or whatever this boyfriend's name is, 21 what's his mother's name? 22 A. 23 Q. (sic) what? 24 A. 25 Q. what? 0431 1 A. I don't know her last name. She has been 2 remarried. 3 Q. Well, where do ou find this lady? 4 A. She lives in . I don't 5 know. 6 Q. How, how is it, how is it you got ahold of 7 her? 8 A. I didn't get ahold of her. She didn't 9 tell me. She gave the, the name, and I got 10 the name throu h 11 11 13 14 15 16 A. Have I talked to her on the phone? Yeah. Q. Have you ever talked to her on the phone? file:///CyDocuments%20and%20Settings/Production/Desktop/Doe%20No.%204.162Ohne%20-%20Vol.%20Ill.txtl11/6/2009 5:12:34 PM1 EFTA00725702