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FBI VOL00009
EFTA01075988
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Page 158 Page 160 APPEARANCES: 2 On behalf of the Plaintiff.: 3 SPENCER KUM, ESQUIRE LEOPOLD KUVIN, P.A 2925 POA Boulevard, Suite 200 Palm Florida 33410 Phone t On behalf 71ILMIrMane Does 24: 7 ADAM HORMEL, ESQUIRE MRMELSTEIN & HOROWITZ, PA 18205 Biscayne Boulevard Suite 2218 9 Miami Phone: 10 1.1 On behalf of Plaintiff Carolyn Andnono 12 TACK Hal, ESQUIRE SEARCY, DENNEY. SCAROIA, BARNHART & SHIPLEY, PA 13 2139 Palm Beach Lakes Boulevard West till ride 33409 14 Phone; 15 RICHARD/MATS, ESQUIRE (via telephone) RICHARD H. WILLITS, P.A. 16 229010th Avenue North, Suite 404 Lake WS3461 17 Phone 18 On behalf o the Defendant 19 ROBERT CRITTON, ESQUIRE BURMAN, CRITTON, LIMIER & COLEMAN 20 515 Nonh Wet Drive Suite 400 21 West Ptrida 33401 Phone: 22 23 24 25 1 2 3 4 5 6 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 PROCEEDINGS - - (Continued from Volume I.) VIDEOGRAPHER: We're back on the video record. This is the beginning of tape number three. The time is 3:02 p.m BY MR. KUVTN: Q. Okay. Let me do it this way, so we can just back up a little bit. Ms. you're aware that girls, including my client, have sued Jeffrey Epstein in civil lawsuits, correct? A. Yes. Q. All right. Arc you also aware that one of the defenses has been that these girls volunteered to go to the house so, therefore, what are they complaining about? Are you aware of that? A. Yes, I am. Q. Okay. You feel that way yourself? A. Absolutely. Q. Because you volunteered to go, right? A. Absolutely. Q. And you haven't sued Mr. Epstein, have you? A. I have no intentions of that. Q. Did you contemplate it at one point? Page 159 1 On behalf of the Witness: 2 DOUGLAS MCINTOSH, ESQUIRE CAMILLE E. BLANTON, ESQUIRE 3 MCINTOSH, SAWRAN, PELTZ & CARTAYA, PA. 1601 Forum Place 4 Suite 1110 West Pal Fonda 33401 5 Phone: 6 B 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 ALSO PRESENT: MICHAEL DOWNEY, VIDEOORAPHER 1 2 3 4 S 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 Page 161 A. Did I contemplate it? Yeah, it crossed my mind a few times. WilYi A. Nee. use 1 just thought it was the easy way out. And then 1 decided this is my life andl have to take responsibility for my own actions because 1 did volunteer. So I'm handling my grief and my situation a different way, and that's by putting this shit behind me. Q. Got you. Fair enough. What I'm wondering then — and the reason 1 asked the question initially was not to embarrass or harass you. But since even yourself, you think to a certain extent that these girls bear their own responsibility for going? A. They don't bear any responsibility. They need to take responsibility. Q. Got you. Did your dad tell you that? A. No. I've learned that. Q. What was his response to you about what happened then? That's why I asked the question initially. MS. BLANTON: We are not going to discuss her father and mother and relatives or any other friends' reactions to these lawsuits or what she's j 2 (Pages 158 to 161) PROSE COURT REPORTING AGENCY, INC. Electronically signed by Sandra Townsend (401 Electronically signed by Sandra Townsend (401 7a82ddcH-69oe-4e 57-9cd8 -8392056001GO EFTA01075988
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Page 162 1 been through. Again, she's not a Plaintiff. She's 2 not a Defendant. We're not going to do it. 3 The only purpose that serves is to upset her 4 and you've seen that. 5 MR. KUVIN: I certainly don't mean to upset 6 her, but obviously I'm rep cbenting certain 7 individuals who are being — prosecuting their 8 action. And I think that the questions are 9 relevant But if you're not going to let her 10 answer, then we'll move on. 11 BY MR. KUVIN: 12 Q. As you sit here today, did anyone blame you, 13 other than yourself for what happened? 14 MR. CRITTON: Form. 15 THE WITNESS: Yes. 16 BY MR. KUVIN: 17 Q. Who? 18 A. A lot of people. 19 Q. Who? Who can we talk to that blamed you, 20 other than your own personal feelings? 21 A. My sister. 22 Q. Okay. Who else? 23 A. Ifs the only person that I care about that 24 blamed me. 25 Q. Well, anyone that didn't — that you don't 1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 Page 164 A. Yes. Q. As you sit here today, do you think that the money that he's paid you and the fact that be's paying for your lawyers when your parents couldn't afford it anymore affects your testimony in any way? A. Absolutely not. That's ridiculous. Q. Okay. Fair enough. Fair enough. Do you think it was right for Mr. Epstein, personally, to have underage girls, girls under the age of 16 come to his house and give him naked massages? You think that was okay? MR. CRITTON: Form. THE WITNESS: I don't know. MS. BLANTON: Object to form. Define okay. BY MR. KUVIN: Q. Well, personally. I mean, do you think there was anything wrong with that, personally? MR. CRITTON: Form. THE WITNESS: I don't know. BY MR. KUVIN: Q. You have no opinion about that? MS. BLANTON: She's answered that twice. MR. CRITTON: Form. Argumentative, if that was a question. BY MR. KUVIN: I 1 2 3 4 S 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 way? Page 163 care about? A. I think a lot of the other Plaintiffs blame me. Q. Okay. Do you feel any personal msponsibility for any — bringing any of those girls to the house? MR. CRITTON: Form. Asked and answered. THE WITNESS: Can you repeat the question? BY MR. KUVIN: Q. Yeah. You said just now that you think some of the other girls that you brought blame you? A. Ub-hub. Q. Correct? A. Yes. Q. Do you — A. Do I blame myself? Q. Yeah, for bringing them. A. Absolutely not. Q. Not at all? A. No. Q. If Mr. Epstein were not paying for your lawyers, think you'd feel the same way? A. I would feel this way, no matter what. Q. If Mr. Epstein hadn't paid you in excess of 53,000 over the years, do you think you'd feel the same Page 165 1 Q. You got no opinion about that? 2 A. I have no opinion about that. 3 Q. Okay. Do you remember the address of 4 Mr. Epstein's home? 5 A. No, I do not. 6 Q. Does the name Brillo Way sound familiar to 7 you? 8 A. Brillo Way sounds familiar. 9 Q. Did you ever take a shower in Mr. Epstein's 10 shower? 11 A. No. 12 Q. When you were at Mr. Epstein's house, did the 13 chef ever prepare you guys lunch as you were them? 14 MR. CRITTON: Form. 15 THE WITNESS: I don't remember. 16 BY MR. KUVIN: 17 Q. Any one of the girls that you brought to the 18 home, did any of those girls ultimately go to. 19 University, as far as you know? 20 A. Yes. 21 Q. Who? 22 A. Jane Doe 4. 23 Q. And I apologize, but is she the one that you 24 had heard had sex with Mr. Epstein? 25 MR. CRITTON: Form. PROSE COURT REPORTING AGENCY, Electronically signed by Sandra Townsend (401= Electronically signed by Sandra Townsend (401 • 3 (Pages 162 to 165) INC. 7a82dddt-59ee.4e57-9cd8.8392056001c0 EFTA01075989
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Page 166 1 MS. BLANTON: rm sorry. Did you -- 2 BY MR. KUVIN: 3 Q. There was one of the girls that you had heard 4 had sex with them? 5 A. That was and I heard that from Jane Doe 6 101. 7 Q. Okay. Sony. 8 What did Jane Doe 4 do with him, if you know? 9 A. I don't. 10 Q. Did you ever tell anyone that you worked for 11 Jeffrey? 12 A. Did I tell anyone I worked for k 13 Q. Yes. 14 A. Yes. 15 Q. Who? 16 A. The girls. 17 Q. What did you mean by that when you said you 18 worked for Jeffrey? 19 A. Worked for Jeffrey, like, got girls to give 20 him massages. When I was introduced to a girl, I would 21 be, like, yeah, I work forJeffrey. I find girls to 22 give him massages. 23 Q. Okay. You weren't on any kind of a payroll or 24 anything, right? 25 A. No. 1 2 3 4 5 6 7 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 Page 168 Q. So all of the girls that you brought actually recruited other girls as well? A. Yes. MR. CRITTON: Pont BY MR. KUVIN: Q. Okay. How do you know that? A. I know that because they told me. Q. Okay. Which one of them? A. Jane Doe 7 brought,. Jane Doe 4 brought Jane Doe 3 brought a couple girls, can't recall their names.', I think, may have broughten somebody, but I can't be accurate on that. And I don't know for tut W I think Jane Doe 7. may have also brought i Q but and., the sisters. Q. So now we're talking about around 12 girls that you brought. And then as far as you know, a lot of those, if not all of them, brought other girls, at least one or two other girls? MR. CRITTON: Form. BY MR. KUVIN: Q. Is that — did I understand you correctly? A. Yes, you do. Q. So as you sit here today, how many girls are 1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 Page 167 Q. Did you ever bring a girl over with the initials •? - A. Pm sorry. What were the initials? Q. M. A. No, not that I can remember. Not that I can recall, no. Q. Do you know a girl by the name of A. No. Q. Doesn't sound familiar to you? A. M.? Q. Yes. A. Does not sound familiar at all. Q. How about'"? Q. Does the name sound familiar to you at all? I. as a girl that went over to Mr. Epstein's home at some point? A. rye heard that name come up a few times. Q. Do you remember bringing a'. over to the house? A. I never brought a over to the house. Q. Of any of the girls that you brought, do you know if any of those girls then did similar to you in getting other girls? 25 A. All of them. Page 169 1 you aware of that were brought to Mr. Epstein's home? 2 A. That I'm aware of? 3 Q. Well, yeah, either that you brought or that 4 you know other people brought. I mean, you've already 5 talked to us about 12. Then where there's -- if they 6 each brought them, then we're talking 12 more, plus some 7 of them may have brought additional ones. You know, 8 simple math, were in the twenties now. How many are 9 you aware of let me strike the statement. 10 How many people are you aware of, either 11 directly or indirectly, girls that were brought to 12 Mr. Epstein's home? 13 MR. CRITTON: Form. 14 THE WITNESS: At least 20. 15 BY MR. KUVIN: 16 Q. At least? 17 A. At least 20. 18 Q. Could it be at least 30? 19 A. I don't know. 20 MR. CR1TTON: Form. 21 THE WITNESS: I don't want to speculate. 22 BY MR. KUVIN: 23 Q. But through either firsthand knowledge, in 24 addition to secondhand knowledge from the girls 25 themselves, you're aware of at least 20? 4 (Pages 166 to 169) PROSE COURT REPORTING AGENCY, INC. Electronically signed by Sandra Townsend (401 Electronically signed by Sandra Townsend (401 7a82dddl-59ee-4e57-9cd8-1339205600fc0 EFTA01075990
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Page 170 Page 172 1 A. At least. 2 Q. Okay. And of those girls, other than the one 3 girl that we've talked about before that was 24 years 4 old, as you sit here today, all those girls were under 5 age 18; is that correct? 6 MR. CRITTON: Form. 7 THE WITNESS: That I know ot yes. 8 BY MR. KUVIN: 9 Q. And the on one 're aware of that was over 10 that age of 18 was ou 11 A. At 23, yes. 12 Q. Did Jane Doe 101 ever tell you how she first 13 heard about Mr. Epstein? 14 A. No, she did not. 15 Q. What I'm hying to understand is, at some 16 point it seemed like, according toyour testimon that 17 there were a number of girls from High 18 School that were going over to Mr. Epstein's home during 19 this period of time in 2005, early 2006. 20 What I'm trying to figure out is, if you know, 21 how did Mr. Epstein or his people get entree into your 22 high school initial) in other words, who was the first 23 person at High School, if you know, 24 that started this whole thing? 25 MR. CRITTON: Form. 1 whatever, at word got around campus. And 2 then girls that 1 were bringing were like, yeah, I know 3 so and so and she did that, like, ninth grade. But it's 4 hearsay. 5 Q. I understand. M., how much older than you 6 was she? 7 A. My age. 8 Q. She was your age? 9 A. She's my age now. 10 Q. Well then, she would have been your age then? 11 A. Yeah. 12 Q. Right? 13 A. Yeah. 14 Q. Okay. Unless she's got a time machine that we 15 don't know about. 16 A. She might. 17 Q. You had heard that she went in ninth grade? 18 A. That is what I heard. 19 Q. Who did you hear that from? 20 A. Multiple people. 21 Q. Are you aware, other than her, of anyone else 22 that went over to Jeffrey's house before you that was 23 going to 24 A. Yes. 25 Q. Who else? 1 2 3 4 5 6 7 8 El? 9 10 11 12 13 14 15 16 17 18 19 20 21. 22 23 24 25 Page 171 THE WITNESS: I have no idea. I do not !mow. It wasn't me. BY MR. KUVIN: Q. Right. Because Jane Doe 101 got you? A. Jane Doe 101 got me, that's correct. Q. And I'm sorry. I know I asked this before. But Jane Doe 101, she was a classmate of yours at A. No. I went to with her. Q. Okay. A. Her, We weren't friends, didn't hang out. Just saw each other through the hallways. Q. Well, that's interesting then. from Ar wathe first girl, that you're aware of, High School that went to Mr. Epstein's home? MR. CRTTTON: Font THE WITNESS: No. BY MR. KUVIN: Q. Who was the first girl that you were aware of from = that went there? A. Q. And how did you become aware of her going? A. When I started going and I started bringing girls that I was friends with, acquaintances with, 1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 Page 173 A. Q. When did she go? A. I don't know if she ever worked for him or gave him a massage, but she was — she's been to his house. A. O i or (phonetics), I think. Q. Okay. Who else? A. On top of my head, that's all 1 can think of. Q. Do you know how to spell A. Q. A. Q. And A. I. Q. And A. Q. Other than Brom there? .A. Q. Flow do you II= anyone else that you're aware of that went over PROSE COURT REPORTING AGENCY, Electronically signed by Sandra Townsend (401 Electronically signed by Sandra Townsend (401 5 (Pages 170 to 173) INC. 7a82dddl•59e*Ao57-9cd8439205600fc0 EFTA01075991
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1 2 3 4 5 6 7 8 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 Page 174 A. Q. Who else? A. That's it, that I can think of on the top of my head that went before I even heard about him. Q. Were you all at school talking about going over to this old guys house on the beach? MR. CRITTON: Form. BY MR. KUVIN: Q. I mean, were there any conversations that were had around the hallways at school about this issue? MR. CRITTON: Font THE WITNESS: I had no idea that they had even gone until after I met Epstein and was already done with my situation. BY MR. KUVIN: Q. Right. A. So this is information that I've learned in the last three years — Q. Okay. A. -- that I hadn't known before. The girls and the friends that I hung around with, they would all talk about it in the hallways because they knew that I was taking them or that they met him through me. Page 176 1 M. was just - I don't even know what 2 category I can put her under. 3 Jane Doe 3 was definitely promiscuous. 4 I don't really have a category to put M. 5 under. She was just kind of the younger one, the not so 6 bright one. Q. Got you. When you would ask girls to go, would you look for the ones you thought were more promiscuous? 10 MR. CRITTON: Form. 11 THE WITNESS: No. No. 12 BY MR. KHVIN: 13 Q. How would you decide which ones to ask? 14 A. They were my friends, the girls that I vent to 15 school with, the ones that I kicked it with after 16 school. They were in my circle. It was convenient. 17 Q. Okay. Call me naive, but how do you convince 18 a girl that age to go to an old man's house, even just 19 to give a massage? 20 MS. BLANTON: Object to the form. Go ahead. 21 I think you were handling the answer just fine. 22 MR.. CRTITON: Form. 23 BY MR. KUVIN: 24 Q. Go ahead. 25 A. That's the thing. I didn't have to convince 2 3 4 5 6 7 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 Page 175 Q. Right. A. But if you mean communication through different cliques in the hallway, as, like, an issue, no, nobody ever spoke about it. Q. Okay. All the girls that you took, what was their, I guess for lack a better term, social status within the school? I mean, were they popular girls? Were they not popular girls? Were there, you know,1 mean, in sane schools there are, like, the cheerleaders and the different groups? A. Should I be brutally honest? MR. HOROWITZ: I'm going to object to the form then. BY MR. KUVIN: Q. Yes. Brutally honest. A. Do you want to include myself in this? Q. Let's k ou out of it for the moment. 1 46 A. a was the party animal. and and, I believe,.. were the cheerleaders. Q. Okay. A. Jane Doe 7 and Jane Doe 4 were the promiscuous ones. was - not promiscuous, but more flirtatious. 1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 Page 17 than. Q. What do you mean? A. I didn't convince anything. I proposed to them. They took it. They volunteered. Q. Okay. A. Sometimes the girls would come up to me and ask me if they can work for him this weekend. There was no convincing needed. Q. Right. So you would just mention it and — A. They jumped on it, just like I did. Q. Then why did it bother you when you did it the first time? A. It bothered me more so because I just — I can't explain it to you. It didn't bother me then as it bothered me now. It bothers me now for different reasons. Q. Well, do you think you were any less sensitive than these girls? A. I am definitely less sensitive than those girls. Q. You see yourself as being more sensitive than them? A. At times, yes. At other times, no. Pm a very hard person. Everybody's sensitive when they want to be. You strike somewhere where it hurts, you're 4.4.5.-M14:41A.Vtaattor.? 6 (Pages 174 to 177) PROSE COURT REPORTING AGENCY, INC. Electronically signed by Sandra Townsend (401 Electronically signed by Sandra Townsend (401 7082dddf-59ce-4e57-9cd8-8392056001c0 EFTA01075992
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Page 178 Page 180 1 going to be sensitive. You're going to &IL 2 Q. And this whole issue with Epstein obviously is 3 a sensitive point with you? 4 A. It is. 5 Q. Did like the fact that went over 6 them, if you know? 7 A. I don't know. 8 Q. Did you ever hear that he was upset about you 9 bringing..? 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 A. We did have a falling out. Q. After you brought'.? A. After I brought When he found out that I Ness going to bring her, yeah, he distanced himself from her and me. Q. Do you know why? A. No. Q. Did you hear that he actually punched a wall he was so upset? MR. CRITTON: Form. BY MR. KUVIN: Q. Did someone tell you that? A. No. Q. Have you talked to him since? A. We're not as close. Q. Have you talked to him at all since? 1 BY MR. HOROWITZ: 2 Q. Hi. Good afternoon. My name is Adam 3 Horowitz, as I mentioned when we started today. 4 A. Okay. 5 Q. I represent seven of the Plaintiffs. Pm 6 going to be asking you some questions, sort of filling 7 in some blanks in my mind based on the previous 8 questions and also some particular questions about my 9 clients. Okay? 10 Sort of at the beginning of the deposition you 11 told us that Jute Doe 101 first mentioned Jeffrey 12 Bpstein's tune to you at the Beach Resort; is 13 that right? 14 A. That is correct. 15 Q. Before that time, you had never heard of him; 16 is that right? 17 A. That's right. I had never heard of him 18 before. 19 Q. But you know now that certain 20 classmates of yours wore already going to his house? 21 A. That's correct. 22 Q. Did Jane Doe 101 ever tell you that she, 23 herself, had gotten paid for giving Mr. Epstein a 24 massage or was she simply a recruiter for him? 25 A. We news discussed that Page 179 1 A. Yes. 2 Q. Did you talk to him about this incident? 3 A. No. Ifs not a conversation that me and him 4 have had. Ifs not a conversation that I would like to 5 have with him. 6 Q. Is that the only reason you can think of that 7 you two had a falling out? 8 A. Yes. 9 Q. When you were in the room with Mr. Epstein, 10 did you actually see his genitals? 11 A. I don't remember. I tried not to look. 12 Q. Okay. So as you sit here today, you couldn't 13 describe them? 14 A. No. I could not describe them for you. 15 Q. I don't mean obviously his face. I'm talking 16 about his genitals. You could not describe those? 17 A. I could not describe his genitals for you. 18 Q. Okay. Did you ever talk tot's parents? 19 A. No. 20 MR. KUVIN: All right. I appreciate it. 21 That's all the questions I have at this point 22 Other attorneys, I'm sure, are going to have some 23 for you. 24 (Discussion held off the record.) 25 CROSS EXAMINATION Page 181 1 MR. CRITTON: Form. 2 BY MR. HOROWITZ: 3 Q. Do you — as we sit here today, do you know of 4 anything that took place when Jane Doe 101 went to 5 Jeffrey's house? 6 A. No. 7 Q. Do you know if she ever gave him a massage? 8 A. No, l don't 9 Q. Do you know if they ever had sexual contact? 10 A. No, I do not. 11 Q. And you told us that Jane Doe 101 did not 12 forewarn you that Jeffrey Epstein would touch you in a 13 sexual manner, is that correct? 14 MR. CRITTON: Form. 15 THE WITNESS: That's correct. 16 BY MR. HOROWITZ: 17 Q. Did she ever say that he would touch your 18 private parts? 19 A. No. He never did she never did. 20 Q. She never told you that? 21 A. Sony. 22 Q. Did you ever tell her that, in fact, he had 23 touched you, as you said, below the belt in the front? 24 MR. CRITTON: Form. 25 THE WITNESS: I don't remember. I 7 (Pages 178 to 181) PROSE COURT REPORTING AGENCY, INC. Electronically signed by Sandra Townsend (401 Electronically signed by Sandra Townsend (401 7a82dridt-Sgee-4e57-9cd8-8392056001c0 EFTA01075993
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Page 182 Page 184 1 BY MR. HOROWITZ: 2 Q. You don't know if you ever told her that? 3 A. I don't know if l ever told her that. 4 Q. Was it upsetting to you that she didn't tell S you that that might occur? 6 A. I don't remember. 7 Q. Are you, as we sit here today, upset — if she 8 knew — strike that. 9 If she knew that Jeffrey Epstein had a sexual 10 interest in girls, would you have liked to have known 11 that before you went to his house? 12 MR. CRITFON: Form. 13 THE WITNESS: I don't know. 14 BY MR. HOROWITZ: 15 Q. That might be something you didn't care about 16 before you went to his house? 17 A. I don't know how to answer that. I don't 18 know. I'm not being put in that position. 19 Q. Well, was it upsetting to you when he touched 20 you in a sexual manner and you had no idea he was going 21 to do that? 22 A. I don't know. I can't recall my feelings at 23 that point in time. 24 Q. And you don't recall whether you ever told her 25 what had taken place? 1 going to touch you in a sexual manner? 2 MR. CRITTON: Form. 3 THE WITNESS: Yes. 4 BY MR. HOROWITZ: 5 Q. Now, you -- do you know if she recruited other 6 girls to go to Jeffrey's house? 7 A. I don't know. 8 Q. Has she ever told you that she recruited other 9 girls to go to Jeffrey's house? 10 A. I can't remember. 11 Q. Have you heard from anyone that Jane Doe 101 12 recruited other girls to go to Jeffrey's house? 13 A. Nobody said anything, no. 14 Q. As we sit here today, are you aware— is it 15 your understanding that you are the only person that she 16 recruited or do you have some other fountain of 17 information? 18 A. To my knowledge, I'm the only girl that she 19 recruited. 20 Q. And when she recruited you, did she talk about 21 the range of girls that Jeffrey preferred? 22 A. No. 23 Q. Did she indicate to you at any point how long 24 it is that she was -- had been recruiting for Jeffrey 25 Epstein? Page 183 1 A. I don't know if I ever told her. Q. Now, when you got done with this 3 massage/touching encounter, you went downstairs and you I saw her on the first floor of the house? 5 MR. CRITTON: Form. 6 BY MR. HOROWITZ: 7 Q. is that right? A. I went downstairs. I don't know if she came 9 up and got me or inflict her down there, but she was 10 waiting for me with yes. 11 Q. And then you proceeded to ride home -- 12 A. Together. 13 Q. Together? Did you tell her any of the events 14 that had taken place upstairs in the massage room? 15 A. I can't recall. 16 Q. Do you think she should have told you that 17 Jeffrey Epstein was going to touch you in a sexual 18 manna? 19 A. Should she have? 20 MR. CRITTON: Form. 21 THE WITNESS: I don't know. Yes. 22 BY MR. HOROWITZ: 23 Q. Well, which is it] don't know or yes? I'll 24 ask the question again so it's clear. 25 Should she have told you that Jeff Epstein was 1 2 3 4 5 6 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 Page 185 A. No, she did not. Q. And you told us that when you recruited for Jeffrey Epstein, you told the girls that you worked for Jeffrey; is that eorree.t? A. Yes. Q. Did she make a similar pitch to you, I work for Jeffrey and I'd like you to come for a massage? A. I can't remember. Q. Okay. Turning your attention to the encounter when you were in the massage room with Jeffrey. When Jeffrey Epstein reached below your belt in the front, as you described it, did you push him away? A. I pushed his hand away. Q. You pushed his hand away. Did you, like, move away as well? A. I don't remember. Q. Was that your -- was that your indication to him that you were uncomfortable with what it is he was doing? A. Yes. Q. What I'm trying to get at is, that's why you pushed him away, to indicate to him you didn't want him to touch you that way? A. That's correct. Q. In a sexual way? Y.• 8 (Pages PROSE COURT REPORTING AGENCY, INC. Electronically signed by Sandra Townsend (401 Electronically signed by Sandra Townsend (401 182 to 185) 7a82ddd1.59o0.4057.9cd8.839205600fc0 EFTA01075994
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Page 186 Page 188 A. That's correct. 2 Q. Did he continue masturbating after you told 3 him — after you pushed his hand away? 4 MR. CRITTON: Form. 5 THE WITNESS: Yes. 6 BY MR. HOROWITZ: 7 Q. And you — did you hear him, like, breathing 8 heavy? 9 MR. CRITTON: Form. 10 THE WITNESS: I can't remember. 11 BY MR. HOROWITZ: 12 Q. Was he masturbating, like, with his hand on 13 his penis? 14 A. Yes, 15 MR. CRITTON: Form. 16 BY MR. HOROWITZ: 17 Q. And had you looked that way, would his 18 genitals have been exposed? 19 A. Yes. 20 Q. And did he suddenly stop masturbating, as in, 21. when someone has a climax or orgasm? 22 A. Yes. 23 Q. You distinctly recall that? 24 A. Yes. 25 Q. At the conclusion of this encounter in the 1 Q. He said what? 2 A. He had just made a comment about her age when 3 he was paying me. He just made a comment, like, you 4 know, she was old. 5 Q. Meaning, the previous girl -- 6 A. Yes. 7 Q. — was old? 8 Did Jeffrey — now, you told us that the range 9 of the other girls you brought was between ages 14 and 10 17; is that alma 11 A. Besid that's right. 12 Q. Did Jeffrey Epstein ever express displeasure 13 with the 14 to 17 year old girls that you brought? 14 A. !don't know. 15 Q. I'm just asking, did he ever express it to 16 you? 17 A. He never expressed it to me. 18 Q. Now, when you were bringing these girls over 19 to Jeffrey Epstein's house, did you believe that these 20 girls were going ova to Epstein's house so that Epstein 21 could have sexual contact with them? 22 A. I don't know. 23 Q. Now — go ahead. 24 A. 1 don't know. I never directly stated 25 anything about sexual contact Page 187 1 massage room, you told us, I think, that Jeffrey Epstein 2 asked you to bring other girls. Did I get that right? 3 A. Yes. 4 Q. What was your response? 5 A. I told him, okay. 6 Q. You were comfortable with that? 7 A. Yes. 8 Q. And did you tell him, I'll be in touch, or 9 anything along those lines? 10 A. I don't tensanber. 11 Q. But by then you already had lumber, 12 telephone number? 13 A. At some point 1 had number. I don't 14 recall if it was before or after the massage. 15 Q. Okay. All right. Now, you told us that 16 on one occasion brought an older girl named is 17 that right? 18 A. That is right. 19 Q. Was it Jeffrey Epstein who told you she was 20 too old? 21 A. Yes. 22 Q. And did he tell you that when you arrived in 23 the first floor of the house or after the massage or 24 when did that conversation take place? 25 A. The next girl I brought. Page 189 1 Q. I got that I'm not asking what you said. 2 But in your own mind, when you're bringing these girls 3 over, did you think in your own mind, these girls are 4 going over to Ertein's house and Epstein is going to 5 have some type of sexual contact with them, the same way 6 he did with me? 7 MR. CRITTON: Form. THE WITNESS: I don't know. 9 BY MR. HOROWITZ: 10 Q. It didn't cross your mind that — 11 A. I don't know what crossed my mind seven years 12 ago. 13 Q. Okay. Did you believe that you were being 14 paid cash to bring over girls to Epstein's house for 15 sexual pleasure? 16 A. No. 17 MR. CRITTON: Form. 18 BY MR. HOROWITZ: 19 Q. What did you think the purpose of the money 20 that you were getting was? 21 A. To introduce him to girls for massages. 22 Q. For massages? 23 A. Yes. 2 4 Q. You thought that a reason that you were 25 getting paid $200 was for an untrained high school girl 9 (Pages 186 to 1 8 9) PROSE COURT REPORTING AGENCY, INC. Electronically signed by Sandra Townsend (401 Electronically signed by Sandra Townsend (401 Tandddf-69eo4o57-9cd8-839205600fc0 EFTA01075995
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Page 190 1 to give a grown man just a massage? 2 A. Yes. 3 Q. I'm trying to — was there a part of your 4 mindset that thought, I'm also going to get paid for 5 giving — for bringing girls to give Epstein sexual 6 pleasure? A. I didn't receive any sexual pleasure, so 1 8 can't make that analysis. 9 Q. I'm not asking about your sexual pleasure. 10 Pm asking about Epstein's sexual pleasure. 11 Was there a part — was there a part of your 12 mind that said, I'm getting paid hundreds of dollars to 13 bring young, attractive girls to Jeffrey's house so that 14 he can have sexual pleasure? Did that cross your mind? 15 A. No, it did not. 16 Q. As we sit here today, looking back on the 17 large sum of money that Jeffrey paid you, thousands of 18 dollars, would you agree that he paid you that money so 19 you could bring girls for his sexual pleasure? 20 MR. CRITTON: Form. 21 THE WITNESS: I don't know. No. No. 22 BY MR, HOROWITZ: 23 Q. Well, in your estimation, what do you think 24 was the reason he paid you thousands of dollars? 25 A. Fora massage, for me to introduce him to Page 192 1 bit wiser, in your opinion were you paid thousands of 2 dollars for Jeffrey Epstein to get sexual pleasure from 3 14 to 17 year old girls? 4 MIL CRITTON: Form. 5 THE WITNESS: No. 6 BY Mr. HOROWITZ: 7 Q. Did Jeffrey Epstein tell you in particular, 8 specifically, I want these girls ova because they're 9 good masseuses, that they really improve my back? 10 A. No, he never said that. 11 Q. And to your knowledge, is there a single girl 12 that you brought over that Jeffrey Epstein did not have 13 an orgasm with? 14 A. Yes. 15 MR. CRITTON: Form. 16 BY MR. HOROWITZ: 17 Q. There's some girls that he did not achieve 18 climax? 19 A. Yes. 20 MR. CRITTON: Form. 21 BY MR. HOROWITZ: 22 Q. Are there any girls that you're aware of that 23 he didn't touch or try to touch in a sexual manner? 24 A. No. 25 MR CRITTON: Excuse me. Form to the last Page 191 1 girls to give him a massage. 2 Q. Through your different conversations with 3 Jeffrey Epstein, you've come to know that he's a very 4 affluent man. I mean, you've described him as a 5 billionaire. 6 MR. CRITTON: Fenn. 7 THE WITNESS: Yes. 8 BY MR. HOROWITZ: 9 Q. Would you agree that if he wanted to, he could 10 have the best masseuses in the world? 11 MR. CRITTON: Roan. 12 THE WITNESS: Yes. 13 BY MR. HOROWITZ: 14 Q. And yet he wanted these masseuses, in 15 particular, from 14 to 17 year old girls; is that 16 correct? 17 MR. CRITTON: Form. 18 MS. BLANTON: Objection. You're asking her to 19 speculate on what Jeffrey Epstein wanted or had in 20 his mind. If you want to ask her a question about 21 what he told her or what she communicated with him, 22 that's fine. 23 BY MR. HOROWITZ: 24 Q. My question is: As you look back on it now, 25 having, you know, being a few years older and a little Page 193 1 question. 2 MR. HOROWITZ: Too late. 3 BY MR. HOROWITZ: 4 Q. How did -- S MR. CRITTON: Then you need to slow down. 6 MIL HOROWITZ: You need to speed up, old man. 7 BY MR. HOROWITZ: 8 Q. How did you go about recruiting? 9 MR. CARTON: Ill smile. 10 BY MR. HOROWITZ: 11 Q. How did you go about — how did you go about 12 recruiting thegirls that were in your social circle at 13 High School? Was it always 14 face-to-face or was it ever telephone? E-mail? Text? 15 A. Sometimes over the phone. Sometimes when I'd 16 run into them in the hallways at school or hang out with 17 them, so face-to-face, over the phone. 18 Q. Would you always have these take a girl 19 that you went to high school — give me a name of 20 somebody who you went to high school with. 21 A. Jane Doe 4. 22 Q. Okay. Jane Doe 4. When you spoke to Jane Doe 23 4 and told her for the first time about Jeffrey Epstein 24 and this opportunity, did you tell her - was anybody 25 else there when you told her? 10 (Pages 190 to 193) PROSE COURT REPORTING AGENCY, INC. ElectroMcally signed by Sandra Townsend (401 Electronically signed by Sandra Townsend (401 7a82deldf.59ee-4e57-9cd8-839205600fc0 EFTA01075996
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Page 194 Page 196 1 2 3 4 5 6 7 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 A. I don't recall. Q Did you tell her in person, by phone or howl A. I don't recall. Q. What about Jane Doe 7? Did you tell her — was it a one-on-one type of conversation? A. I really don't recall. Q. What about Jane Doe 2? Was that in person Or •••• A. Jane Doe 2. Q. Do you recognize that name? A. I never brought her. Q. Jane Doe 3? A. Jane Doe 3, I don't recall. Q. You don't recall whether — I didn't even ask a question. You don't recall whether it was in person or by telephone, anything of that sort? A. I don't recall how I told her. Q. But each of these girls, it was always, like, a private kind of one-on-one conversation or would you sort of announce it in the cafeteria or the classroom MR. CRITTON: Form. THE WITNESS: I don't think I ever announced it in the cafeteria, but I don't know. BY MR. HOROWITZ: 1 THE WITNESS: Yes. 2 BY MR. HOROWITZ: 3 Q. What would you say? 4 A. I would just talk to them, hey, listen, you 5 !mow, I know this guy, his name is left hes on the 6 Island, he has a lot of money, he's a billionaire, you 7 know, he's looking for girls to give massages. Are you 8 interested? 9 And then obviously if they were interested, I 10 would go into a little bit more detail, you know, 11 exchange dates and times that they were available. 12 Q. And ou would always clear those dates and 13 times with or somebody else? 14 A. 15 Q. Am I correct in is all that you told the girls 16 in regard to the services they had to render was that 17 they were getting money for massages? 18 A. I told them they would get $200 for a massage. 19 The more you do, the more you make. 20 Q. Well, you told us earlier that they were 21 getting paid for massages. 22 A. They were getting paid for massages. 23 Q. And that's what you told them? 24 A. That is what I told them. 25 Q. Thank you. Page 195 1 Q. Would you make an effort to have a private 2 conversation about this subject? 3 A. Depending. Depending on the girl. 4 Q. Well, give me the, if you can, the variables. 5 What would weigh in favor of making son of a public or 6 semi-public announcement about this and what would weigh 7 in favor of having a private conversation? 8 A. Wellwith Jane Doe 4 it had to be private 9 because if her old boyfriend, found out, he 10 would beat the aap out of her. So she was somebody 11 that I went to privately. 12 MR. HOROWITZ: Move to strike. 13 THE WITNESS: Also, depending on what the 14 girls were like, I mean, some are very jealous when 15 it comes to money. It depends. The other girls 16 didn't like it when they weren't working and the 17 other girl was. So usually I probably bad to just 18 do it privately. A lot of them were very not 19 wanting other girls to work for him. 20 BY MR. HOROWITZ: 21 Q. Did you— did you have a standard sales 22 pitch, so to speak, in recruiting these girls, like, 23 what you would tell each of them in order to get them to 24 go to Jeffrey Epstein's house? 25 MR. CR1TTON: Form. Page 197 1 You told us that you an understand — a moment 2 ago you told us that you had an understanding that the 3 more girls did, the more they got; is that right? 4 A. Yes. 5 Q. Where did you come up with this understanding? 6 A. Jane Doe 101 told me that, so I just passed it 7 along. 8 S Was that a theme that — or a message that 9 also told you? 10 A. No. 11 Q. Did Jeffrey ever tell you that? 12 A. No. 13 Q. Did anybody who worked or was connected with 14 Jeffrey tell you that? 15 A. No. 16 Q. So you took Jane Doe 101 at her word that the 17 more — the more the girls did, the more they got paid? 18 A. That's comet. 19 Q. And do you know if, in fact, that is a true 20 statement? 21 A. I don't know. 22 Q. In terms of the more you get the more you 23 do, the more you get paid, what were the — on the low 24 end of the scale, the less you did, the less you got 25 paid, what would be the lesser activities? 11 (Pages 194 to 197) PROSE COURT REPORTING AGENCY, INC. Electronically signed by Sandra Townsend (401 Electronically signed by Sandra Townsend (401 7.82dthif-50co.4o57-9cd8-839205600fc0 EFTA01075997
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Page 198 1 A. The lesser activities? I don't know. 2 Q. Well, -- and how much would you get paid on 3 the lesser end? 4 A. I don't know. 5 Q. And then on the higher end, when you say the 6 more you did, the more you got paid, what sort of things 7 are we talking about? $ A. Whatever the girl allowed him to do or 9 whatever their situation was. I don't know. I was 10 never in the room with them. I just took what Jane Doe 11 101 said and passed it down. 12 Q. Well, did anyone ever say, well, what does 13 that mean, the more you do, the more you get paid? 14 A. Yes. 15 Q. And how would you explain that? 16 TIE WITNESS: Didn't we already discuss this? 17 The more you do, the more you make. If you 18 were topless, if you were working in your thong, 19 your bra, you're going to make more than a hundred, 20 as to somebody who is always complaining about 21. money and never takes off her shirt 22 BY MR. HOROWITZ: 23 Q. So a hundred is the low end? 24 A. You could say that 25 Q. What's the high end? If you really did a lot Page 200 1 A. Either would call me or I'd call 2 and we'd work it out to where when Jeffrey was coming 3 home I would have a girl that would be available for 4 those dates and times. 5 Q. So you would — you would get a heads up 6 before he came into Florida? 7 A. Ulthuh. 8 Q. Yes? 9 A. Yes. 10 Q. Okay. And would MI give you that 11 information by telephone? 12 A. Yes. 13 Q. Would she call your home phone or cell phone? 14 A. Cell phone. 15 Q. And where would she be calling you from? 16 A. I don't know. 17 Q. Did you get the sense that she lived with 18 Jeffrey? 19 MR. CRITTON: Form. 20 THE WITNESS: Yes. 21 BY MR. HOROWITZ: 22 Q. Would she ca/ I you horn his home? 23 A. I don't remember. 24 Q. You told us or you told Mr. Kuvin that you 25 told the girls to say that they were 18 years old? Page 199 1 of stuff with Jeffrey, what would you — how much money 2 could you make? 3 MR. CRITTON: Form. 4 THE WITNESS: I heard about 300. 3 BY MR. HOROWITZ: G Q. Three hundred. And what sod of sexual 7 contact or nudity would you have to do to get that kind 3 of money? MR. CRITTON: Form. 10 THE WITNESS: I don't know. I wasn't in the 11 room. 12 BY MR. HOROWITZ: 13 Q. And you just don't know from hearing it from 14 other people? 15 A. 1 don't know. 16 !t How would you know the — you told us that 17 I= was always the person who gave you the dates and 18 times for appointments. How would she communicate that 19 to you? 20 A. Can you repeat the question? 21 Q. Yeah. If you were to recruit a girl and she 22 was interested and you said you would tell her potential 23 dates and time and things like that. How would you have 24 that knowledge? How would you know available dates and 25 times? Page 201 1 A. Yes. 2 Q. Can you specifically recall telling that to 3 every we of the girls that you recruited? 4 A. Yes. 5 Q. And why would you tell them that? 6 A. Jane Doe 101 told me to tell him that. 7 Q. So you just — 8 A. Jane Doe 10I told me. I passed it down. 9 Q. Now, were you physically present when all of 10 the girls went for their encounters with Jeffrey 11 Epstein; meaning, were you upstairs in the massage room 12 for any of them? 13 A. No. 14 Q. So would it be — do you know if any of the 15 girls, in fact, told Jeffrey Epstein, I'm 18? 16 A. No. 17 Q. Do you have — I'm trying to work through this 18 because we're getting late in the day. 19 Did you get the same payout for each of the 20 girls that you brought? 21 A. What do you mean? 22 Q. For a -- name a particular girl. 23 A. Jane Doe 4. 24 Q. Would you get paid $200 for every girl that 25 you brought? 12 (Pages 198 to 201) PROSE COURT REPORTING AGENCY, INC. Electronically signed by Sandra Townsend (401 Electronically signed by Sandra Townsend (401 7a82dddf-59ce-4eS7.9cd8-839205600(c0 EFTA01075998
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Page 202 Page 204 1 A. Yes. 2 Q. Were that any girls that you got paid less 3 for? 4 A. No. 5 Q. Would you ever get paid more than 200 for 6 bringing a girl? 7 A. No. 8 Q. Was your payout based on what Epstein did with 9 the girls or what the girls did with Epstein? 10 A. No. 11 Q. It was just for sort of brokering the deal, 12 getting them in the same place at the same time? 13 MR. CIUTTON: Form. 14 TILE WITNESS: Yes. 15 BY MR. HOROWITZ: 16 Q. Ii; for instance, a girl you recruited, just 17 an example, say, Jane Doe 7. If she came ten times, 18 would you get paid ten times or how did that work? 19 A. If I — sometimes I would get paid 5200 for 20 every girl. Other times, for instance, if I was to 21 bring Jane Doe 7 more than once, I might be able to 22 sneak in and get paid more than once. But usually it 23 was Just 200 for every girl. 24 Q. But there were sometimes in some — in the 25 case of some girls that you got paid more than once for 1 need a restroom break. 2 MR. HOROWITZ: That's fine. I'm not holding 3 anyone captive. 4 VIDEOGRAPHER: Going off the record, 3:45. 5 (Brief recess.) 6 VIDEOGRAPHER: We're back on the video record. 7 The time is 3:57. 8 BY MR. HOROWITZ: 9 Q. Have you ever been to Jeffrey Epstein's house 10 when you were not there to give a massage or to bring a 11 girl who was there to give a massage? 12 A. No. 13 Q. So every time that were you ever somewhere 14 other than Jeffrey Epstein's house With Jeffrey Epstein? 15 A. No. 16 Q. So all of your contact, personal contact with 17 him was at his house; is that right? 18 A. Yes. 19 Q. And it was always in the course of bringing — 20 either going with Jane Doe 101 or bringing one or more 21 girls? 22 A. Yes. 23 Q. Have you ever travelled with Jeffrey Epstein? 24 A. No. 25 Q. Have you ever travelled with someone who Page 203 1 that same girl? 2 A. Yes. Q. Now, if one of the girls who you recruited in turn recruited another girl, would you get paid as well? ▪ A. I'm cut out of that deal. • Q. You're cut out of the deal? A. Uh-huh. a Q. Did you ever talk to Jeffrey or about 9 whether you should be included in that deal? 10 A. No. 11 Q. Were you always paid in cash? 12 A. Yes. 13 Q. And who gave you the money, like, physically 14 handed you the money? 15 A. Epstein. 16 Q. While you were upstairs or while you were 17 downstairs? 18 A. I don't remember. 19 Q. And would it would you get paid in front of 20 the girls you had brought? 21 A. No. 22 Q. You would — and would they get paid in front 23 of you? 24 A. Not that I can remember, no. 25 MS. BLANTON: If you're at a good point, I 1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 Page 205 worked for him? A. No. Q. Have you ever been in a favorer's office with Jeffrey Epstein? A. No. Q. Have you ever been in a vehicle owned or controlled by Jeffrey Epstein? A. No. Q. Have you ever been invited to travel with Jeffrey Epstein? A. No. Q. Did Jeffrey Epstein talk to you about properties that he owned? A. No. Q. Did he ever talk to you about businesses that he owned? A. No. Q. Did he ever talk to you about how he accumulated his wealth? A. Yes. Q. What sort of things would he tell you? A. He told me he was a scientist. Q. You're laughing. A. He did. Q. You know he's not a scientist? 13 (Pages 202 to 205) PROSE COURT REPORTING AGENCY, INC. Electronically signed by Sandra Townsend (401 Electronically signed by Sandra Townsend (401 7a82dddf-59ite-4e57-9cd8-8392056001c0 EFTA01075999
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Page 206 Page 208 1 MR. CRITTON: Form. 2 THE WITNESS: Obviously I know that now. 3 BY MR. HOROWITZ: 4 Q. You lmow he's a child molester? 5 MR. CRITTON: Form. Argumentative. 6 BY MR. HOROWITZ: 7 Q. Right? A. No, I do not know that. 9 BY MR. HOROWITZ: 10 Q. You know he touches underage girls for sexual 11 pleasure? 12 A. I don't blow that. 13 Q. You know he touched at least one girl for 14 sexual pleasure, right? 15 MR. CRITTON: Form. 16 BY MR. HOROWITZ: 17 Q. Yes? 18 A. I don't ;mow that. 19 Q. Do you know if he — well, you've told us he 20 touched you for sexual pleasure, correct? 21 A. Tried. 22 MB. CRITTON: Form. 23 BY MR. HOROWITZ: 24 Q. !mean — but he did touch you. You told the 25 police that'? 1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 A. I don't even remember. Q. I'm going to ask the question again because there was — I'm not sure there was an objection, just kind of an interruption, exactly. Other than a statement that you made in the police car regarding MM, what else did you discuss with the police when you were in the police air? MR. CRITTON: Let me just object to the form because she just said she couldn't talk about MI MR. HOROWITZ: Are you instructing her? I'm saying, other than. MR. CRITTON: Yeah, but you're trying Sa rick her into suggesting that maybe she did say M. So you've got to be careful with your questioning. I think that was inappropriate. THE WITNESS: I don't even remember the ride. MR. HOROWITZ: If it was inappropriate -- MR. CRITTON: I don't think it was intentional. I don't think it was intentional. Maybe you're too young to understand. BY MR. HOROWITZ: Q. Eliminate — MR. HOROWITZ: That's true. BY MR. HOROWITZ: Page 207 1 A. Yes. 2 Q. And you know he masturbated while looldng at 3 you while you were l6 or I7 years old? 4 A. Yes. 5 Q. You were asked some questions by Mr. Kuvin 6 about your travel in the police car. Do you recall 7 those questions? 8 A. Yes, Id°. 9 Q. Where were you going to? Where were you 10 coming from and where were you going to? 11 A. They picked me up at my house, took me down to 12 the station and then they brought me home to my house. 13 Q. So you're going — this conversation that 14 you've been talking about was in the — 15 A. In the police car. 16 Q. Going from the police station downtown to your 17 home; is that right? 18 A. That is right. 19 Q. Okay. Other than an statement made in the 20 police car regarding which your attorney 21 has already told you not to answer, what else did you 22 discuss with the police? 23 MR. BLANTON: I'm sorry. When? 24 BY MR. HOROWITZ: 25 Q. When you were in the vehicle. Page 209 1. Q. Exclude any conversation or non-conversation 2 that you had regarding-. Put that out of 3 your mind, if it at all ever occurred. 4 Tell me about what else you discussed with the 5 police In the police car. 6 A. I don't remember. 7 Q. Did you tell the police that Jeffity Epstein 8 admitted to you that he was a serial pedophile? 9 MR. BLANTON: She just testified that she does 10 not — 11 MR. HOROWITZ: I'm hying to — there's an art 12 of questioning where you try and refresh people's 13 recollection. You go with the general and then you 14 narrow it to the specific. 15 BY MR. HOROWITZ: 16 ' Q. And, so, my question for you is: Did you tell 17 the police that Jeffrey Epstein admitted to you that he 18 was a serial pedophile? 19 A. No, he never admitted.that. That is absurd. 20 Q. Did you tell — did you tell the police that 21 Jeffrey Epstein was a pedophile who paid you to bring 22 girls for his sexual gratification? 23 MR. CRITTON: Form. 24 THE WITNESS: No, I did not tell the police 25 that [told him he was a serial pedophile that paid e.V.I•movaVa.mi-wnwv 14 (Pages 206 to 209) PROSE COURT REPORTING AGENCY, INC. Electronically signed by Sandra Townsend (401 Electronically signed by Sandra Townsend (401 7a82dddt-59ee-4e57-9cd8-839205600fc0 EFTA01076000
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Page 210 me for sexual acts or brought anybody or for sexual 2 acts. 3 BY MR. HOROWITZ: 4 Q. Did you tell the police that Jeffrey Epstein 5 had paid you thousands of dollars to bring 14 to 17 year 6 old girls to his home so he could masturbate? MR. CRM'ON: Form. DIE WITNESS: I don't recall that. 9 BY MR. HOROWITZ: 10 Q. Did you tell the police that Jeffrey Epstein 11 admitted sexually abusing Jane Doe 7? 12 A. No, he didn't admit to sexually abusing Jane 13 Doe 7. 14 Q. Did you ever have a conversation with him 15 about what took place with Jane Doe 7? 16 A. No. 17 Q. Did you ever have a conversation with Jeffrey 18 Epstein about what took place between him and Jane Doe 19 4? 20 A. Yes. 21 Q. Did you ever have a conversation with Jeffrey 22 Epstein as to what took place between him and Jane Doe 23 3? 24 A. No. 25 Q. Tell me everything that Jeffrey Epstein told Page 212 1 4 that Jeffrey Epstein said that she was one of his 2 favorites? 3 A. I don't terember. 4 Q. Was she — do you know — strike that. 5 How many times did you go to Jeffrey Epstein's 6 house with Jane Doe 4? A. I don't recall. 8 Q. Was it more than once? 9 A. Possibly. I don't recall. 10 Q. Was it at least once? 11 A. At least once. 12 Q. And you're not sure if it was more than once 13 then? 14 A. I'm not sure if it was more than once. 15 Q. Do you have a specific recollection about what 16 took place on the one occasion that you do recall? 17 A. No. 18 Q. Do you know whether you drove in a vehicle 19 with her to Jeffrey Epstein's house on that occasion? 20 A. I do remember an occasion me and Jane Doe 4 21 being in a car driving and pulling up to Epstein's house 22 in her mom's Buick. 23 Q. In her mom's Buick. And who was driving? 24 A. I don't remember. 25 Q. And were you an older, younger or in the same 1 2 3 4 5 6 7 a 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 Page 211 you about what he and Jane Doe 4 talked about or did together. A. All he said was that she was like day and night She had this wild side to her and he had, like, a nickname of, like, or some ridiculous thing like that. It's the only thing we discussed when it came to Jane Doe 4. Q. You also told us that she was one of his favorites, correct? A. Yes. Q. And another one of his favorites wasl.; is that right? A. Yes. Q. And thinking about the two of them when they 14 were 16, 17 years old, did they share any common 15 physical characteristics? 16 A. No. 17 Q. Do they resemble each other physically? 18 A. No. 19 Q. Nothing at all? 20 A. No. 21 Q. Did you ever ask Jeffrey Epstein what he meant 22 when he said that Jane Doe 4 was one of his favorites? 23 A. No. 24 Q. Did you ever ask — did you ever tell Jane Doe 25 1 2 3 4 5 6 7 8 9 10 11 12 13 Page 213 grade as Jane Doe 4? A. I was in a grade above her. Q. Was she younger than you? A. That's right. Q. What grade was she in when you pulled up to Jeffrey Epstein's house with her? A. I don't recall. Q. Do you know if it was when she was in the ninth grade? A. No, I do not Q. Do you know if it was when she was in the tenth grade? A. N0,11 do not Q. Do you know if it was when she was in the 11th grade? A. No, I do not Q. And what took place after you and Jane Doe 4 arrived at Jeffrey Epstein's house? A. I don't remember. Q. Do you have a recollection of seeing her of her getting paid? A. No. Q. Do you have a recollection of you getting paid? A. No. PROSE COURT REPORTING AGENCY, Electronically signed by Sandra Townsend (401 Electronically signed by Sandra Townsend (401 15 (Pages 210 to 213) INC. Ta82ddd1-59ee4e57-9cd8.8392056001c0 EFTA01076001
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Page 214 Page 216 1 Q. Were you paid? 2 A. I don't remember. 3 Q. Do you know how long the two of you stayed at 4 his house? 5 A. No. 6 Q. Do you know if anybody else was home or in 7 Jeffrey Epstein's house when the two of you went? 8 A. I don't recall. 9 Q. Anything stand out or, you know, that you can 10 recall, other than what you've told us about the day 11 that you and Jane Doe 4 went to Jeffrey Epstein's house? 12 A. It was cold out. We went out afterwards. 13 Q. Anything else? 14 A. (Nods head.) 15 Q. Did no? 16 A. No. 17 Q. Did she tell you at any point what took place 18 on that particular day? 19 A. No. 20 Q. Did you ask her? 21 A. Yes. 22 Q. And what did she say? 23 A. I don't recall. 24 Q. Was it a weekday or weekend? 25 A. I don't know. 1 a vehicle together? 2 A. Yes. 3 Q. And had you scheduled this with M? 4 A. Yes. 5 Q. By telephone? 6 A. Yes. 7 Q. And who drove? 8 A. I don't remember. 9 Q. AM when you arrived, what took place? 10 A. I don't recall. 11 Q. Do you recall how long you were there? 12 A. No. 13 Q. Do you recall getting paid for bringing Jane 14 Doe 7? 15 A. Yes. 16 Q. Do you recall her getting paid? 17 A. I don't remember. 18 Q. Do you recall anything you told her about what 19 you thought might take place? 20 A. No, I don't remember. 21 Q. Do you recall if she told you what it is that, 22 in fad, did take place between her and Jeffrey Epstein? 23 A. I don't remember. 24 Q. Do you recall her going upstairs to the 25 massage room? Page 215 1 Q. Given that you were in high school when you 2 were recruiting these girls, was it fair to say you 3 would always go after school or on the weekends when you 4 went to Jeffrey Epstein's house? 5 A. It would be fair to say that it was either 6 after school or on the weekends. 7 Q. Would you ever miss school or go during school 8 to Jeffrey Epstein's house? 9 A. No. 10 Q. Did -- was Jeffrey Epstein familiar with your 11 school schedule, such that he could schedule 12 appointments after your school day ended? 13 A. No. 14 Q. Well, how is it — how did it come to be that 15 you would never get scheduled to come in during the 16 school day? 17 MR. CRITION: Form. 18 THE WITNESS: I don't know. It was usually 19 the weekends. 20 BY MR. HOROWITZ: 21 Q. How many times did you take Jane Doe 7 to 22 Jeffrey Epstein's house? 23 A. I know for sure once, but I can't be positive 24 anything else after. 25 Q. Tell me how — did the two of you ride over in Page 217 1 A. I don't remember. 2 Q. Did you set up the massage table that day? 3 A. Don't remember. 4 Q. Did you wait downstairs while she was giving a 5 massage? 6 A. I don't remember. 7 Q. Anything you do remember about the time you 8 spent at Jeffrey Epstein's house with Jane Doe 7? 9 A. No,1 don't remember. 10 Q. And you can't recall if it was more than once? 11 A. I can't recall. 12 Q. Are you aware whether or not she went more 13 than once to his house? 14 A. She did go more than once. 15 Q. You know that because she told you or some 16 other way? 17 A. Because she told me. 18 MR. CRITTON: We're on Jane Doe 7 now? 19 MR. HOROWITZ: Yes. 20 BY MR. HOROWITZ: 21 Q. And briefly just going back to Jane Doe 4, are 22 you aware whether or not she went more than once? 23 A. She definitely went more than once. 24 Q. And how do you know that? From her, Jeffrey 25 or some other place? 16 (Pages 214 to 217) PROSE COURT REPORTING AGENCY, INC. Electronically signed by Sandra Townsend (401M Electronically signed by Sandra Townsend (401 7a82dddt-69ee-4e57-9cd8-8392056001c0 EFTA01076002
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Page 218 1 A. Her, Jeffrey. Jane Doe 7 told me. 2 also told me a couple times. 3 Q. And in the case of Jane Doe 4, would you have 4 been paid your $200 introductory fee once or more than 5 once? 6 A. I don't remember. 7 Q. And what about with Jane Doe 7? 8 A. I don't remember. 9 Q. And next we're on to Jane Doe 3. Do you know 10 how many times you were there at Jeffrey Epstein's house 11 when she was also there? 12 A. I took her once. Anything after that I don't 13 remember. 14 Q. Go ahead. 15 A. I went once to take her for a massage and then 16 me and her brought another girl named'. So that's 17 twice I know that she worked with him, once that me and 18 her went together to take a girl. Other than that, I 19 don't know if she went back, how many times or who she 20 brought. 21 Q. The day when you brought this other girl named 22 I. — is that her name? 23 A. Yes. 24 Q. Was that a mutual friend of you and Jane Doe 25 3? Page 220 THE WITNESS: I mean, there was — the house 2 was -- there was always people in the house, 3 regardless if it was models, a chef, a chauffeur, 4 butler, whatever. There was always somebody in the 5 house. 6 BY MR. HOROWITZ: 7 Q. And do you recall ever talking to them? 8 A. I'm sure I did. 9 Q. Did anything — do you remember any of the 10 conversations you had or the subjects you talked about? 11 A. No. 12 Q. Did they ever feed you at that house? 13 A. I've eaten there, yes. 14 Q. Was it a meal you made yourself or someone 15 made it for you? 16 A. No. 17 Q. Who made it for you? 18 A. The chef. 19 Q. Did you ever lay out at the pool? 20 A. Not in a bathing suit. A girl upstairs was 21 giving a massage and I was laying out by the pool in my 22 clothes, just waiting for her to come downstairs. I 23 wasn't doing it to get sun. 24 Q. Getting paid while you were lying out at the 25 pool? Page 219 1 A. It was more so Jane Doe 3's friend, but I had 2 it to where me and her would split the profit. 3 Q. That was my next question, who got the 4 commission? 5 A. We split it. 6 Q. IIt n ui s lit it. Okay. 7 . went -- ME go upstairs to the 8 massage room? 9 A. Yes. 10 Q. Did you and Jane Doe 3 wait downstairs? 11 A. I don't recall. 12 Q. Do you recall anything about what you and Jane 13 Doe 3 did while you were in Jeffrey Epstein's house 14 while' was giving a massage? 15 A. I don't remember. 16 Q. Do you recall whether anyone was in the house, 17 Jeffrey Epstein's house? 18 A. I don't recall. 19 Q. Thinking back on it, when you would bring 20 girls over to Jeffrey Epstein's house and you would wait 21 downstairs while the girl and Jeffrey Epstein went 22 upstairs, was someone at his house watching you or 23 looking after you to make suit you didn't get into 24 trouble or take anything or -- 25 MR. CRITTON: Form. Page 221 1 A. Waiting for the girl to come downstairs, yes. 2 Q. Did you ever go kind of snooping around the 3 house, looking around to see the different rooms in the 4 house? 5 A. No. 6 Q. Did ever show you a datebook or 7 appointment book? a A. I don't remember. 9 Q. Did she ever show you a calendar where you 10 could sort of fit in your appointments? 11 A. No. 12 Q. Did she ever talk to you about having — 13 keeping a datebook -- 14 A. No. 15 Q. -- or a calendar with appointments? 16 A. A calendar, no. 17 Q. When — did Jeffrey Epstein ever take pictures 18 of you? 19 A. Not that I !mow of. 20 Q. When you went to his house, did you ever 21 notice there was surveillance cameras? 22 MR. CRITTON: Form. 23 THE WITNESS: No, I did not !mow that. 24 BY MR. HOROWITZ: 25 Q. Did -- did Jeffrey Epstein have anyone that VCAOL.4.ee'ves••••••1•4N 17 (Pages 218 to 221) PROSE COURT REPORTING AGENCY, INC. Electronically signed by Sandra Townsend (401 Electronically signed by Sandra Townsend (401 7082ddd1.59ee-4057-9cd8-839205600tc0 EFTA01076003
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Page 222 1 you might characterize as a girlfriend or a partner? 2 A. Somebody that I can characterize as? 3 Q. Somebody that you — that you sort of looked 4 at and said, okay, that's his girlfriend? 5 A. Q. And what about their relationship led you to 1 think that they were boyfriend/girlfriend? 9 A. Just the way they were towards each other, how 9 she always helped him out. She always set his 10 appointments. There was one time — I don't know if I 11 was taking a girl upstairs or if it was my massage that 12 I gave him — but she was in the shower, coming out of 13 the shower with him. 14 Q. You were where? 15 A. I don't know. I can't remember if I was 16 bringing — if I had brought a woman up there to give a 17 massage or if I had -- was there to give him my massage. 18 But either/or I do recollect her and Epstein coming out 19 of the shower together. 20 Q. Okay. Appearing as if they had showered 21 together? 22 A. That's correct. 23 Q. And were they affectionate to each other? 24 MR. CRITTON: Form. 25 BY MR. HOROWITZ: Page 224 1 upstairs with one of the kids? 2 MR. CRITTON: Form. 3 THE WITNESS: I never heard anything. 4 BY MR. HOROWITZ: 5 Q. Is Jane Doe 7 someone that you considered a 6 friend at the time that you recruited her to go to' 7 Jeffrey Epstein's house? 8 A. Not necessarily a friend. A party buddy. 9 Q. Social — social acquaintance? 10 A. Yes. 11 Q. Someone that you had a good time with? 12 A. Yes. 13 Q. Is she someone that you would now go out and 14 have a good time with? 15 A. Never. 16 Q. What took place between then and now — well. 17 let me backup. 18 Do you not -- do you not like her at this 19 point in time? 20 A. I don't wish ill upon her. 21 Q. My question is: Do you not like her? 22 A. I don't like her. 23 Q. What took place between then and now that you 24 do not like Jane Doe 7? 25 A. When and I came home Page 223 1 Q. From your perspective did she appear to be 2 affectionate? 3 A. I don t recall. 4 Q. Would they say the types of things or call 5 each other, honey, sweetheart or anything like that? 6 A. Not that I can remember. 7 Q. Were they physically affectionate, meaning, 8 sort of touch each other in a way that a boyfriend/girlfriend might touch their partner? 10 A. Not that I saw. 11 Q. Did they ever kiss? 12 A. Not around me. 13 Q. When Jeffrey Epstein, when you came to his 14 house, would he ever kiss or embrace you when you saw 15 him each time? 16 A. No. 17 Q. I mean, he would just say, hello? 18 A. Yes. 19 Q. I hate to do this, but try and think back to 20 the day you were in his massage room and he's 21 masturbating, his hand is on his penis. Is he groaning, 22 making noises? 23 A. I can't recall. 24 Q. Did you ever hear Jeffrey Epstein groaning, 25 making noises while you were downstairs and he was Page 225 1 in tears sobbing, I was very emotional. It was a very jjjj 2 trying day forme. I had gone into my bedroom and I w•as 3 throwing things. I was very upset. 4 She came in and told me to put some clothes on 5 and to come out drinking with her and =. And I 6 just felt at that point in my life, I hit a low point 7 and you are supposed to be my roommate, you're supposed 8 to be my somewhat friend, acquaintance, we live 9 together, you have no heart, you show no love to me 10 after all these years and all you want me to do is go 11 and get completely annihilated with you? 12 Q. Is that the reason you don't like her anymore? 13 A. That's one of the reasons. 14 Q. I'm trying to get a full list or if there's -- 15 or however many masons there are. 16 What are the other reasons you don't like Jane 17 Doe 7? 18 A. She -- when me and her, we would go out and 19 party sometimes, every guy I would talk to she would end 20 up with at the end of the night A lot of back 21 stabbing. Her and Jane Doe 4 would go behind my back 22 and talk very bad about me and say things and judge me, 23 which friends don't do. That's why I classify her as a 2 4 party buddy. 25 Q. Okay. 18 (Pages 222 to 225 PROSE COURT REPORTING AGENCY, INC. Electronically signed by Sandra Townsend (401 Electronically signed by Sandra Townsend (401 7a82ddd1.59ee•4o57.9cd8-839205600fc0 EFTA01076004
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Page 226 1 A. Other than that, I don't have a personal 2 vendetta against her. 3 Q. Does anything — I asked you if you don't like 4 her and you said, yes. Does any of the reasons you 5 don't like her have anything to do with Jeffrey Epstein? 6 A. Yes. 7 Q. I'm trying to get all these reasons out of 8 you. Tell me all the reasons. 9 A. She volunteered for this. 10 Q. You don't like her for that reason? 11 A. She volunteered for this. I didn't. I've 12 paid a higher price than I feel she has. AM everybody 13 knew what they were getting themselves into prior to 14 this. 15 Why am I sitting here having to explain myself 16 while you party it up? 17 Q. You don't like her because she volunteered- 18 A. Togo. 19 Q. to go to Jeffrey Epstein's house? 20 A. That's correct. 21 Q. Unlike you, who — did you volunteer? 22 A. I volunteered, too. 23 Q. And would it be a fair statement you don't 24 want her to get any money in this lawsuit; is that 25 right? Because you don't like her? Page 228 1 this lawsuit berimce she's a bad -- you don't like her? 2 A. I don't care. I don't care either way. 3 MR. CRTITON: Form. 4 BY MR. HOROWITZ: 5 Q. You don't care either way. 6 It would be okay with you if she gets millions 7 of dollars for her pain and suffering? 8 A. Sure. 9 Q. What are all the reasons you don't like her? 10 A. Oh, one of the guys I was dating she was 11 sleeping with behind my back. Didn't find out until 12 later. As well as her lies build up. When we were 13. party buddies, like I said, her and Jane Doe 7 did a lot 14 of scheming and scamming behind my back, a lot of lies. 15 What else? We got into a fistfight my 16 sophomore year of high school. 17 She also told me that she was not suing 18 Jeffrey Epstein and that she thinks Jane Doe 7 is a 19 complete idiot and a moron and then goes behind my back 20 thinking that I'm dumb and Is a complete hypocrite. 21 Q. Anything else? 22 A. She lets men beat on her. That's why I don't 23 like her. 24 Q. You don't like her because men beat on her and 25 she doesn't put up a fight? Page 227 1 A. I can't care either way. 2 Q. You don't care whether she gets money? 3 A. She's out of my life. That's all I know. 4 Q. Would it be okay with you if she gets millions 5 of dollars for the pain and suffering she endured? 6 MR. CRTITON: Form. 7 THE WITNESS: That's fine. 8 BY MR. HOROWITZ: 9 Q. Jane Doe 4. Is she someone that you 10 considered a friend when you recruited her to go to 11 Jeffrey Epstein's house? 12 A. Party buddy. 13 Q. Not a friend? 14 A. Not a friend. 15 Q. Never was a friend? 16 A. Never was a friend. 17 Q. Do you like her now? 18 A. No. 19 Q. You — that's someone you really don't like? 20 A. Don't like her. 21 Q. You don't like her? 22 A. I don't like her. 23 Q. You see her, you go the other way? 24 A. Oh, yes. High tail it. 25 Q. And you don't want her to get any money in Page 229 1 A. She doesn't do anything. It's weak. 2 Q. Any other reasons you don't like her? You've 3 given us a few. Tm trying to find all of them. 4 A. I can't think of any other reason why I 5 wouldn't like her. 6 Q. Who is the boyfriend that you said she was 7 with? 8 A. The guy I was dating at one point in my life, 9 1 was dating him, went to bed, woke up in the middle of 10 the night and his pants were around the ankles in the 11 kitchen with Jane Doe 4. 12 Q. And who is that? 13 A. 14 Q. And you said you had a fistfight with her. 15 When was that? What grade was that? 16 A. I don't recall. 17 Q. Was it before or after you introduced her to 18 Jeffrey Epstein? 19 A. I can't remember. 20 Q. It could have been before? 21 A. Could have been before. 22 Q. Did you patch up that issue, such that you 23 were able to have a conversation and tell her how to 24 make money and make yourself money? 25 MR. cRrrron nw=====i PROSE COURT REPORTING Electronically signed by Sandra Townsend (401 Electronically signed by Sandra Townsend (401 19 (Pages 226 to 229) AGENCY, INC. 7a82ddctf-59ee-4857-9cd8-8392056001c0 EFTA01076005
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Page 230 1 THE WITNESS: We eventually patched things up. 2 BY MR. HOROWITZ: 3 Q. And do any of the reasons that you don't like 4 Jane Doe 4 have anything to do with Jeffrey Epstein, 5 other than, I think you told us she denied being a 6 Plaintiff in the lawsuit? 7 A. Yes. 8 Q. What reasons are there pertaining to Jeffrey 9 Epstein? 10 A. Same thing as Jane Doe 7. You volunteered, 11 you knew yourself what you were getting into. You were 12 a hypocrite to my face, told me that it's stupid for 13 Jane Doe 7 to sue. You disagree with her decision. You 14 go behind my back, you do it. And then what? This is 15 it? I don't — I don't care for either one of them. 16 Q. And, so, because of that, you don't think 17 she's been harmed. You don't want to see her get any 18 money because she volunteered for it; is that correct? 19 MR. CRITTON: Form. 20 MR. BLANTON: Object to form. She's asked and 21 answered that before. 22 THE WITNESS: I don't care either way. 23 BY MR. HOROWITZ: 24 Q. Is it your opinion that Jane Doe 4 should tell 25 everyone that she's a Plaintiff in the lawsuit? Page 232 1 A. I found out, like, two days later. 2 Q. That she what? 3 A. Was a Plaintiff. 4 Q. Do you know if at that point she had filed a 5 lawsuit? 6 A. Yes. 7 Q. You know that because who told you? 8 A. 9 Q. And, in fact, you knew when Jane Doe 4 lied — 10 you knew when Jane Doe 4 told you that she wasn't a 11 Plaintiff that she was a Plaintiff? 12 MR. BLANTON: She's already answered that 13 question. 14 THE WITNESS: I already answered. 15 BY MR. HOROWITZ: 16 Q. Isn't it true you sent her a text message 17 saying, I always knew you were a Plaintiff? 18 A. Yes. 19 Q. In fact, even when she told you she wasn't, 20 you knew she was, correct? 21 A. No. 22 MR. BLANTON: She's answered that three times. 23 BY MR. HOROWITZ: 24 Q. But why would you send her an e-mail saying 25 that, in fact, you knew she was? Page 231 1 A. No. But she shouldn't deny it. 2 Q. She should answer truth -- she should answer 3 to everyone that, in fact, she's a Plaintiff, if anybody 4 asks her? 5 A. Yes. 6 Q. Did you know the answer before you asked her? 7 A. No. 8 Q. So you believed her when she said she wasn't a 9 Plaintiff? 10 A. Yes. 11 Q. And it upsets you that she didn't want to tell 12 you that she was a Plaintiff? 13 A. No. It upsets me that she lied to my face and 14 was fake to my face and told me one thing and then went 15 behind my back and did another thing. That's scandalous 16 and ifs not right. 17 Q. What's the other thing she did? 18 A. She told me to my face that she wasn't a 19 Plaintiff and that she disagreed. It's not the fact 20 that she didn't want to tell me. She could have just 21 said, it's not your business. But for her to lie to my 22 face and then put down somebody else for the same thing 23 you're doing is a little hypocritical. 24 Q. Do you know if, in fact, she was a Plaintiff 25 at the time she denied being a Plaintiff? 1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 Page 233 A. Because I wasn't going to let her have the satisfaction of thinking she threw me for a loop, thinking that she had ono over me. Q. So she —you lied to her? A. Yes. Q. You lied to her so that she wouldn't think that she got one ova on you? A. Yes. Q. Okay. lane Doe 3. Is she someone you can -- at the time you recruited her, is she someone you considered a friend? A. No. Q. Was she ever a — I think you called a Icyparty— A. Party buddy. Q. Party buddy? A. No. Q. Do you have any feelings for her one way or the other today different than when you did then? A. I have nothing bad or good to say about her. Q. Okay. Are you friends with anybody who you are aware of has filed a lawsuit against Jeffrey Epstein? A. No. MR. CRITTON: Object to the form. She may not 20 (Pages 230 to 233) PROSE COURT REPORTING AGENCY, INC. Electronically signed by Sandra Townsend (401M Electronically signed by Sandra Townsend (401 lati2dddl.Sece-4057-9cd8.819205600fc0 EFTA01076006
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Page 234 1 know. 2 MR. HOROWITZ: That's the way I framed the 3 question the way I did. I said, that you are — 4 MR. CR1TTON: Oh, okay. 5 BY MR. HOROWITZ: 6 Q. You told us that you have not caranunicated -- 7 have you communicated with Jeffrey Epstein since his 8 arrest? 9 A. No. 10 Q. And how is it that you ended up with an 11 attorney who he is paying for, if you have not 12 communicated? 13 MR. BLANTON: Object to the form. Do not 14 answer that question. 15 We've had this conversation. She will not be 16 dittencsing that any further. 17 BY MR. HOROWITZ: 18 Q. You recall signing an affidavit in this 19 lawsuit? 20 A. Yeah. To be more specific, I've signed a lot 21 of paperwork. 22 Q. Do you recall signing, like, a sworn statement 23 that said — that detailed an encounter with a couple of 24 the Plaintiffs? You met one at and 25 another one at another nightclub? Page 236 1 MR. HOROWITZ: We may have to deal with that 2 one again. 3 BY MR. HOROWITZ: 4 Q. There was a girl named Ewho earned a 5 thousand dollars from Jeffrey Epstein? 6 MR. CRITION: Form. 7 THE WITNESS: What I heard. 8 BY MR. HOROWITZ: 9 Q. What you heard. Who recruited her? 10 A. 1 have no idea. 11 Q. Was she a High School student? 12 A. I have no idea. I know that she went to 13 I don't know where she went to high 14 school. She may have been a. 15 Q. And from — sorry. From who did you hear that 16 she earned a thousand dollars? 17 A. Jane Doe 101. 18 Q. Did Jane Doe 101 claim to have recruited..? 19 A. I'm sorry? 20 Q. Did Jane Doe 101 claim to have recruited.? 21 A. No. She never said either way. 22 Q. And what is — can you — 'don't think you've 23 spelled her last name for us. 24 A. I? 25 Q. Yeah. Page 235 1 A. I remember signing an affidavit about a 2 Plaintiff and me at an incident that we had at 3 yes. 4 Q. Did Mr. Epstein's attorneys ask you to sign an 5 affidavit pertaining to those facts? 6 MR. BLANTON: Do not answer that unless you 7 know it somehow other than speaking to me. And I 8 am your attorney. So if that aff -- if you had 9 dealings with that affidavit outside of my 10 presence, you may answer. Otherwise, you are not 11 to answer that question. 12 THE WITNESS: Okay. 13 BY MR. HOROWITZ: 14 Q. Did Mr. Epstein —1'm not interested in what 15 your attorneys said to you or asked you to do. Did 16 Mr. Epstein's attorneys ask you to sign an affidavit? 17 A. I don't know. 18 Q. You just did it because it felt right? How 19 did it come to be that you signed this affidavit? 20 MR. BLANTON: If you can answer that without 21 disclosing the conversations that you had with your 22 attorney. 23 THE WITNESS: I can't answer that. 24 MR. BLANTON: That information is privileged. 25 She will not be disclosing that. Page 237 1 A. I. 2 Q. And is he she older, younger, or the same? 3 A. Same age. 4 Q. Same grade, as far as you 'mow? 5 A. Yes. 6 Q. Yes. Okay. How many times would you estimate 7 that you have been to Jeffrey Epstein's home? 8 A. Estimate? 9 Q. Or if you know specifically, you can tell me. 10 But I was trying to help you out. 11 A. I don't know specifically. But if I'm telling 12 you that I brought about a dozen girls and sometimes 13 went more than twice, I think it would be fair to say 14 maybe two dozen times, a dozen and a half to two dozen 15 times maybe. 16 Q. Eighteen to 24 roughly? 17 A. Possibly. 18 Q. That's your best estimate? 19 A. Best estimation. 20 MR. HOROWITZ: Let's take a break and I'll try 21 to wrap it up and maybe Mr. Willits will have 22 questions. 23 VIDEOGRAPHER: Going off the record. The time 24 is 4:25 p.m. This is the end of tape number three. 25 (Brief recess.) 21 (Pages 234 to 237) PROSE COURT REPORTING AGENCY, INC. Electronically signed by Sandra Townsend (401= Electronically signed by Sandra Townsend (401 7a82dddf-59eo-4e57.9cd8.839205600fc0 EFTA01076007
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