Tämä on FBI:n tutkinta-asiakirja Epstein Files -aineistosta (VOL00011). Teksti on purettu koneellisesti alkuperäisestä PDF-tiedostosta. Hae lisää asiakirjoja →
VOL00011
EFTA02726484
154 sivua
Sivu 21 / 154
200 1 a return flight. And it has different people on it. 2 So I have no reason to believe it's a return flight. 3 Q. Is the last -- the question that I asked 4 you, Mr. Dershowitz, is: Is the last name spelled 5 exactly the same as the last name is spelled in the 6 two photographs I have shown you? 7 A. Let me look. So, on the 20th of 8 November 9 Q. Is the last name -- 10 MR. SCOTT: Whoa, whoa 11 BY MR. SCAROLA: 12 Q. -- spelled the same way on both the flight 13 log and the two photographs I have shown you? 14 A. On -- you mean on a flight log that I was 15 not on the flight? Is that right? You're talking 16 about a flight log that I was not on the flight, 17 right? 18 Q. That flight log shows you on multiple 19 flights, does it not? 20 A. It shows me not on that flight. It shows 21 me on a number of flights, but not on that flight. 22 MR. SCOTT: What's the date of the 23 flights? 24 THE WITNESS: The date of that flight 25 is -- looks like November 20th, 2005, more www.phi sre orting.com EFTA02726504
Sivu 22 / 154
201 1 than three years after left 2 for -- 3 BY MR. SCAROLA: 4 Q. Mr. Dershowitz -- 5 MR. SCOTT: You're cutting the witness 6 off. 7 MR. SCAROLA: He's not answering my 8 question, Tom. 9 MR. SCOTT: Well -- 10 MR. SCAROLA: I want to know whether the 11 last name is spelled the same or it isn't 12 spelled the same on the flight log marked as an 13 exhibit and on the photographs. That's a very 14 direct question. It calls for a very direct 15 yes or no response. 16 And this witness has demonstrated a clear 17 refusal to respond directly to direct 18 questions, which will result, when we resume 19 this deposition, in our requesting that the 20 Court appoint a special master so that this 21 deposition doesn't take two weeks to complete. 22 MR. SCOTT: You know, Mr. Scarola, that's 23 a nice speech and I appreciate it. 24 MR. SCAROLA: Thank you. 25 MR. SCOTT: I don't agree with your www.phi sre orting.com EFTA02726505
Sivu 23 / 154
202 1 characterization. And if you recall, months 2 ago I suggested a special master for this 3 deposition, for your clients' depositions and 4 for ' and your response to me 5 was: I'll consider it, I won't pay for it. If 6 your client wants to pay for it -- so basically 7 you blew me off. 8 So, I appreciate you finally come around. 9 And your clients. 10 MR. SCAROLA: Your client's misconduct has 11 clearly convinced me, having now considered it, 12 that it is absolutely necessary. 13 MR. SCOTT: Okay. Now -- 14 BY MR. SCAROLA: 15 Q. So now could I get an answer to my 16 question -- 17 MR. SCOTT: Now that we have -- 18 BY MR. SCAROLA: 19 Q. -- whether the last name on the flight log 20 is spelled exactly the same way as the last name in 21 the photographs? 22 MR. SCOTT: Now that all the lawyers' 23 speeches are done, read the question back and 24 the witness will answer it. 25 MR. SCAROLA: I will repeat the question. www.phi sre orting.com EFTA02726506
Sivu 24 / 154
203 1 BY MR. SCAROLA: 2 Q. Is the last name on the photograph spelled 3 exactly the same way as the last name on the flight 4 log? 5 A. If you're talking about a flight log that 6 I was not on that flight, the answer is yes. 7 Q. All right. Thank you very much, sir. 8 Now, that flight log also shows you flying 9 repeatedly in the company of a woman named 10 correct? 11 A. I've only seen one reference to on 12 November 17. If you want to show me any other 13 references, I'd be happy to look at them. 14 Q. All right, sir. Thank you. 15 Let's go back to the -- 16 MR. SCOTT: Are we done with this exhibit? 17 MR. SCAROLA: We are done with the 18 exhibit. 19 MR. SCOTT: Okay. Then let's collect the 20 exhibits so that we don't have a big -- then 21 we'll turn them over to the court reporter to 22 keep safekeeping. 23 There you go, young lady, don't lose 24 those, don't get them wet. And we'll proceed. 25 www.phi sre orting.com EFTA02726507
Sivu 25 / 154
204 1 BY MR. SCAROLA: 2 Q. Did you state during the same interview, 3 the ■ interview: "She has said that 4 Bill Clinton was with her at an orgy on Jeffrey's 5 island"? 6 A. I did state that, yes. 7 Q. Was that statement intended as fact, 8 opinion, or was it intended as rhetorical hyperbole? 9 MR. SCOTT: Do you understand the 10 question? 11 THE WITNESS: Yes, I do. 12 A. It was a statement based on what I 13 believed were the facts at the time I said them. 14 Various newspapers and blogs had placed 15 Bill Clinton on, quote, "orgy island" on -- in the 16 presence of Jeffrey Epstein when there were orgies. 17 And at the time I made that statement, I had a 18 belief that she had accused Bill Clinton of 19 participating or being -- as being a part of or an 20 observer or -- or a witness or a participant in 21 orgies on what was called Jeffrey Epstein's orgy 22 island. That was my state of belief, honest belief 23 at the time I made that statement. 24 BY MR. SCAROLA: 25 Q. Yes, sir. And what I want to know is what www.phi sre orting.com EFTA02726508
Sivu 26 / 154
205 1 the source of that honest belief was? Identify any 2 source that attributed to the 3 statement that Bill Clinton was with her at an orgy 4 on Jeffrey's island. 5 A. We can provide you about, I think, 20 6 newspaper articles and blogs which certainly raise 7 the implication that Bill Clinton had improperly 8 participated in sexual activities on the island 9 either as an observer or as a participant. The 10 issue was raised on Sean Hannity's program. The 11 headlines in various British media had suggested 12 that. 13 It's my belief that 14 intended to convey that impression when she was 15 trying to sell her story to various media, which she 16 successfully sold her story to in Britain, that she 17 wanted to keep that open as a possibility. 18 And then when I firmly declared, based on 19 my research, that Bill Clinton had almost certainly 20 never been on that island, she then made a firm 21 statement that she -- which was a -- which was a 22 perjurious statement, a firm perjurious statement 23 saying that although Bill Clinton had been with her 24 on the island and had had dinner with her, the 25 perjurious statement was that Bill Clinton had been www.phi sre orting.com EFTA02726509
Sivu 27 / 154
206 1 on the island with her. 2 The lie was that she described in great 3 detail a dinner with Bill Clinton and two underaged 4 Russian women who were offered to Bill Clinton for 5 sex but that Bill Clinton turned down. 6 So she then put in her affidavit that 7 although -- perjuriously, although she had seen Bill 8 Clinton on that island, she then stated that she had 9 not had sex with Bill Clinton. To my knowledge, 10 that was -- to my knowledge at least, that was the 11 first time she stated that -- that she not had sex 12 with Bill Clinton. She had certainly implied, or at 13 least some of the media had inferred from her 14 statements that she may very well have observed Bill 15 Clinton in a sexually compromising position. 16 So, when I made that statement to Don 17 Lemon, I had a firm belief, based on reading 18 newspaper accounts and blogs, that it was true. 19 Q. Can you identify a single newspaper that 20 attributed to the statement that 21 Bill Clinton was with her at an orgy on Jeffrey's 22 island? 23 A. I think there -- I don't have them in my 24 head right now. But I do recall reading headlines 25 that talked about things like, sex slave places www.phi sre orting.com EFTA02726510
Sivu 28 / 154
207 1 Clinton on orgy island, things of that kind. I 2 would be happy to provide them for you. I don't 3 have them on the top of my head. 4 Q. There's a big difference between saying 5 that Bill Clinton was on Jeffrey's island and saying 6 that Bill Clinton was at an orgy on Jeffrey's 7 island, isn't there? 8 MR. SCOTT: Objection -- 9 BY MR. SCAROLA: 10 Q. Do you recognize a distinction between 11 those statements? 12 MR. SCOTT: Form. 13 A. I don't think that distinction was clearly 14 drawn by the media. 15 BY MR. SCAROLA: 16 Q. I'm asking whether you recognize the 17 distinction? 18 A. Oh, I -- I certainly recognize a 19 distinction. 20 Q. Oh, so 21 A. Let me finish. I certainly recognize a 22 distinction between Bill Clinton being on the 23 island, which I believe she perjuriously put in her 24 affidavit, and Bill Clinton participating actively 25 in an orgy. I also think it's a continuum. www.phi sre orting.com EFTA02726511
Sivu 29 / 154
208 1 And there is the possibility, which I 2 don't personally believe to be true, that he was on 3 the island. There was the possibility, which I 4 don't believe to be true, that he was on the island 5 when orgies were taking place. There was the 6 possibility that he was on the island and observed 7 an orgy, and there was the possibility that he was 8 on the island and participated in an orgy. 9 Newspapers picked up those stories. I'll 10 give you an example of a newspaper that actually 11 said that that she had placed or that I was on the 12 island and -- that I participated in an orgy along 13 with Stephen Hawkings [sic.), the famous physicist 14 from Cambridge University, that was a newspaper 15 published in the Virgin Islands, which falsely 16 claimed that I was at an orgy with Stephen Hawkings. 17 So, many newspapers were suggesting, 18 implying, and I inferred from reading those 19 newspapers that that's what she had said to the 20 media. 21 If I was wrong about that based on 22 subsequent information, I apologize. But I 23 certainly, at the time I said it, believed it and 24 made the statement in good faith in the belief that 25 it was an honest statement. www.phi sre orting.com EFTA02726512
Sivu 30 / 154
209 1 Q. Okay. So you now are withdrawing the 2 statement that you made that said 3 that Bill Clinton was with her at an orgy on 4 Jeffrey's island; that was wrong? 5 A. I don't know whether she ever said that. 6 I would not repeat that statement and have not 7 repeated that statement based on her denial. As 8 soon as she denied it, I never again made that 9 statement and would not again make that statement. 10 Q. You -- 11 A. But I did reiterate the fact that she 12 committed perjury when she said she was on the 13 island with Bill Clinton. 14 MR. SCAROLA: Move to strike the 15 nonresponsive -- 16 A. That was the perjurious statement. 17 MR. SCAROLA: Move to strike the 18 nonresponsive portions of the answer. 19 BY MR. SCAROLA: 20 Q. You have made a reference during that same 21 ■ interview to this woman, referring to 23 A. That's right. 24 Q. Okay. What -- what is a criminal record? 25 A. Well, the way I used the term is that www.phi sre orting.com EFTA02726513
Sivu 31 / 154
210 1 2 3 4 5 . And it was my 6 information that there was a 7 8 Q. How old was she at the time this alleged 9 offense occurred? 10 A. I don't know. 11 12 . To my knowledge, I -- I recall a case 13 where a 14-year-old boy was sentenced as an adult 14 for -- 15 MR. SCAROLA: Mr. Scott -- 16 A. -- a serious -- 17 MR. SCAROLA: -- did my question ask 18 anything about a 14-year-old boy? 19 A. You asked if 20 MR. SCAROLA: Do we really need to listen 21 to this? 22 MR. SCOTT: You're asking questions, my 23 client is providing his response. 24 MR. SCAROLA: No, your client is not 25 responding. Your client is filibustering. www.phi sre orting.com EFTA02726514
Sivu 32 / 154
211 1 Your client is doing everything he can to avoid 2 giving direct answers to these questions. 3 I would appreciate it if you would take a 4 break, counsel your client that the speeches 5 are not helpful to anyone, and especially not 6 helpful to him. 7 MR. SCOTT: If you want to take a break, 8 I'll take a break and I will advise my client 9 whatever I feel is appropriate, not what you 10 instruct me to do. 11 MR. SCAROLA: Okay. Well, if you think it 12 might help at all in the progress of this 13 deposition, then I do want to take a break. If 14 you don't think taking a break would be 15 helpful, I don't want to take a break. 16 MR. SCOTT: Do you want to take a break or 17 not? 18 THE WITNESS: I'm going to leave it to 19 your judgment. I'm happy to proceed -- 20 MR. SCOTT: Okay. I'll be glad to take a 21 break. 22 MR. SCAROLA: Thank you. 23 MR. SCOTT: I can't say -- 24 MR. SCAROLA: Five minutes. 25 MR. SCOTT: -- it will help you or www.phi sre orting.com EFTA02726515
Sivu 33 / 154
212 1 anything but -- 2 MR. SCAROLA: I can understand that you 3 don't -- you don't have that control, but if 4 there's any reasonable -- 5 MR. SCOTT: You know, Counsel 6 MR. SCAROLA: -- prospect that it might 7 help, let's give it a try. 8 MR. SCOTT: You know, I really don't 9 appreciate the comments about my abilities as 10 an attorney, like I don't have that control and 11 things of nature. It really is -- 12 MR. SCAROLA: I don't have the control 13 either. 14 MR. SCOTT: It's not -- 15 MR. SCAROLA: I'm not trying to disparage 16 you at all in any respect. I'm just suggesting 17 that -- 18 MR. SCOTT: Okay. 19 MR. SCAROLA: -- there is reason to doubt 20 that it will do any good. But I want to give 21 it a try. 22 MR. SCOTT: Okay. Fine. Thank you. 23 MR. SCAROLA: Thank you. 24 VIDEOGRAPHER: Going off the record. The 25 time is approximately 9:49 a.m. www.phi sre orting.com EFTA02726516
Sivu 34 / 154
213 1 (Recess was held from 9:49 a.m. until 10:01 a.m.) 2 VIDEOGRAPHER: Going back on the record. 3 The time is approximately 10:01 a.m. 4 MR. SCOTT: If you've finished your bagel, 5 we're ready to proceed, I think. 6 MR. SCAROLA: I think we are. I was 7 actually ready to proceed a little bit earlier, 8 but we'll proceed now. 9 BY MR. SCAROLA: 10 Q. Mr. Dershowitz, do you agree with the 11 basic concept that one is presumed to be innocent 12 until proven guilty? 13 A. Yes. 14 Q. Has 15 t any time, anywhere, at any 16 age? 17 A. I don't know the answer to that question, 18 but I do know that she was 19 and 20 21 22 Q. To the extent that anyone might interpret 23 your comment that was ever 24 , they would be drawing a false 25 conclusion as far as you know, correct? www.phi sre orting.com EFTA02726517
Sivu 35 / 154
214 1 A. As far as I know, I don't know of her 2 having convicted of any crime. But I do know that 3 4 And I don't think she contested that. I don't think 5 there's any dispute about the fact that 6 7 Q. When did you find out about this alleged 8 9 A. As soon as the false allegation against me 10 was made public, I got call after call after call 11 from people telling me about , about 12 your 22 clients. The calls just kept coming in 13 because there was such outrage at this false 14 allegation being directed against me. 15 MR. SCAROLA: Move to strike the 16 unresponsive portion of the answer. 17 BY MR. SCAROLA: 18 Q. You found out as soon as the CVRA 19 complaint was -- the CVRA allegations referencing 20 you were filed; is that correct? 21 A. I didn't say that. I said as soon as they 22 were made public and as soon as the newspapers 23 carried these false stories, I received phone calls 24 and I learned about -- I learned about her encounter 25 with the criminal justice system. www.phi sre orting.com EFTA02726518
Sivu 36 / 154
215 1 Q. That would certainly have been prior to 2 February 23rd of 2015, correct? 3 A. Yes. 4 MR. SCOTT: Are you going back to the 5 exhibit now with the newspapers and 6 MR. SCAROLA: Not yet. 7 MR. SCOTT: Okay. 8 BY MR. SCAROLA: 9 Q. Having reviewed the available airplane 10 flight logs, you are aware that Bill Clinton flew on 11 at least 15 occasions with Jeffrey Epstein on his 12 private plane, correct? 13 A. Yes. 14 Q. Have you ever attempted to get flight log 15 information with regard to Former President 16 Clinton's other private airplane travel? 17 A. No. 18 Q. Never made a public records request -- 19 A. Yes. 20 Q. under the Freedom of Information Act 21 with regard to those records? 22 A. Well, we have made a Freedom of 23 Information request. My -- my attorney in New York, 24 Louis Freeh, the former head of the FBI, has made a 25 FOIA request for all information that would www.phi sre orting.com EFTA02726519
Sivu 37 / 154
216 1 conclusively prove that Bill Clinton was never on 2 Jeffrey Epstein's island, yes. 3 Q. And you were denied those records, 4 correct? 5 A. No, no, no. 6 Q. Oh, you got them? 7 MR. SCOTT: Well, wait a minute. Let's 8 take it slow. Ask a question. 9 A. As any lawyer knows, FOIA requests take a 10 long, long period of time. So they were neither 11 denied nor were they given to us. They are very 12 much in process. 13 BY MR. SCAROLA: 14 Q. When was 15 A. While we're talking about may I 16 complete -- I want to amend one answer I gave 17 previously. 18 While we're talking about the plane logs, 19 I must say that during the recess, my wife Googled 20 and found out that she was, in fact, • 21 years old in_, at the time she flew on that 22 airplane. So that my characterization of her as 23 about ■ years old is absolutely correct. 24 And the implication that you sought to 25 draw by showing me those pictures was not only www.phi sre orting.com EFTA02726520
Sivu 38 / 154
217 1 demonstrably false, but you could have easily 2 discovered that the implication you were drawing was 3 demonstrably false by simply taking one second and 4 Googling her name as my wife did. 5 BY MR. SCAROLA: 6 Q. And so at 25 years old, she wasn't a young 7 woman? 8 A. She was not the kind of woman that I was 9 describing as underage. She was a mature, serious, 10 I think I said in my public statements a model. I 11 wasn't aware at the time that see was working for 12 , but Google demonstrates that. 13 And I described her exactly, in exactly the right 14 terms, a serious person. 15 I always saw her dressed when I saw her -- 16 I saw her maybe on two or three occasions, dressed 17 appropriately. She was a serious adult worker and I 18 think you insult and demean her when you suggest 19 that anything other than that she was a serious 20 adult when she flew on that airplane. 21 Q. You were asked on the occasion of that 22 same III interview what possible motive 23 the attorneys, Brad Edwards and Paul Cassell, could 24 have had to have identified you in the pleading that 25 was filed in the Crime Victim's Rights Act case. www.phi sre orting.com EFTA02726521
Sivu 39 / 154
218 1 Do you remember that? 2 A. That's right, yes. 3 Q. And your response was, quote -- 4 MR. SCOTT: Here's your transcript if you 5 need to refer to it. 6 BY MR. SCAROLA: 7 Q. -- "They want to be able to challenge the 8 plea agreement and I was one of the lawyers who 9 organized the plea agreement. I got the very good 10 deal for Jeffrey Epstein." 11 Did you make that response? 12 A. Yes. 13 Q. So, you recognized as of 14 that the reason why the statements were filed in the 15 Crime Victim's Rights Act case was because the Crime 16 Victim's Rights Act case had, as an objective, 17 setting aside the plea agreement that you had 18 negotiated for Jeffrey Epstein, correct? 19 MR. SCOTT: Objection, form. Go ahead if 20 you can answer it. 21 A. There were multiple motives. One of the 22 motives was crassly financial. They were trying to 23 line their pockets with money. But as I also said, 24 and I said this over and over again, they profiled 25 me. They sat down with their client, knowing that www.phi sre orting.com EFTA02726522
Sivu 40 / 154
219 1 she has a history of lying, knowing that she is 2 easily suggestible, and they basically pressured 3 her, according to my sources, into including me when 4 she didn't want to include me, because by including 5 me, they could make a claim, false as it was, could 6 make a false claim that a person who negotiated the 7 NPA was also criminally involved with her. 8 They also lied -- lied unethically and 9 unprofessionally by saying that I negotiated that 10 provision of the NPA, which gave me, myself, any 11 kind of immunity from prosecution had I had improper 12 sex with , which, of course, I did 13 not. And that was one of the bases on which I was 14 certain that they had engaged in unprofessional, 15 disbarrable and unethical conduct by including that 16 provision, as well as including a provision that 17 Prince Andrew was included because he, Prince 18 Andrew, pressured a United States attorney to try to 19 get a good deal for Jeffrey Epstein. 20 That is so laughable. How any lawyer 21 could put that in a pleading, it doesn't pass even 22 the minimal giggle test. And I'm embarrassed for 23 Professor Cassell that he would have signed his name 24 to a pleading that alleges that Prince Andrew would 25 pressure the United States attorney for the Southern www.phi sre orting.com EFTA02726523