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This is an FBI investigation document from the Epstein Files collection (FBI VOL00009). Text has been machine-extracted from the original PDF file. Search more documents →

FBI VOL00009

EFTA01110326

58 pages
Pages 21–40 / 58
Page 21 / 58
Larry Visoski 
October 15, 2009 
77 
want to — If you give me a copy. 
put a 
I 
79 
that es, door it? 
sticker on it. 
2 
A. NO. 
MR. REINHART: Or Just copy the page that haS 
3 
O. Okay. Do you know what the purpose of her 
the exNblt sticker on it. 
4 
being on the airplane tight along with Jeffrey Epstein. 
MR. CRITTON: Sony. 
5 
GNstaine Maxwell aricillIMI 
would be? 
BY MR. EDWARD$: 
6 
A. No. 
0. Like On thiS flight, we have 'JE.` I'm 
assuming that's Jeffrey Epstein, correct? 
7 
Q. Okay. Do you know how it comes about that 
Milleets 
on that flight? How does she even know 
9 
A. Yes, I'll assume. 
9 
there's a flight available? 
10 
Q. 'GM, Ghislaine Maxwell, right? 
10 
A. I don't know. 
11 
A. Yes. 
11 
0. All right. Well, let's go down to somebody 
12 
Q. 
12 
that we may all know a little bit better. Febniary 
13 
A. I would assume. 
13 
2002, there's a flight that has Bill Clinton, tour 
14 
0. I mean - okay. And then this name, do you 
14 
Secret SenAce agents and then instead of listing names 
15 
recognize that person? 
15 
or initials or anything also, ifs just listed as two 
16 
A. Never heard it. 
16 
males, one female, Jeffrey Epstein, Ghislaine Maxwe 
17 
0. And therm? 
17 
and d forget veto Dave Rogers told me ■' 
18 
A. Yes. 
16 
I. Do you remember who that is? 
19 
O. You've heard that name? 
19 
A No. 
20 
A. I've heard the name. 
20 
0. Okay. Either way, how ht It that someone like 
21 
0. Not sure who that is, though? 
21 
Bill Calton gets on a Jeffrey Epstein light? 
22 
A. No. 
22 
MR. CRITTON: Form. 
23 
Q. There's only one, two, throe, four, five. six 
23 
THE WITNESS: I don't know, 
24 
people on that fight? 
24 
BY MR. EDWARDS: 
25 
A. Uh-huh. 
25 
0. Do you know before the fight takes off that 
78 
80 
1 
0. That's pretty typical of the amount of 
Bill Clinton's going to be a passenger on the flight? 
2 
passengers that you would have on a fight? 
2 
A. Yes. 
A. It varied, sure. 
3 
Q. And how do you know? How do you get that 
4 
0. Okay. But it varied between — If we look a 
4 
information? 
S 
few lines down, Jeffrey Epstein and Ghislaine Maxwell 
5 
A. The day before I'd get a phone call from, say. 
6 
were the only two passengers. Certainly there were 
flights like that as well, right? 
6 
a 
saying we're leaving tomorrow going to wherever, 
and sometimes she'll say who's going, sometimes she 
a 
A. Mm-hmm. 
8 
wont On a case where President Clinton would be on 
9 
0. And so it varied from having one or two people 
9 
board, we would put a lithe extra catering on board or 
10 
to six or seven people, right? 
10 
do that little extra TLC to the aircraft. 
11 
A. Yes. 
11 
0. If it's leaving — this says its leaving from 
12 
0. What's the most people that you remember 
12 
MIA and where sit landing? 
13 
traveling on any of Jeffrey Epstein's airplanes? 
13 
A. HPN I believe is White Plains. 
14 
A. Twenty-five. 
14 
Q. Okay. Do you remember that flight? 
15 
Q. Okay. That would be a rarity, wouldn't you 
15 
A. I remember being on It. 
16 
say? 
16 
0. Well. I mean, if you look through here. 
17 
A. Oh, yeah. 
17 
obviously you had BA Clinton on the airplane ten or 
IS 
0. Because I've looked through this log. I 
18 
twenty times. right? 
19 
haven't seen any place where there were 25. but there 
19 
A. Yeah. He's my main focus I remember him 
being on the aircraft, sure. 
20 
are lines that have maybe eight or nine people listed. 
20 
21 
A. Right. 
21 
0. Do you remember him being on the airplane with 
22 
0. Let's see. There's a fright from 
22 
younger girls? 
23 
January 15th 
sorry, January 17th, January 20th and 
23 
MR. CRITTON: Form. 
24 
January 22nd of 2002 that all 
That 
24 
THE WITNESS: No. 
25 
defiant serve to refresh your recollection as to who 
25 
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Page 22 / 58
Larry Visoski 
October 15, 2009 
81 
1 
BY MR. EDWARDS: 
2 
O. Okay. Do you know what his relationship was 
3 
with Jeffrey Epstein? 
4 
A. No. 
5 
O. Do you know if they were friends? 
6 
A. Assuming. 
7 
O. But you're assuming why? Just because he's on 
8 
his plane? 
9 
A. Yeah. 
10 
O. Okay. So you assume that the people that are 
11 
listed on here are friends of Jeffrey Epsten's and 
12 
that's why they are riding on his plane? 
13 
A. I'm speculating. 
14 
0. I'm Just not familiar with the -- because rye 
15 
never been on a private flight 
with the manner in 
16 
which you go about getting on one of these flights. I 
17 
mean, you have to, I guess, know that Jeffrey Epstein 
18 
has a plane, that it's going from a destination that you 
19 
are at and want to go to, and that it's avelable and 
20 
those kind of things. Can you tell me, enlighten me --
21 
A. Weil, it's not publicly offered, no. it would 
22 
be no different than you limping In your car and knowing 
23 
you're going to the mall. I moan, It's not public 
24 
information, you know, where planes are coming to and 
25 
from, and you don't put your name out there to get 
83 
1 
this time with Doug Band, three Secret 
, 
2 
Jeffrey Epstein, Ghislaine Maxwell 
Do 
3 
you remember that flight? 
4 
A. Where did we go? 
5 
0. Starts In JFK. 
6 
A. Flight. 
O. Where is that? 
8 
MR. CARTON: Do you have a date? 
9 
MR. EDWARDS: March 18th. 2002. 
10 
THE WITNESS: EGGW I believe is Luton, 
11 
England. 
12 
BY MR. EDWARDS: 
13 
0. Okay. Do you remember flying to England? 
14 
A. I do remember flying to England. I just don't 
15 
remember that trip. What airplane were we In? We were 
16 
in the Boeing. 
17 
O. Do you remember the purpose of the trip? 
18 
A. No. 
19 
O. Do you know who Doug Band is? 
20 
A. I heard he's Clinton's, how would you say, 
21 
assistant. I mean, I've seen that in the newspaper. 
22 
seen a on CNN. 
23 
O. Okay. Did you ever hoar that Doug Band and 
24 
Ghlslane Maxwell were together. even for a day or a 
25 
night? 
82 
onboard a flight. 
0. Does Jeffrey Epstein charge these people as 
3 
passengers? 
4 
A. I don't know. 
O. Okay. Are these people such as Bill Clinton. 
6 
does that mean that &a Clinton called 
or 
somebody affiliated with Jeffrey Epstein to get on the 
8 
plane or that Jeffrey Epstein called Bill Clinton and 
9 
asked do you want a ride? 
c 
MR. CRITTON: Form; predicate. 
11 
THE WITNESS: I have no idea. 
12 
BY MR. EDWARDS: 
13 
O. No idea? 
14 
A. No idea whatsoever. 
15 
O. Joe Pagano, do you know who that is? 
16 
A. Yes. 
17 
O. What's his relationship with Jeffrey Epstein, 
18 
or what was it back in Febnia 
sorry, March 17th of 
19 
2002, when he and 
and Jeffrey Epstein and 
20 
Todd and one female were on this flight? 
21 
A. I don't know to what extent or what his 
22 
relationship is. He Just was a passenger on the 
23 
airplane. 
24 
0. Okay. And the next day 
sorry, two days 
25 
later on the 19th of March, Bill Clinton flies again, 
84 
1 
A. No. 
2 
a 
Did you ever hear that Doug Band and Ghislaine 
3 
Maxwell were the people attributed to introducing ea 
4 
Clinton and Jeffrey Epstein? 
5 
MR. CRITTON: Form. 
6 
THE WITNESS: I don't know. 
7 
BY MR. EDWARDS: 
O. All right. There's another flight here on 
9 
January 
I can/ read this upside down. Maybe it says 
10 
May —
11 
A. Looks like. 
12 
0. -. 22nd, 2002 Again, with President BS 
13 
Clin 
. Can you tell me who 
14 
and 
are? 
15 
A. I don't remember. 
16 
0. Would you know them if you saw them? 
17 
A. Probably not because the names don't even ring 
18 
a boll. 
19 
O. All right. And then there are plenty of 
20 
flights. many of eights vA 
1 
Epstein, 
21 
Ghlslaine Maxwell and 
are the primary 
22 
passengers. or at least are some of the passengers on 
23 
the flights, correct? 
24 
A. Mrn-timm. yes. 
25 
0. And still, as you sit here, you being the 
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Larry Visoski 
October 15, 2009 
85 
1 
pilot of these flights, you're not sure what their 
2 
relationship is or whether any of them were socially 
3 
connected in any real way? 
4 
MR. CRITTON: Form. 
5 
THE WITNESS: No. When you're flying the 
6 
airplane, there's a lot more going on than 
7 
passengers' relations. 
8 
BY MR. EDWARDS: 
9 
O. All right. You remember this person.l. 
10 OM 
are you familiar with her at all? 
11 
A. I remember the name, that's it. 
12 
O. What do you think her relationship is to 
13 
Jeffrey Epstein? 
14 
A. No idea. 
15 
MR. CARTON: What date are you on. Brad? 
16 
MR. EDWARDS: Oh, sorry. I am at June 21st, 
17 
2002. 
18 
BY MR. EDWARDS: 
19 
Q. Tilers not somebody that you specifically 
20 
remember? 
21 
A. Mm-mm, no. 
22 
Q. No? Is that somebody that you think was a 
23 
regular flyer for any period of time in Jeffrey 
24 
Epstein's life? 
25 
A. Not a regular. 
87 
1 
we're referring to the same flight on June 21st of 2002, 
2 
that includes Jean Luc Brunel, 
Jeffrey 
3 
Epstein. Chelan° MeueveliMillit, Mose are the 
4 
passengers of the flight, does that serve to jog your 
5 
memory as to wt as 
is? 
A. No. I mean, you see how frequently wo fly. I 
7 
mean. it's the passengers in the back are so far 
8 
removed from an operation of commanding an airplane like 
9 
that, Its nothing that sticks 11 your head. 
10 
O. And you as the pilot, is there any way that 
11 
you would know what's going on In the back of the 
12 
airplane? 
13 
AL No. My concerns are all on the optical!. 
14 
MR. CRITTON: Brad, the last one that you 
mentioned, was that the same date. June 21st. '02? 
16 
MR. EDWARDS: Yes. 
17 
BY MR. EDWARDS: 
18 
O. There's another name here that I was going to 
19 
ask you do you know. June 23rd. 2002. 
20 
are you familiar with that name? 
21 
A. No. 
22 
O. Also on the same flight with Jean Luc Brunel. 
23 
That doesn't help to jog your memory either, right? 
24 
A. No. 
25 
O. That's somebody that you remember as a 
86 
O. Okay. Jean Luc Brunel, is that a name that 
2 
you know? 
3 
A. Yes. 
4 
O. Now do you know that name? 
5 
A Orly because it's a unique name and his attire 
6 
79 very unique. So you remember certain things. So I 
7  
know he who that Is. 
8 
Q. Do you know what he does? 
9 
A. No. 
10 
O. Do you know his association with Jeffrey 
11 
Epstein, if any? 
17 
A. No, I don't know what the relationship Is. 
13 
O. Nave you ever heard of him owning or running 
14 
or managing a modeling company? 
15 
A. I have seen that in the paper a taw years 
16 
back. 
17 
O. Okay. Other than seeing it in the Pats, have 
18 
you ever talked to Jean Luc Brunel or Jeffrey Epstein 
19 
about owning or running or managng a modeling company? 
20 
A. No. 
21 
O. Do you know if Jeffrey Epstein's affiliated 
22 
with the modeling company that's owned. run or managed 
23 
by Jean Luc Brunel? 
24 
A. No, I have no idea. 
25 
a 
And seeing that this is a flight now, that 
1 
2 
3 
4 
7 
8 
9 
10 
11 
12 
13 
14 
15 
16 
17 
18 
19 
20 
21 
22 
23 
24 
25 
88 
frequent passenger? 
A. Who are you referring to? 
O. =NM
?
A. No. 
Q. Dr...larecki, is that somebody that you 
remember frying? 
A. I know the name. He may have been on the 
airplane once or twice. I'm guessing only. 
Q. Do you remember meeting him? 
A. Yes. I have met him. 
O. Do you remember his purpose for being on the 
airplane? 
A. No, Sir. 
O. Amanda Venaro, do you remember her purpose tot 
being on the airplane? 
A. No. 
MR. REINHART: Can we get a date? 
MR. EDWARDS: I was asking him if he 
remembered Amanda Venom. I wasn't referring to a 
specific night. 
BY MR. EDWARDS: 
O. You dent remember her being on the flight? 
A. I don't remember the name. 
O. Me showing you the flight isn't going to jog 
the memory? 
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Page 24 / 58
Larry Visoski 
October 15, 2009 
2 
3 
89 
A. No. The name that would launch it first 
MR. CRITTON: Could I ask you a question? You 
have the original exhibit marked at the deposition. 
It looks like it's been highlighted. 
MR. EDWARDS: I highlighted it. 
1 
2 
3 
4 
5 
91 
see her name, that doesn't change your opinion as to 
whether or not you remember her or what --
A. I remember the name, you know, that's all. 
0. Do you remember about what age she was when 
the was flying on the airplane? 
6 
MR. CRITTON: Oh. okay. So you've highlighted 
6 
A. No. 
7 
the original exhibit that's marked for the 
7 
0. This could be somebody who is 50 years old or 
a 
deposition? I just want the record to reflect 
ten years old, for all you know? 
9 
that. 
MR. CRITTON: Form. 
10 
MR. EDWARDS: Yeah. 
10 
THE WITNESS: Yes. 
11 
MR. CRITTON: Okay. Thank you. 
11 
BY MR. EDWARDS: 
12 
MR. EDWARDS: At the time I highlighted It I 
12 
0. Okay. 
13 
didn't realize I was holcing on to the original 
13 
A. I mean, I would only be guessing at an age. 
14 
exhibit. I didn't realize that until you just 
14 
Q. Yeah, but I mean• you don't remember her at 
15 
pointed that out. 
15 
all. So you don't --
16 
MR. CRITTON: I've noticed that. 
16 
A. I remember the name, exactly. 
17 
MR. EDWARDS: So now when I give it to you, 
17 
0. Other than the name? 
18 
I'm giving you my work product as wet. I don't 
18 
A. Right. yes, sir. 
19 
see how this works against you, but anyway. 
19 
0. But you can't even come close to putting a 
30 
BY MR. EDWARDS: 
30 
face with that name? 
21 
0. Melissa Stall. is that a name that you 
21 
A. I mean, no. I mean, it you said draw her 
22 
remember? 
22 
picture with I couldn't come close to even getting 
23 
A. No. 
23 
s. 
24 
0. Okay. And then Jean Luc Brunel is Somebody 
24 
Q. Okay. You remember this flight where 
25 
who I noticed flew relatively frequently, so is that why 
25 
President Clinton, Kevin Spacey and Chris Tucker, 
90 
92 
1 
you -- that name jogs your memory a little better than 
1 
Jeffrey Epstein. Ghislaine Maxwell? 
2 
some of these other people? 
2 
A. Yes. 
A. He dresses uniquely. 
3 
Q. From JFK to what is this, LPAZ? 
4 
0. In what way? 
4 
A. LPAZ, that Is 
A. Just loud clothes, so something that you would 
5 
0. South Attica or something? 
6 
remember, that's all. 
6 
A. No, it's the Azores Islands, Santa Maria. 
7 
0. Do you know his role in Jeffrey's ide? 
7 
0. Do you know the purpose of that trip? 
8 
A. No. 
a 
A. That was a fuel stop. 
9 
Q. Ever heard that he is affiliated with Jeffrey 
9 
0. Okay. And do you know why Chris Tucker and 
10 
Epstein because they both have a sexual attraction to 
10 
Kevin Spacey were on that airplane? 
11 
underage girls? 
11 
A. No. 
12 
MR. CRITTON: Form. 
12 
0. Did you talk to them? 
13 
THE WITNESS: You're making an assumption on 
13 
A. They came up in the cockpit and said hello. 
14 
that_ 
14 
So they conversed, nothing more. 
15 
BY MR. EDWARDS: 
15 
0. Another name that is on here a few times, I'm 
16 
Q. Have you ever heard that? 
16 
specifically referring right now to the dates of 
17 
MR. REINHART: He's asked you if you ever 
17 
September 23rd and 24th of 2002, is Ron liturkle. Do you 
18 
heard that. 
18 
know who that Is Ron Buride? 
19 
BY MR. EDWARDS: 
19 
A. I know what that is, yes. I didn't realize he 
20 
0. It your answer is no, It's no. 
20 
was on our airplane. 
21 
A. I'm sorry, I thought you said they did. No. I 
21 
0. Right now that is the first time that you 
22 
have not. 
22 
remember Ron Burkle being on your airplane? 
23 
0. Okay. I keep highighting this name, 
23 
A. Yeah. 
24 
MB 
just because it looks like somebody that's 
24 
0. You don't know the purpose fix him being on 
25 
regularly flying on the airplane. But Me more that you 
25 
that airplane? 
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Page 25 / 58
Larry Visoski 
October 15, 2009 
93 
A. No. Granted, I'M seeing this for the first 
2. 
time, so I'm trying to — 
0. Let me ask you that. Because this was given 
to me at a deposition of Dave Rogers. who I understand 
5 
was the chief pilot for Mr. Epstein. and now y0ute the 
cheap pilot. but you always kind of worked in tandem, 
7 
correct? 
A. Sure; we complemented each other. 
9 
0. And you both worked for the same company that 
10 
fries Jeffrey Epstein's airplanes, right? 
11 
A. Yes. 
12 
0. So I was of the presumption, which may have 
13 
been - I may have been misled here, or I may have, you 
14 
know, misunderstood the purpose behind this book or how 
15 
it was created. I thought that you had probably seen 
16 
this before at some point in time? 
17 
A. Oh, no. 
18 
0. Dld you know that Dave Rogers was keeping this 
19 
book? 
20 
A. No. I know he keeps a Piet log book. 
21 
0. Okay. But you didn't know he was keeping the 
22 
names of the people who were on the airplane? 
23 
A. No. Its not required. so I mean, it's.. 
24 
0. So today is the first time that you are 
25 
teaming that the names of the people that we on the 
1 
2 
3 
4 
6 
7 
8 
10 
11 
12 
13 
14 
15 
16 
17 
18 
19 
20 
21 
22 
23 
24 
25 
95 
BY MR. EDWARDS: 
0. Okay. You don't remember which tights it 
would have been where there would have been girls under 
the age of 18? 
MR. CRITTON: 
THE WITNESS: Wel, I would have to look at 
the fright logs. 
BY MR. EDWARDS: 
0. Irs not illegal to have somebody under the 
age of 18 on a flight anyway, right? 
A. No, not at all. 
0. Were you ever aware that you, as plot, wore 
transporthig girls under the age of 18 who were supposed 
to be models? 
MR. CRITTON: Form. 
THE WITNESS: I had no knowledge. 
BY MR. EDWARDS: 
0. Okay. You never knew who the people on th,_ 
airplane were, what their purpose was, their role with 
Jeffrey Epstein or Jean Luc Brunel? 
A. No. 
Q. All right. Do you knot 
I? 
A. No, I dont remember that name. 
Q. 
A. I remember the name. 
94 
1 
airplane was kept by Dave Rogers? 
A. Yes, in his log book. 
0. Okay. And it's my understanding when you fly 
back into the country through Customs. you have to 
report the people that are on the airplane, right? 
A. Yes. 
0. And who would create that document or call 
a 
that information into Customs? 
A. Whoever the captain was for the day. 
0. At times would that be you? 
11 
A. Yes. 
12 
0. Okay. And at times when you would come into 
13 
the country with passengers — well, not at times. 
14 
Didn't you else have to report their date of birth? 
15 
A. Sure. 
16 
0. At tines weren't there also people that you 
17 
would bring in from other countries into the United 
18 
States that were under the age of 18? 
19 
A. Yes. 
20 
0. And at some times those were flights that 
21 
Included Jean Luc Brunel and girls that were under the 
22 
age 0118, right? 
23 
MR. CRITTON: Form. 
24 
THE WITNESS: I don't remember those flights. 
25 
4 
96 
1 
0. She flew frequently at least for a period of 
2 
lime. Do you remember that? 
3 
A. Yes. 
4 
0. Is that somebody that you thought was familiar 
5 
with the modeling industry or related to the modeling 
6 
industry? 
7 
A. No. 
0. Okay. And these people, did Jeffrey Epstein 
9 
ever tell you how he was associated with any of them? 
10 
A. No. 
11 
0. Did you ever wonder how he was associated with 
12 
any of thorn? 
13 
A. No. never interested. 
14 
Q. And on several of these on most of these, 
15 
the names or Initials of the people that are on the 
16 
flight are listed. Do you know on the occasions where 
17 
it lists generically two females or three females or six 
18 
females, do you know why that was done? 
19 
A. Just because we didn't know our 
the 
20 
person's name. We hied to do the best we could to keep 
21 
the records. 
22 
0. When you say 'we tried to do the best that we 
23 
could 
24 
A. Dave and I. 
25 
0. Okay. But the first time that you learned 
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Larry Visoski 
October 15, 2009 
97 
1 
that he kept anybody's names was today, right? 
2 
A. Well, I didn't know he kept them in his log 
book. We would fill out the passenger manifest as 
4 
we're — having passengers' names in your pilot log 
5 
book, he's probably the only person in the world that 
6 
does that. 
0. Okay. 
8 
A. So when you were mentioning putting the names 
9 
down, when you said female or mate, you know, I was 
10 
referring to the passenger manifest. 
11 
0. For each of these same flights, then, that 
12 
we're referring to out of this log book that was marked 
13 
as Composite Exhibit 1 in Dave Rogers' deposition, am I 
14 
understanding you correctly, then, there would also be a 
15 
passenger manifest for each of these flights? 
16 
A. Yes. 
17 
0. Now, where would I find the passenger 
18 
manifest? Who keeps that documentation? 
19 
A. Corporate -- our corporate office. 
20 
Q. Which is whom? 
21 
A. Up in New York, Darren Indyke. 
22 
0. At what corporation is that, though? 
23 
A. NES, LW. I guess. 
24 
MR. REINHART; Do you know for sure? 
25 
THE WITNESS: I don't know for sure. I moan, 
99 
1 
at the airport office that I had turned Into 
2 
counsel that has the passenger names on them. 
3 
BY MR. EDWARDS: 
4 
0. Okay. 
• 
A. It's called a passenger manifest. 
6 
0. Okay. 
7 
MR. REINHART: Right. 
• 
BY MR. EDWARD$: 
9 
0. The passenger manifest, just so I understand 
10 
exactly what that is. ten me. Tell me in your own 
11 
words. 
12 
A. It's departure time, the city, the landing 
13 
time exactly and the passengers that would have been on 
14 
that flight. 
25 
0. And at times on that passenger manliest would 
16 
you IS also generically female or male? 
17 
A. Yes. That was the document I was referring to 
18 
staling that if we didn't know a person, we did not go 
19 
out of our way to find out a name. We just put in to 
20 
account for how many people were on the aircraft at that 
21 
time. 
22 
0. Who is currently in the custody or control --
23 
sorry. Who currently maintains or has possession of the 
24 
passenger manifest from 1998 through the present, 
25 
through today for those airplanes that you flew related 
98 
1 
when you say -- we would just send them up to New 
2 
York. 
3 
BY MR. EDWARDS: 
• 
Q. Did you ever keep a copy of them? 
A. No. 
6 
0. Why did you keep a passenger manifest? 
7 
A. Just for tracking of 
to have the times on 
s 
there for --
9 
MR. REINHART: Can I confer with him on one 
10 
thing before you ask a question? 
11 
MR. EDWARDS: Yeah, yeah. 
12 
(Off the record discussion.) 
13 
MR. REINHART: Mr. Edwards. let him amend his 
14 
prior answer. I think he misunderstood the 
15 
question 
16 
MR. EDWARDS: I don't know what question we're 
17 
amounting the answer to. 
10 
MR. REINHART. Lot me clarity this way: As 
19 
the passenger manifests, they are corporate 
20 
documents of either JEGE or Hyperion Air, whatever 
21 
company owns the plane. Mr. Visoski has physical 
22 
custody of them. He retains them but they're not 
23 
his documents. They're the corporate documents. 
24 
So they're not in New York. 
25 
THE WITNESS: Those are the ones that I have 
100 
1 
to Jeffrey Epstein? 
2 
A. I currently have, which counsel has now. 2005, 
3 
I believe, until the present time. And the records 
4 
previous to that I believe were turned into counsel with 
5 
the previous investigation with Jack Goldbergers 
6 
office, I believe. I believe they maintain those 
7 
records, 
8 
Q. When you Say "turned into counsel." there are 
9 
a lot of counsel involved here. 
to 
A. Jack Goldberger's office. I believe. 
11 
0. When you say "the previous investigation,' 
12 
you're talking about the criminal investigation? 
13 
A. Exactly, yes, sir. 
14 
0. And you're aware in that criminal 
is 
investigation, obviously, that Jeffrey Epstein pled 
16 
guilty to certain charges, correct? 
17 
A. From what I read. yes. 
18 
O. Well, you did visit him In jail, right? 
19 
A. Yes. We didn't talk about that. 
20 
0. Okay. You knew In order to go to jail. 
21 
though, you have to be convicted of some crime, right? 
22 
MR. CRITTON: Form; argumentative. 
23 
THE WITNESS: Yes. 
24 
BY MR. EDWARDS: 
25 
Q. It wasn't ►ke he was visiting the Jail and 
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Larry Visoski 
October 15, 2009 
1 
2 
3 
4 
6 
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8 
9 
10 
11 
12 
13 
14 
15 
16 
17 
18 
19 
20 
21 
22 
23 
24 
25 
101 
you were visiting and you happened to bump into each 
other. You actually went to see him while he was an 
inmate In Jail? 
A. Right, yes. 
O. Okay. So when were talking about the 
criminal investigation, were talking about the criminal 
investigation revolving around the allegations of 
Jeffrey Epstein engaging in sex acts with minors? 
MR. CRITTON: Form. 
BY MR. EDWARDS: 
O. That's the criminal investigation you're 
talking about, right? 
MR. CRITTON: Form. 
THE WITNESS: I don't know the full definition 
of really what happened there. I know that it was 
something to do with solicitation of prostitution. 
That's al I road. 
BY MR. EDWARDS: 
O. Okay. Were you aware that the allegations 
revolved around underage girls or gins under the ago of 
18? 
MR. CRITTON: Form. 
THE WITNESS: I was aware it revolved around 
it, yes, 
103 
Q. And for the passenger manifest prior to 2005. 
2 
how far do those passenger manifests go back In time? 
3 
A. They should go back. I guess. to 1991 or 
4 
whenever we started existence. 
5 
Q. And did you turn them over from 1991 all the 
6 
way through to 2O05? 
7 
A. I deal know. I didn't tum them in. Dave 
8 
Rogers did. 
9 
O. Are you in possession of a copy of any of 
10 
those materials? 
11 
A. No. 
12 
O. I thought that, you know, ten minutes ago when 
13 
we were taking about this you said you had them back at 
14 
an once or -• 
15 
A. That was the office, the airplane office. 
16 
which I've given to Bruce, which is the current log. He 
17 
is in possession of them now. I had possession of them. 
18 
O. Okay. What he's in possession of --just so I 
19 
know what documents are where, he's in possession of the 
20 
passenger manifests from 2005 through the present? 
21 
A. Correct. 
22 
Q. It I want to obtain the passenger manifests 
23 
from 1998 through 2005. Mars something that 1 woulc 
24 
request from whom? 
25 
THE WITNESS: Help me out. That's --
1 0 2 
I 
BY MR. EDWARDS: 
O. Who first made you aware of that? 
A. The newspaper. 
O. Wore you ever questioned by the police? 
A. I don't know who questioned me, actualy. I 
6 
did have a questioning session, but I don't even 
7 
remember who questioned me. 
8 
O. Where did that take place? 
A. I don't remember. 
10 
O. At your house? 
11 
A. No. I'm thinking it was Jack Goldberger's 
12 
office, or n may have been downtown al the Pen Beach 
13 
County Courthouse or something in that area there. 
14 
O. Okay. So it either happened at an attorneys 
15 
office that represented --
16 
A. Exactly, yeah, I think so. 
17 
O. — Jeffrey Epstein or the other side? 
18 
A. Yeah. 
19 
Q. And during that questioning, is that when you 
20 
turned over the passenger manifest from prior to 2006? 
21 
A. Yes. 
22 
O. And you turned those manifests directly over 
23 
to Jack Goldberger? 
24 
A. Yes. Actually. I bees Dave Rogers did 
25 
that. I wasn't in possession of those records. 
I 
2 
3 
4 
6 
7 
8 
9 
10 
11 
12 
13 
14 
15 
16 
17 
18 
19 
20 
21 
22 
23 
24 
25 
104 
MR. REINHART: If you know. 
THE WITNESS: I don't know who possesses them 
right now. They were turned into Jack Goldberger's 
office a year and a half or two years ago. 
BY MR. EDWARDS: 
Q. You started out by indicating that you sent 
these passenger mardests, or a copy thereof, to Darren 
Indyke or someone at NES. LLC; is that correct? 
A. Correct. 
O. If I requested them from NES, LLC, that's 
somebody at some point in time was in possession of all 
the passenger manifests? 
A. Sure. 
O. And NES, LLCS address is the one you gave me 
a. A. I believe so. I don't know what address 
they're using for that. I know that --
O. But Darren Indyke's the attorney that I would 
call — 
A. Yes, sir. 
O. - and he could probably steer me m the right 
clrection? 
A. Yes. 
MR. CRITTON: Form. 
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Larry Visoski 
October 15, 2009 
105 
BY MR. EDWARDS: 
0. Do you know Amy Taylor? 
A. Yes. 
4 
a 
How do you know her? 
A. She was on the airplane. 
0. How old is she? 
A. I have no idea. 
0. Age range? 
9 
A. Twenly-eight. 
10 
0. NoW? 
11 
A. Yeah, 28, or maybe if not older now. She was 
12 
probably 28 probably. I guess. She was somebody in her 
13 
late 20s. 
14 
0. So we're talking about 2003? There what I'm 
15 
trying to understand. 
16 
A. I'm guessing. 
17 
0. We're talking 2009 now. We're saying 28. By 
18 
that do you mean in 2003 she was 23 or 24 years old? 
19 
A. You're having me guess on her age. 
20 
Q. Yeah. 
21 
A. I mean. I can't be accurate. 
22 
0. Somebody between 18 and 25? 
23 
MR. CRITTON: Fonn. 
24 
BY MR. EDWARDS: 
25 
0. At the erne you were seeing her back in •-
107 
1 
hello. 
2 
Q. That's somebody who was on the airplane 
3 
multiple times? 
4 
A. More than once. I mean. I have no account for 
5 
how many times. 
6 
0. Well, I've asked you about a bunch of names, 
7 
most of which you don't really remember. but that's one 
8 
name you do remember. 
9 
A. Yeah, I remember the name, yeah. 
10 
0. Okay. And that's somebody who you actually --
11 
you would remember the face too? 
12 
A. I might remember Amy's face. 
13 
Q. A8 right. Do you remember why she would have 
14 
ever been on your airplane? 
15 
A. No idea. 
16 
Q. President Andres Postrana, at the time I guess 
17 
That was the president of Colombia back m February 
18 
sorry, March 200 of 2003. Do you know who that is? 
19 
A. I don't remember him being on the airplane, 
20 
but I know who that Is. 
21 
0. Okay. He's on the airplane with Jeffrey 
22 
Epstein, Ghislaine Maxwell, IMMIand 
Jean Luc 
23 
Brunel? 
24 
A. Where hid we go? 
25 
Q. Fillet you look at it. I'm talking about 
106 
A. II you want me to guess •-
0. No. I don't want you to guess. 
A. I don't 'mow then. 
0. Wet. if I say between ten and fifty? 
A. That's a range. 
Q. If I say between ten and fifty, you're not 
7 
guessing there anymore. You know she's in there, right? 
a 
A. She's in the middle there, yeah. 
9 
0. Okay. How can we narrow that down? We're 
10 
talking about somebody in her 20s? 
11 
A. In her 20s. 
12 
0. At least that's what you believed? 
13 
A. Yes. 
14 
Q. All right. Is that somebody that you know to 
15 
be associated or friendly with Ghislaine Maxwell? 
16 
A. I don't know. 
17 
Q. Do you know what her relationship was to 
18 
Jeffrey Epstein or Ghislaine Maxwelr? 
19 
A. No. 
20 
0. Do you know where she is now? 
21 
A. No idea. 
22 
Q. When's the last time you talked to her? 
23 
A I don't know. What date do you have on there? 
24 
0. February 2003. 
25 
A. So, probably that long ago. I may have sald 
108 
1 
this line, PSI, left out of Palm Beach? 
2 
A. Palm Beach to Nassau. I'm sorry. I don't 
3 
remember Mat one. 
4 
0. When we're saying we're going down to Nassau, 
5 
is that a place that you frequently went to with the 
6 
airplane? 
7 
A. No, not at all. 
8 
0. And is that a route that you would take for 
9 
the ultimate destination to be Little St. James? 
10 
A. No. 
11 
Q. If the ultimate destination was Little 
12 
St. James 
show me a flight where the ultimate 
13 
destination was Little St. James. 
14 
A. Yeah, right here. TIST, Mat's St. Thomas. 
15 
Q. Okay. So on that flight that you just pointed 
16 
to, March 27th, 2003, we have Jeffrey Epstein, ME 
17 
MI 
--again, 
Brent Tyndall - do you k^oti, 
18 
who Brent Tyndall Is? 
19 
A. Yes. 
20 
0. And who is that? 
21 
A. I believe he was the chef. 
22 
0. And 
(phonetic), is that 
23 
somebody you know to be a model these days? 
24 
A. I have no idea. 
25 
0. Do you remember that flight? 
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Larry Visoski 
October 
15, 
2009 
109 
1 
A. No. 
2 
Q. Do you remember Naomi Campbell, picking her up 
3 
from St. Thomas along with Jean Luc Brunel? 
4 
A. I remember her being on board. I don't 
5 
remember the flight. 
6 
0. Do you know Joel Pashcow? 
7 
A. Yes. 
8 
0. How do you know him? 
9 
A. He was on the airplane. 
10 
0. And is that somebody you knew at one point in 
11 
time to be a friend of Jeffrey Epstein's? 
12 
A. He was on the airplane. I don't know what the 
13 
relationship was. 
14 
0. Do you know what the relationship Is today? 
15 
A. No idea. 
16 
Q. How about Todd Mister, do you know what that 
17 
relationship Is or was today? 
18 
A. No. 
19 
Q. Do you remember him? 
20 
A. No. 
21 
Q. Not at all? 
22 
A. I mean, I know the name. I don't know. 
23 
0. Paula Epstein, do you know who that is? 
24 
A. Yes. 
25 
0. Who Is that? 
111 
1 
film wound Jeffrey Epstein? 
2 
A. No. 
3 
0. All right. 
4 
A. No. 
5 
Q. 
do you know that name? 
6 
A. No. 
7 
Q. She was on several flights. You don't 
remember seeing her? 
9 
A. No. 
10 
0. All right. And how about Alan DershmWtz, I'm 
11 
sure you know wto that is? 
12 
A. Sure. He's famous. 
13 
0. What was your understanding of Alan 
14 
Dershowites relationship with Jeffrey Epstein? 
15 
A. Never talked about A. 
16 
0. Forrest Sawyer. do you know why he was on your 
17 
airplane? 
18 
A. Never heard the name, actually. 
19 
0. Really? 
20 
A. No. 
21 
0. Larry Summers? 
22 
A. I know the name. I don't remember flying him 
23 
0. Have you ever talked to Joe Fontanela? 
24 
A. Yes. 
25 
0. How do you know him? 
110 
1 
A. That's Jeffreys morn. 
2 
0. She's passed away? 
3 
A. Yes. 
4 
0. At least that's your understanding, right? 
5 
A. That's what I heard, yes. 
6 
0. Oka . 
do you know her? 
7 
A. 
, I know the name. 
8 
O. Somebody who flew on the airplane with some 
9 
regularity? 
10 
A. Yes. 
11 
0. And do 
u know her to be friends of Ghislaine 
12 
Maxwell or 
or Jeffrey Epstein? 
13 
MR. CRITTON: Form. 
14 
THE WITNESS: I have no idea who she was 
15 
friends with. 
16 
BY MR. EDWARDS: 
17 
Q. All right. Do you know what rote she ever 
18 
played, if she played one, In Jeffrey Epstein's life? 
19 
A. No. 
20 
O. All right. Glenn Dubin, are you familiar with 
21 
Mm? 
22 
A. Yes. 
23 
0. How do you know Glenn Dubin? 
24 
A. I met him on the airplane. 
25 
Q. Outside of the airplane, have you ever seen 
112 
1 
A. He usually drops Jeffrey off at the airport. 
2 
0. In fact, you've called him directly before, 
3 
right? 
4 
A. Yes. 
5 
0. You still have his number? 
6 
A. I haven't — yes. I think I still got it in my 
7 
memory. 
8 
Q. Okay. What is it? 
9 
A. It's been a few years. 
10 
kind of an easy one. 
11 
MR. CRITTON: 917 is the first --
12 
THE WITNESS: Yes. 
13 
MR. CRITTON: Who was this for? 
14 
MR. REINHART: Joe, Joe Fontanela. 
15 
MR. EDWARDS: Fontanela. 
16 
BY MR. EDWARDS: 
17 
Q. Do you know his address, where he resides? 
18 
A. No, I don't. 
19 
0. Do you know if he — what his role is in 
20 
Jeffrey Epstein's life? 
21 
A. Not really. He just •. ho drove the car. 
22 
Q. He drove what car? 
23 
A. The car up In Now York. 
24 
Q. Okay. Do you know if he's a housekeeper up at 
25 
that house up in New VOW? 
0 
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Larry Visoski 
October 15, 2009 
113 
A. I don't know what his role Is. 
Q. Have you ever worked fora company caked Air 
3 
Ghislalne? Do you know that company? 
A. Yes. 
5 
Q. Do you know what that company does? 
A. No. 
Q. Have you ever been an employee of that 
company? 
9 
A. No. 
10 
Q. Do you know who runs that company? 
11 
A. No. 
12 
O. IS Jeffrey Epstein associated with that 
13 
COmpany? 
14 
A. I don't know. 
15 
O. How have you heard of that company? 
16 
A. It's the company name that our registration 
17 
for the helicopters is under, Air Ghislatne. 
18 
O. Is that somebody who's ever paid you, a 
19 
company who's ever paid you? 
20 
A. No. 
21 
O. Do you know Igor Zinoviev? 
22 
A. Yes. 
23 
O. How do you know him? 
24 
A. Met him on the airplane. 
25 
O. What is your understanding of his allikelion 
115 
1 
O. Do you know 
did you tell me, do you knov 
2 
what Leslie Gruff does for Jeffrey Epstein? 
3 
A. I don't know her exact tine. 
4 
O. You talked to all of these individuals at some 
5 
point in time, either on the phone or in person, right? 
6 
A. Yes. 
7 
Q. And you don't 'mow whether they playa role in 
8 
Jeffrey Epstein's life, or if they do, what they do? 
9 
A. Exactly. 
10 
Q. And how do you decide who you're going to call 
11 
for what reason? 
12 
A. For example? Can you be more specific? 
13 
O. If you're going to make a telephone call and 
14 
you're going to talk to let's say Leslie Gruff, why 
15 
would you choose to call her? 
16 
A. I don't know. You're having me make the phone 
17 
call. I don't know why I would call her. 
18 
O. Have you ever called her? 
19 
A. I think, yes, I've called her, sure. 
20 
O. Why? What would be the reason that you would 
21 
call her? Somebody told you to call her? Here. Carl 
22 
this number? 
23 
A. I may have called her maybe to find out if w,. 
24 
had a departure time for any specific trip. I mean, 
25 
that would be... 
1 
2 
3 
4 
5 
6 
$ 
9 
10 
11 
12 
13 
19 
15 
16 
37 
18 
19 
20 
21 
22 
23 
24 
25 
114 
with Jeffrey Epstein? 
A. I don't know. He doesn't talk much. 
O. Okay. And Sandy Berger, do you know who that 
le? 
A. I don't know. 
O. Do you know any reason why you would have 
trim him on the airplane? 
A. I don't even know the name. 
O. 
A. I know the name 
O. Somebody who flew on the plane pretty 
regularly? 
A. I would have to look at the logs. I think 
we've had that name on several -- it's a common first 
name. I'm not familiar really on who that is. 
Q. What about Bella, do you know who Bella is? 
Is that a name you ever heard? 
A. Yes. 
Q. Works up in the New York office or something? 
A. Yes. 
O. Have you ever spoken with Bella personally? 
A. Yes. 
O. Do you know what she does for Jeffrey Epstein, 
N anything? 
A. I don't know exactly what her role is. 
116 
1 
O. Okay. So you're calling her related to 
2 
Jeffrey Epstein? 
3 
A. Sum. 
4 
O. Okay. So you know that she plays some role in 
some aspect of Jeffrey Epstein's life, whatever that is? 
6 
A. Right. 
7 
O. Okay. So when I'm asking these questions 
about those people, and I feel like I'm getting answers 
9 
that I'm not *fly not sure that these people have any 
10 
role in their life, that's not 
that's not completely 
11 
accurate, right? 
12 
MR. CRITTON: Form; argumentative. 
13 
BY MR. EDWARDS: 
14 
Q. I mean, you do know that these people are 
15 
somehow Involved with him, whether socially or 
16 
business-wise or otherwise, and during the course of 
17 
your years, you've made telephone calls on his behalf or 
15 
to coordinate things with them right? 
19 
A. Right. 
20 
MR. CRITTON: Object to the form. You said 
21 
'these people." 
22 
BY MR. EDWARDS: 
21 
O. I'm talking about 
That's 
24 
somebody you called before, right? 
25 
A Sure. 
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Larry Visoski 
October 15, 2009 
117 
O. What would be a reason you called 
2 
3 
MR. CRITTON: Object to form. Probably the 
• 
same reasons he said two hours ago, for scheduling 
5 
purposes. But you've covered that. Go ahead and 
• 
answer it again. 
• 
THE WITNESS: For scheduling purposes, would 
8 
be my only reason to call her. 
9 
BY MR. EDWARDS: 
10 
0. That's funny that you used the exact same 
11 
words that Mr. Clifton wants you to use. 
12 
MR. CRITTON: It's what he said two hours ago. 
13 
BY MR. EDWARDS: 
14 
O. What would be the reason why you would call 
15 
Ms. Maxwell, Ghislaine Maxwell? 
16 
A. Same reason. 
17 
0. That's not somebody you call these days, 
18 
though, right? 
19 
A. I haven't seen her in some time. 
20 
0. What made you stop calling Ghislaine Maxwell 
21 
where you thought at one point in time you thought she 
22 
was a person to call related to your job? 
23 
A. Just was no reason to. 
24 
0. Is that somebody who you think is still 
25 
affiliated or associated with Jeffrey Epstein or 
--
119 
1 
BY MR. EDWARDS: 
2 
0. Do you remember making that phone call after 
3 
reading the message? 
4 
A. Let me look al the date here. Okay. March. 
5 
MR. REINHART: The question is, do you 
6 
remember making the call? 
7 
THE WITNESS: Okay, let me. "Person for the 
8 
car will be here in 15 minutes to drop off foam and 
9 
Panora.' I don't know. 
10 
BY MR. EDWARDS: 
11 
0. That doesn't mean anything to you? 
12 
A. That doesn't — I mean, you're talking four 
13 
years ago. I can't answer that accurately. I mean... 
14 
MR. REINHART: So the answer is you don't 
15 
recall? 
16 
THE WITNESS: Yeah, I don't recall 
17 
BY MR. EDWARDS: 
18 
O. If you don't remember, that's fine. 
19 
(Plaintiffs Exhibit Nos. 2 AND 3 were marked 
20 
kw Identification.) 
21 
BY MR. EDWARDS: 
22 
0. So Ill show you Exhibit 3, the same type of 
23 
document, and I can make the representation that It 
24 
was message pads provided by the state attorney's office 
25 
relative to the criminal investigation revolving around 
118 
whatever he does? 
A. I'd only can speculating. I don't know. 
C All nit. Do you know the number 
MR. CRITTON: Could
 it slowly. E
tt 
MR. EDWARDS: 
Thank you. And just 
in case you didn't get it, rm going to mark those 
as an exhibit so that we can read them later. 
9 
BY MR. EDWARDS: 
10 
O. Do you know that number? 
11 
A. Yes. 
12 
O. What Is that number? 
13 
A. That's my cell phone 
14 
O. Okay. Is that still your cell phone? 
15 
A. Yes, sir. 
16 
O. All right. rm going to show you two 
17 
documents here or pieces of paper. Well mark them as 
is 
Exhibit 2 and Exhibit 3. The nun coo re dated 
19 
March 5th, 2005. Do you remember making this telephone 
20 
call? And just for the record, this looks like a 
x 
message that's being taken relative to a phone can that 
22 
you made. 
23 
MR. REINHART: So the question Is does he 
24 
remember making the phone call, 
25 
120 
1 
Jeffrey Epstein. So that's how I have these documents. 
2 
I'm not trying to pull out old documents. 
3 
MR. CRITTON: What's the date? 
4 
MR. EDWARDS: March 19th. 
5 
MR. REINHART: The question is, do you 
6 
remember the call! 
7 
THE WITNESS: Toni from Midnight Express is 
at' help me out — 'convention center with new 
9 
boat. They are two points — two parts of this." 
10 
BY MR. EDWARDS: 
11 
0. "Show"? 
12 
A. "Show up the water" --
13 
MR. REINHART: "On the water." 
14 
THE WITNESS: "On the water and at the 
15 
center.' 
16 
BY MR. EDWARDS: 
17 
O. Do you remember making that call? 
18 
A. No. I mean, Torn from Midnight Express is at 
19 
convention center with new boat. They are two parts 
20 
of' 
I mean 
21 
0. But as Jeffrey Epstein's Met. why would you 
22 
be leaving such a message about Tom from Midnight 
23 
Express relative to boats and a boat show? 
24 
A. I help out with boat purchases or, you know, 
25 
anything to do with, you know, that moves. So I mean, 
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Larry Visoski 
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121 
Q. Okay. When you say "you help out with boat 
purchases,' what do you mean? 
A. Stye my opinion, whether or not whether to buy 
a certain boat. h's just a hobby. I have knowledge on 
boats. Not only just airplanes but, you know, 
O. You give your opinion to whom? 
A. To Jeffrey. 
9 
0. Okay. And Jeffrey Epstein obviously, at least 
10 
in your mind, you believe he wants your opinion? 
11 
A. Yes. 
12 
0. Okay. So boats Is another thing that Its two 
13 
of you have discussed? 
14 
A. Yes. 
IS 
Q. All right. And so this a conversation or at 
16 
least some evidence that a conversation existed between 
17 
yourself and Jeffrey Epstein relative to a boat or a 
18 
boat show? 
19 
A Correct. 
20 
Q. Do you remember having that conversation? 
21 
A. We've had many conversations about boats acid 
22 
different boat stows. If you're referring to this one 
23 
in '05, I don't recall this one. 
24 
0. Okay. So aside from being a pilot — which 
25 
throughout this entire deposition I believe your 
123 
1 
0. And has he consulted with you on each of the 
2 
purchases? 
3 
A. Not every one of them, no. 
4 
Q. Does he own any boats now that you're awnr, 
5 
of? 
6 
A. I don't know if he owns them or not. 
7 
Q. Okay. Do you know of any boats that he 
controls or maintains? 
9 
A. Himself or? 
io 
0. How about this III ask you this way.
11 
don't want to split hairs with you here: I know we ve 
12 
been talking about corporations and things iike that. 
13 
A. Yes he. 
14 
Q. Do you know of any boats that he is the person 
15 
with the most control over? 
16 
A. Yes. 
17 
0. Okay. Where would those boats be located tini 
Is 
what lend of boat are we talking about? 
19 
A St. Thomas is the location. II would be a 
20 
34-foot Inflatable boat. I know that one specificaly. 
21 
Q. Okay. Do you know when he made that purchase^ 
22 
A Eight years ago, seven years ago. It was a 
23 
while ago. 
24 
Q. Is that smelting you had had input in" 
25 
A. Not on that one specifically, no. 
5 
6 
7 
9 
10 
11 
12 
13 
14 
15 
16 
17 
18 
19 
20 
21 
22 
23 
24 
25 
122 
testimony has been, you know, you're just the pilot for 
him -- it looks like there's some other rote that you're 
playing here in his life. I'm not suggesting that you 
aro or you are not. I'm Just saying from the appearance 
of this, it looks that way. Is there anything else that 
you want to tel me or that you want to clarify in terms 
of the role that you play in Jeffrey Epstein's life 
outside of being just his pilot? 
MR. REINHART: Let me object to form. He also 
told you he installs the audio and video equipment 
before. 
MR. EDWARDS: Co rrn.t. 
THE WITNESS: I have an interest in boats. 
You know, with the island, I don't Mirth I bought 
any boats, you know, for the company, but he 
appreciates my opinion on boat purchases. 
BY MR. EDWARDS: 
O. Okay. 
A. Having the knowledge of aviation and things 
that move quite fast. So I have consulted with him on 
boat items. 
Q. How many boat purchases are you aware of 
Jeffrey Epstein making In the time period that you've 
known him? 
A. Two or three. 
124 
Q. Is there any ether boat that you know of 
2 
Jeffrey Epstein being the primary user of or the primary 
3 
controller of? 
4 
A. I mean, there's boats in St. Thomas. I mean. 
5 
it's not pan of my job, you know, what goes on with tne 
6 
boats or who controlled them. It's more of an opinion 
7 
of what horsepower should bo on the back of the boat, 
8 
hull designs. It's out of my area. 
9 
Q. But your sole responsibility or your sole 
10 
obligation that you have ever had with Jeffrey Epstein 
11 
relative to boats is just giving some opinions about the 
12 
boat? 
23 
A. Mm-hmm. 
14 
Q. Is that yes? 
15 
A. Yes, yes. 
16 
Q. Okay. Al right. Has he ever gWen you his 
17 
opinions about boats? 
18 
A. Sure. We'vo discussed it back and forth. 
19 
Q. Other than boat conversations, have you ever 
20 
talked other conversations. such as 
21 
A. Cars. 
22 
0. Okay. How about such as -- have you ever 
23 
known Jeffrey Epstein to have a girlfriend, somebody you 
24 
consider a girlfriend? 
25 
A. No. 
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Larry Visoski 
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125 
1 
Q. In the 18 years and all the travels you had 
2 
with torn, do you know anything about Jeffrey Epstein's 
3 
sex life? 
4 
A. No. 
5 
Q. Do you know who he has Sex with? 
6 
A. No. 
7 
Q. Do you know if he has sex with anybody? 
8 
A. I don't know. 
9 
Q. Do you know If he's ever had sex on the 
10 
airplane while you've been piloting it? 
11 
A. I have no idea. 
12 
Q. That's something that you just wouldn't know 
13 
because you're up in the cockpit? 
14 
A. That is correct. 
15 
THE WETNESS: Could I take a two-minute 
16 
bathroom break just to lose my coffee? 
17 
MR. EDWARDS: Sure. 
18 
(A break was had at 1235 p.m.) 
19 
BY MR. EDWARDS: 
20 
0. All right. We're back on the record. Over 
21 
the years you've indicated that the any gifts or 
22 
other items or things given to you by Jeffrey Epstein 
23 
exclusively are the pool heater, the 40-acres of land 
24 
and the --
25 
A Use of a company --
1 27 
1 
0. Did he ever fly anywhere else with you 
2 
by helicopter or airplane in the last two years? 
3 
A. We flew one time to the Sikorsky plant. 
4 
0. What's the Sikorsky plant? 
5 
A. That's where they build the Sikorsky 
6 
helicopters. It's in Palm Beath County. 
7 
Q. And when was that? 
8 
A. Probably a month ago. I'm guessing. 
9 
0. For what purpose? 
10 
A. They gave us a tour at a facility. 
11 
Q. Who's they? 
12 
A. Sikorsky. 
13 
Q. And who requested the tour of the facility? 
14 
A. They offered it to our flight department. 
15 
a And who went? 
16 
A. Jeffrey, myself, 
and Igor. 
17 
Q. And if I wanted documentation of either of 
18 
those trips, the trip to Miami or the trip to the 
19 
Sikorsky plant, who would have that documentation? 
20 
A. I would. 
21 
Q. So I could request it from your attorney to 
22 
get it from you? 
23 
MR. REINHART: Let me Just check. 
24 
(Off the record discussion.) 
25 
MR. REINHART: Okay. He has custody of it, 
either 
126 
Q. -- and the use of a company car? 
2 
A. Yes. 
3 
0. That's it? 
4 
A. (Nodding.) 
5 
Q. Okay. 
6 
A. Yes, 
sorry, yes. 
7 
0. And the flight to Miami that was recent 
6 
taken, other than Jeffrey Epstein and 
9 
was there anybody else on that night? 
10 
A No. 
11 
0. How long -- did you also fly them back from 
12 
Miami to Palm Beach? 
13 
A No. He drove back. 
14 
0. When you say "he drove back" who drove back? 
15 
A. Well, I assume he drove back I did not fly 
16 
him back. 
1.7 
Q. When's the next time you saw him again? 
la 
A_ I would only be guessing. A week later, I 
19 
mean. 
20 
Q. Okay. And was that in Palm Beach County when 
21 
you saw him the next lime/ 
22 
A. Yes, sir. 
23 
Q. Do you know of him leaving Palm Beach County 
24 
in the last two years on any other occasion? 
25 
A. No. 
128 
1 
but they're corporate documents. So you'd have to 
2 
request it from Mr. Critton, who I understand 
3 
represents all the corporations. 
4 
THE WITNESS: Yes. 
BY MR. EDWARDS: 
6 
Q. What's the corporation that the document was 
7 
prepared for? 
A. Meaning who — what, lace Air Ghislaine, the 
9 
owner of the helicopter? Yes, Air GhlSlaine. 
10 
Q. Air Ghislaine? 
11 
A. That's the helicopter. 
12 
Q. And the name Ghislaine is obviously not that 
13 
typical of a name. Is that reference or related to 
14 
Ghistaine Maxwell? 
15 
A. 
I would assume. I have no knowledge. 
16 
Q. Nobody's ever told you that? 
17 
A. Nobodys brought it up. 
18 
Q. Okay. And how long were you at the Sikorsky 
19 
facility? 
20 
A. Three hours, four hours. 
21 
Q. And what time of day was this? 
22 
A. Nine in the morning. Nine, I think, and we 
23 
returned at one, something like that. 
24 
Q. And was the purpose to buy or purchase 
25 
anything? 
0 
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Larry Visoski 
October 15, 2009 
2 
3 
4 
5 
6 
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8 
9 
10 
11 
12 
13 
14 
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16 
17 
18 
19 
20 
21 
22 
23 
24 
25 
129 
A. They have a new helicopter being developed 
there, so there trying to look for investors in it. 
So they were Just kind of pushing their product. 
O. Do you know what Jeffrey Epstein does for a 
living for business today, these days? 
A. No. 
Q. Do you know or have you ever been to the 
Florida Science Foundation? 
A. Yes, sir. 
0. And do you know what the Florida Science 
Foundation does? 
A. Not exactly. 
Q. Well, generally? 
A. No, I don't. I mean, really, I don't 
0. Okay. Is it your understanding that Jeffrey 
Epstein is somehow affiliated with the Florida Science 
Foundation? 
A. It's my understanckng that, yes. 
0. I mean, did you just by happenstance stumble 
into the Florida Science Foundation, or was it related 
to your relationship with Jeffrey Epstein? 
A. rye heard that's where his office was. I 
mean, I have no other --
0. Why did you go there? 
A. Talk about airplanes. 
131 
0. Back in his office? 
2 
A. Yes. sir. 
3 
0. What was that conversation? 
4 
A. Give me a time frame. I mean. I've been them 
5 
several times. 
6 
0. Okay. How many times do you think you've beer 
7 
to the Florida Science Foundation? 
A. Twenty, thirty. I mean... 
9 
Q. Well. the Florida Science Foundation's only 
10 
been around since late 2007; is that right? 
11 
MR. CRITTON: Form. 
12 
BY MR. EDWARDS: 
13 
0. Something around that? 
14 
A. I don't know exactly. 
15 
O. NI right. So In the last 2O years in the 
16 
last couple of years you've been there 20 or 30 times, 
17 
approximately? 
18 
A. Yee sir. 
19 
0. And during those tines when you've been there, 
20 
without having to go through each conversation, did you 
21 
ever talk to him about the fact that he was on probation 
22 
or that he was --
23 
A. No. 
24 
0. -• any part of the criminal investigation? 
25 
A. No, not at all. 
130 
0. Talk to who? 
2 
A. Jeffrey. 
3 
O. Jeffrey just happened to be at the Florida 
.1 
Science Foundation? 
A. Yes. 
0. How did you know that he was going to be at 
the Florida Science Foundation? 
8 
A. He called me and told me. 
9 
0. And he said come to the %Title Science 
1 0 
Foundation to talk to me about what? 
11 
A. Maintenance on the airplanes, upcoming. It's 
12 
an ongoing. 
13 
0. And did he have an office there? 
14 
A. Yes. 
15 
0. So this is 
when you walked in. this is the 
16 
place that's right next to Jack Goldberger's office? 
17 
MR. CRITTON: Form. 
18 
THE WITNESS: Yes. 
19 
BY MR. EDWARDS: 
20 
Q. And you walk in and there's a reception desk 
21 
right there? 
22 
A. Yes. 
21 
0. Is that where you talked or did you talk 
24 
somewhere behind that reception desk? 
25 
A. Behind the reception area. 
1 
2 
1 
4 
6 
7 
9 
10 
11 
12 
1.3 
14 
15 
16 
17 
18 
19 
20 
21 
22 
23 
24 
25 
132 
0. What was the purpose of the conversation? 
A. We were sometimes talking about TVs, you know, 
the latest plasma that's out there, LCD, you know, 
setting up a stereo systems, you know, In the Palm Beach 
house. Thars usually the main thrust of our 
conversations these days. 
O. How woukl you know to go to the Florida 
Science Foundation on each of those occasions? Would he 
just cal you? 
A. Yeah, he would call me and say come on by or I 
got a brochure on a new Samsung. 
O. With each time you were at the Florida Science 
Foundation, how long would you stay typicaly? 
A. Ten, fifteen minutes. Not much more than 
mat. 
0. You would go there for ten or fifteen minUteS, 
have a conversation about a n.f and leave? 
A. Yes, sir. 
0. Why coukkrt you have that conversation over 
the ptione? What was it about? 
MR. CRITTON: Form. 
THE WITNESS: It it was pertaining to a TV and 
I'd have a brochure, a picture ol the TV 
one 
particular TV we looked at it was the size of a -
like five foot diagonal, so 1 had a photo of myself 
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Larry Visoski 
October 15, 
2009 
133 
1 
standing next to it or the salesperson. So I moan, 
2 
there's a reason to visually show him something 
3 
reference to that. 
4 
BY MR. EDWARDS: 
O. Did you ever communicate with Jeffrey 
6 
Epstein -- you can send him an e-mail, right? You could 
have done that? 
a 
A. Yes. 
9 
O. To send him the picture or something Ike 
10 
that, that was an option? 
11 
A. Right. 
12 
O. And what's Jeffrey Epstein's e-mail address 
13 
that you use? 
14 
A. I have to do it on my computer, you know, 
15 
with — I have to type in the prompts for it because 
16 
it's a long e-mail address. 
17 
O. Okay. How long have you e-mail corresponded 
18 
with Jeffrey Epstein? 
19 
A. Probably two years. A year to tyro years. I 
20 
mean, les fairly - something we just started doing. I 
21 
mean. we'd never done that in the past. 
22 
O. Wei, in the past he was In jail or have some 
23 
restrictions? 
24 
A. The restrictions, yes. 
25 
O. So you you'd see tem on the airplane 
135 
1 
A. We've landed in Parts. 
2 
O. You're aware that he has some control over 
3 
another piece of property over there? 
4 
A. I know we've picked up luggage at a residence. 
5 
I don't know to what extent his ownership is, if any. 
6 
O. All right. 
A. Right. 
8 
O. And are you aware that he has some employees 
9 
that listen to what he says that work in that house? 
10 
MR. CRITTON: Form. 
11 
THE WITNESS: In Paris, yes, there is one 
12 
person there. 
13 
BY MR. EDWARDS: 
14 
O. What's his name? 
15 
A. Voltzan. Because I always thought there was 
16 
nobody there. 
17 
O. Vuttzan Cauldron (phonetic)? 
18 
A. I don't know exactly. I would have to look It 
19 
up. 
20 
O. Have you talked to him before? 
21 
A. No. 
22 
O. When you've been in Paris --
23 
A. You're not going to ask why? 
24 
O. Well, I'm assuming he doesn't speak English. 
25 
A. There you go. okay. 
134 
1 
frequently? 
2 
A. Exactly. 
3 
O. So when you didn't see him on the airplane 
4 
frequently, then some of your correspondence was by 
5 
e-mail, other times by telephone? 
6 
A. Mm-hrnm. 
7 
O. And other times in person? 
A. Yes-
9 
O. And what was your e-mail — what was the 
10 
substance of the e'mall correspondence that you would 
11 
have with Jeffrey Epstein? 
12 
A. It would have to be related. I mean, you have 
13 
to give me a topic. I mean, whether it be a car 
14 
O. Never about the criminal Investigation? 
15 
A. Oh, no, no, never. 
16 
O. Do you know what his intention is or his plans 
17 
are for when he is off probation? 
18 
A. No idea. 
19 
Q. Or off community control? 
20 
A. I have no Idea. 
21 
O. Has ho ever indicated to you he wants you to 
22 
fly him to some other location outside the United States 
23 
to live permanently? 
24 
A. Oh. no. 
25 
O. Have you ever flown to his place in Parts? 
136 
1 
O. So I thought there was no need tor that? 
2 
A. Okay. I just wanted to see. 
3 
O. Where do you stay when Jeffrey Epstein Is in 
4 
Pans? 
5 
A. A hetet 
6 
Q. Okay. And in New Mexico, when you land there. 
7 
you stay on the ranch somewhere. but at your place? 
8 
A. I stay at my place. 
9 
O. And In New York, you have an apartment that he 
10 
sets you up at, right. the 301? 
11 
A. Yes. I have a oleos I could stay. 
12 
O. And In St. Thomas? 
13 
A. Hotel. 
14 
O. And in Paris you stay at a home? 
15 
A. (Nodding.) 
16 
O. Are there any other properties such as what we 
17 
were talking about today — I'm not saying Jeffrey 
18 
Epstein Is the sole owner or direct owner, but any other 
19 
properties that you're familiar with that Jeffrey 
20 
Epstein is - has direct a
ss to and at least it gives 
21 
the appearance to you that he is the owner or controller 
22 
of that property? 
23 
MR. CRITTON: Form. 
24 
THE WITNESS: Name the list that you've 
25 
stated. 
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Larry Visoski 
October 15, 2009 
137 
1 
BY MR. EDWARDS: 
2 
O. The Manhattan house. 
3 
A. Yes. 
4 
0. Mansion or whatever we want to call it, the 
5 
Zorro Ranch, the island of St. James. the Palm Beach 
6 
house. 
7 
A. Mm-hinm. 
8 
O. And the Paris place. 
9 
A. There all I'm SWAM of. 
10 
O. And have you ever at any of those five places 
11 
hung around him and stayed around him for -- during the 
12 
daytime for the course of an entire day? 
13 
A. No. 
14 
O. Afl right. So do you know what he does during 
15 
his days while he's there? 
16 
A. No. 
17 
O. Are you aware of a list of underage guts that 
18 
is kept to come over and service him each of those days? 
19 
MR. CRITTON: Form. 
20 
THE WITNESS: Absolutely not. 
21 
BY MR. EDWARDS: 
22 
0. I'm the fast person to ever even imply that 
23 
to you, right? 
24 
A. A list, yes, you are. 
25 
0. Okay. Have you ever been made aware that 
1 
2 
1 
4 
5 
a 
7 
8 
9 
10 
11 
12 
13 
14 
15 
16 
17 
18 
19 
20 
21 
22 
23 
24 
25 
139 
BY MR. EDWARDS: 
Q. And ask you about some of the allegations in 
here and see if you know anything about them. It 
indicates he owns a flight of aircraft that includes a 
Guffstream, a helicopter, and a Boeing 727. True? 
MR. CRITTON: What's the question? 
THE WITNESS: Please repeat. 
BY MR. EDWARDS: 
O. Are you aware of him owning a Gulfstream IV 
aircraft, a helicopter and a Boeing 727? I think we 
talked about it, right? 
A. Right. 
0. Okay. And it indicates a fleet of motor 
vehicles? 
MR. CRITTON: Wait a minute. He said right, 
is that we talked about it, as distinct from him 
knowing one way or another. 
THE WITNESS: What's the question? 
BY MR. EDWARDS: 
0. Do you know that he owns those things? 
A. I do not know that he owns them. 
O. Do you believe that he owns those things? 
MR. CRITTON, Form. 
THE WITNESS: I would be guessing, so. 
138 
keeps a list of underage girls to service 
2 
Jeffrey Epstein for sexual purposes? 
3 
A. I am not aware of them. 
MR. CRITTON: Form to the last question. 
5 
BY MR. EDWARDS: 
Q. Have you ever been made aware that Ghistaine 
Maxwell keeps a list of girls in the nearby areas of 
8 
each of -- at Jeffrey Epstein's residences to service 
9 
him sexually? 
xo 
A. No. 
11 
MR. CRITTON: Form. 
12 
BY MR. EDWARDS: 
13 
0. Okay. Have you ever read some of the 
14 
complaints that have been filed against him in the 
15 
various courts, whether state court or federal court. 
16 
against Jeffrey Epstein? 
17 
A. No, I have not. 
28 
0. All right. So this Jane Doo 102 versus 
19 
Jeffrey Epstein. you're not familiar with who that 
20 
person Is? 
21 
A. No idea. 
22 
O. Okay. I'm going to mark Jane Doe, one of the 
23 
22, versus Epstein as Exhibit No. 4 to this deposition. 
24 
(Plaintiffs Exhibit No. 4 was marked for 
25 
identification.) 
140 
1 
BY MR. EDWARDS: 
2 
Q. What does the company NES. LLC, do to your 
3 
knowledge? 
4 
A. I have no idea. 
5 
O. How does that company generate profit. if you 
6 
know? 
7 
A. I have no Idea. 
O. Thars the company that pays your paycheck. 
9 
but you have absolutely no clue what they do to generate 
2o 
money? 
11 
A. No, sir. 
12 
0. If anything? 
13 
A. Correct. 
14 
O. Have you ever heard that that company 
15 
generates money through sex trafficking of young girt 
16 
MR. CROTON: Form. 
17 
THE WITNESS: Absolutely not. 
18 
BY MR. EDWARDS: 
19 
O. Never, okay. Have you ever heard that Jeffrey 
20 
Epstein has a sexual preference for underage grls? 
21 
Other than what you've read in the newspaper, have you 
22 
heard that from any other individuals before? 
23 
A. No. 
24 
0. Ever heard that he has had sex or sexual 
25 
relationships with many minor gals, some as young as 12 
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Larry Visoski 
October 15, 2009 
143. 
1 
years old? 
2 
MR. CRITTON: Form. 
3 
THE WITNESS: No. 
4 
BY MR. EDWARDS: 
5 
Q. Never? 
6 
A. Never. 
7 
0. Have you ever seen any photographs in any of 
8 
his homes depicting young-I0Cking girls engaging in sex 
9 
acts? 
10 
A. No. 
11 
0. Or reading directly from the complaint, 
12 
•engaged in lewd acts"? 
13 
A. No, absolutely not. 
14 
0. Have you looked around the walls of his 
15 
various homes when you're In there picking up luggage? 
16 
A. I mean, not arty more than I walked in here and 
17 
not looking at the waits over there, I couldn't tell you 
Is 
what those are: so nothing specific. 
19 
0. Sometimes we're talking about a 50,000 square 
20 
loot house? 
21 
A. Exactly. 
22 
0. In Manhattan? 
23 
A. It's pretty dg. 
24 
0. Okay. Have you ever looked at any of his 
25 
computers for any reason? 
143 
I 
about that? 
2 
MR. REINHART: Hold on. The question is have 
3 
you ever been told that fad that he just read to 
4 
YOU? 
5 
BY MR. EDWARDS: 
6 
0. RIgN. 
7 
A. I have never been told that fact. 
a 
0. Has anybody ever questioned you about your 
9 
possible involvement with helping to facilitate 
10 
Mr. Epstein have sex with underage girls? 
11 
A. No. 
12 
0. When you were questioned by either the police 
13 
or the -- whoever the investigative resource that was 
14 
being used at the time? 
15 
A. Right. 
16 
0. Do you remember who that person was that was 
17 
questioning you? 
18 
A. No, I don't remember. 
19 
Q. I know you don't know the location where it 
20 
was, but do you remember who they were affiliated with? 
21 
A. No. 
22 
0. Was it only one tkne? 
2.3 
A. Yes. 
24 
0. Did you also have to testify before a grand 
25 
jury proceeding? 
142 
A. No. 
O. I know that you helped set up some of the --
A. Computers are not my expertise. 
Q. All right. Have you ever boon told that 
Mt Epstein committed sex acts against underage girls on 
a literal deity basis, that's what he does? 
7 
A. rye never been told that. 
8 
Q. Have you ever read the complaints against hirn 
9 
that Indicate that's what he does on a daily basis? 
10 
MR. CRITTON: Form. 
11 
THE WITNESS: No. 
12 
BY MR. EDWARDS: 
13 
0. So in your mind, you never believed that you 
14 
were transporting around somebody whose sole goal Et 
15 
He is to get -- have sex with time girls? 
16 
MR. CRRTON: Form. 
17 
THE WITNESS: I never believed that, no. 
18 
BY MR. EDWARDS: 
19 
Q. Okay. Have you ever been told that he 
20 
conspired with others, including assistants andtor his 
21 
drivels andMi pilots and his friend Ohislaine Maxwell, 
22 
to further these sex acts and to avoid police detection? 
23 
MR. CRITTON: Form. 
24 
BY MR. EDWARDS: 
25 
0. Have you ever — anybody ever questioned you 
144 
1 
A. No, I did not. 
2 
0. Have you ever known Mr. Epstein to got a 
3 
massage whde on an airplane? 
4 
PHONE ATTORNEY: This is everybody in Boone, 
5 
Charles and the witness is here and the court 
6 
reporter and the videographer. 
7 
MR. EDWARDS: Fantastic, but I think that you 
may have the wrong room. 
PHONE ATTORNEY: I was told to ask for 856. 
10 
MR. EDWARDS: Let's go off the record. 
11 
(Off the record discussion.) 
12 
BY MR. EDWARDS: 
13 
0. All right. In the complaint. I'm going to 
14 
tell you what it aleges and rm gong to ask if this 
15 
helps to refresh your recollection about any of Jeffrey 
16 
Epstein's activities. The defendant. Jeffrey Epstein, 
17 
transported the plaintiff to another state in order to 
10 
engage in sex acts with her. And this occurred when sno 
19 
was merely 15 years old. 
20 
Do you remember transporting somebody that 
21 
looked like they were 15 years old on your airplane? 
22 
A. No, sir. 
23 
0. You never remember taking a 15-year-old, or 
24 
somebody that looks around that approximate age, on you-
25 
airplane? 
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Larry Visoski 
October 15, 2009 
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145 
A. Can you be more specific? 
Q. Wel, I know that you've Indicated earlier in 
the deposition that you remember some gins under the 
age of 18 on the airplane. And so let me aSk. before I 
get back into this. whether al those indMduais you 
were talking about wore accompanied by a parent or some 
of those people were on the airplane for some other 
purpose, modeling, or you don't know wtly they were 
there? I'm going to let you elaborate on who thee* 
people are that you beams may have been wider the age 
of 18 and why you think they were on the airplane? 
MR. CRITTON: Form_ 
THE WITNESS: We've had younger people on the 
airplane that have been, you know, with their 
family members, like you said. I dont remember 
transporting anybody that was of questionable age. 
I'm not rd orty be guessing at sornebodys age 
if l didn't ID them at the foot of the airplane. 
So I can't guess to their age. 
BY MR. EDWARDS: 
Q. All tight. 'Mr. Epstein used his private jet 
10 transport the male( plainllIto Manhattan where he 
provided her spending money and aCeOrnrnodations with AIM 
at his mansion.' 
Co you have any idea who that might be 
3.47 
1 
O. To Santa Fe? 
2 
A. Yes. 
3 
O. To Los Angeles? 
4 
A. Yes. 
5 
O. To San Francisco? 
6 
A. Yes. 
7 
O. To St. Louis? 
a 
A. Yes. 
9 
Q. An right. Continuing to IMemational 
10 
destinations, including Europe, have you ever flown it 
11 
to Europe? 
12 
A. Yes. 
13 
Q. The Caribbean? 
14 
A. Yes. 
15 
O. And Atka? 
16 
A. Yes. 
17 
O. On those Nights to those various places, is 
18 
k your — to the best of your knowledge. you were 
19 
unaware of Jeffrey Epstein engaging in sex with underage 
20 
girls on his airplane? 
21 
MR. CRI170N: Form. 
22 
THE WITNESS: I have no knowledge of any of 
23 
that. 
24 
BY MR. EDWARDS: 
25 
O. 'He provided accommodations with him 
3.46 
1 
referring to? 
2 
MR. CRITTON: Form. 
3 
THE WITNESS: No, sir. 
4 
BY MR. EDWARDS: 
5 
Q. And you dont remember being a pilot of an 
6 
airplane where he was transporting a 15-year-old to 
7 
Manhattan from Miami or Palm Beach? 
A. No. I'd be guessing at somebody's age and I 
9 
can't guess. 
10 
O. 'Defendant transported plaintiff in his 
11 
private jet to locations that included Palm Beach, New 
12 
York City, Santa Fe, Los Angeles, San Francisco, 
13 
St. Louis.' 
14 
Do you remember ever piloting his airplane to 
15 
those destinations that I just mentioned? 
16 
MR. REINHAFtT: Can we break them down? 
17 
ObjectIon: compound. 
IS 
MR. EDWARDS: Okay. 
19 
BY MR. EDWARDS: 
20 
Q. Have you ever flown his airplane to Palm 
21 
Beach? 
22 
A. Yes, sir. 
23 
O. Okay. Have you ever flown It to New York 
24 
ay? 
25 
A. Yes. 
148 
I order 
1 
to have her available to him at all times whenever he 
2 
wanted, including while transporting the minor plaintiff 
3 
on his private }et .° 
4 
?bars someiting that you had no knowledge of? 
5 
A. (Witness shakes head.) 
6 
O. You have to a yes or no. 
A. I'm sorry, no. 
Q. 'Each time they would travel to one of these 
9 
destinations, the same pattern of sexual abuse would 
10 
occur, often with a vast array of aspiring models, 
11 
actresses, celebrities, and/or other females, including 
12 
minors from all over the world.' 
13 
Again, that's something you have no persona,
14 
knowledge of? 
15 
A. No. 
16 
O. Has anybody ever indicated that it you did 
17 
have personal knowledge of some of these things, then 
19 
you could also have been implicated in some form of a 
19 
aims? Has any law enforcement or anybody ever 
20 
indicated that to you? 
21 
A. No. 
22 
O. Okay. Is that something you've ever worried 
23 
about? 
24 
A. NO. 
25 
Q. All right. 'Upon information and belief, 
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Larry Visoski 
October 15, 2009 
149 
I 
defendant transported minor gins from Turkey.- Did you 
2 
ever leave in one of his airplanes out of Turkey? 
A. I'd have to look at the records. I don't 
recall Turkey. 
Q. Do you ever remember taking any minor girls 
e 
out of Turkey? 
7 
A. No. I don't remember. 
8 
Q. What records would you have to look at to see 
9 
N you took people out or left out of Turkey? 
10 
A. I'd have to took at the flight logs, but I 
11 
personally don't remember flying into Turkey. 
12 
O. And would the flight loge coming into the 
13 
United States from Turkey indicate the names of the 
14 
people on the plane? 
15 
A. They might 
16 
O. Okay. Where would I get those particular 
17 
ffight logs that would have that 
18 
A. Depended upon what year you're taking. 
19 
0. We're talking in this particular complaint 
20 
between 1998 and 2002. 
21 
A. I'm not -- I don't possess those passenger 
22 
manifests. 
23 
O. Do you know who would possess those? 
24 
A. That would be I guess .-
25 
MR. REINHART: Do you know who has them today? 
151 
1 
ever flown to or from in a Jeffrey Epstein airplane? 
2 
A. We have flown to Prague. 
3 
O. Okay. Have you picked people up in Prague and 
4 
flown out of Prague? 
5 
A. I don't remember. 
6 
0. I'm not saying no. you didn't, but 
7 
A. Best of my knowledge. 
0. 
you don't remember? 
9 
A. Exactly. Best of my knowledge, I don't 
10 
remember. 
11 
Q. Do you remember the reason for going to Turku) 
12 
or to Prague? 
13 
A. No. 
14 
D. This also says Asia. Have you ever flown 
15 
or from Asia with Jeffrey Epstein? 
16 
A. Yes. 
17 
0. Or on a Jaffrey Epstein airplane? 
38 
A. Yes. 
19 
a 
Do you know the purpose of those flights to 
20 
and from Asia? 
21 
A. No. 
22 
O. Did it ever occur to you that maybe H was to 
23 
pick up minor Os for him to have sex with on the back 
24 
of the airplane? 
25 
MR. CRITTON: Form. 
150 
THE WITNESS: I do not know who has them 
today. 
3 
BY MR. EDWARDS: 
0. Who did you give thorn to? 
A. Actually, I didn't give them to anybody. Dave 
Rogers was in possession of those logs. So I don't know 
7 
where they are right now. 
8 
0. You're still thinking that the best evidence 
9 
of that, any flight that may have left out of Turkey, 
10 
would be in the flight logs that's marked as Composite 
11 
Exhibit 1, or are we talking about the manifests that 
12 
we've been referring to? 
13 
A. I don't know how accurate that log book is or 
14 
even how accurate the passenger manifest is. 
15 
0. Okay. So there may be no actual documentation 
16 
indicating a flight leaving out of Turkey when. in fact• 
17 
a flight may have left out of Turkey? 
1e 
A. Correct. 
19 
Q. Okay. The Czech Republic is the next place 
20 
listed. Is that a place you've flown to or nom in a 
21 
Jeffrey Epstein airplane? 
22 
A. More specific, could you name the city? 
23 
0. I Can't name the city, al least the complaint 
24 
doesn't name the city. But I've been to the Czech 
25 
Republic before. Anywhere within that country, have you 
152 
1 
THE WITNESS Never occurred to me. 
2 
BY MR. EDWARDS: 
3 
0. Did you ever hear that he maintained some of 
4 
these underage girls as Sox slaves --
5 
A. Never heard of such a thing. 
6 
0. -- from the age of 12 through the age of 16? 
7 
MR. CRITTON: Form. 
8 
THE WITNESS: No knowledge of that. 
9 
BY MR. EDWARDS: 
10 
0. Ever picked up cps that looked young, many 
11 
of whom who spoke no English? Do you ever remember 
12 
that? 
13 
A. Zero. do not. 
14 
0. All right. The complaint goes on to say, 
is 
'Ptarnillf was required to be sexually exploited by 
16 
defendant's adult male peers. including royalty.° St 
17 
rm going to talk, do you have any familiarity with 
18 
Prince Andrew? 
19 
A. I know who he is. 
O. Was he ever on the airplane? 
71 
A. He may have boon on the airplane. 
22 
Q. Do you remember him on the airplane with young 
23 
girls? 
24 
A. No.1 do not. 
25 
0. Do you remember Jeffrey Epstein flying in tc. 
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Larry Visoski 
October 15, 2009 
153 
meet with Prince Andrew? 
A. I dent remember. I know that happened, but I 
couldn't be accurate. 
0. Has Prince Andrew ever been on the airplane at 
the same bore as a young girl, to the best of your 
memory and knowledge? 
A. To the best of my knowledge. no. 
0. This also says politicians. taking about 
9 
local or U.S. politicians. Do you remember certain 
le 
politicians being on the airplane? 
11 
A. No — I mean yes, I do. 
12 
0. What politicians would that be? 
13 
A. President Clinton. 
14 
0. Okay. Who else? 
15 
A. Former president of Israel 
help me out with 
16 
the name. Barak? 
27 
Q. Ehud Barak? 
28 
A. Yes, those are the two that I remember. 
19 
Q. How many times was Ehud Barak on the airplane 
20 
that you piloted for Mr. Epstein? 
21 
A. Maybe once. 
22 
Q. And where did that flight pick up arid where 
23 
did it go to. to the best of your memory? 
24 
A. Best of my memory, it was Palm Beach to 
25 
Teterboro. 
1 
2 
3 
4 
5 
6 
7 
a 
10 
11 
12 
13 
14 
15 
16 
17 
18 
19 
20 
21 
22 
23 
24 
25 
155 
BY MR. EDWARDS: 
0. Okay. Do you remember who else was on that 
flight that left after 10 p.m.? 
A. No. I do not. 
Q. Do you remember why it left after 10 p.m.? 
A. No, I do not. 
Q. Do you remember Jeffrey Epstein instructing 
you to wait until after 10 p.m. to leave? 
A. No. 
Q. Would you have listened to him if he had told 
you -- if he had instructed you to do that? 
A. I don't understand the question. 
0. Well, it he told you wait until after 10 p.m.. 
I realize there's going to be a fine, but wait until 
after 10 p.m. to leave, intentionally leaving 
after 10 p.m., do you remember that instruction ever --
A. No, I donl remember that Instruction. 
0. Okay. 
A. I mean, it just happened to be departing 
after 10 and there is a penalty for leaving after 10 for 
noise. So there was no intention to... 
0. Al right. This also talks about this 
particular person 15 years old being sexually exploited 
by businessmen and/or other professional or personal 
acquaintances. Are you aware of other personal or 
154 
Q. Where is Teterboro? 
A. In New Jersey. 
Q. And what was the purpose of that flight, do 
4 
you know? 
A. I don't know. 
0. Was Jeffrey Epstein on the flight? 
A. I'd have to look at the flight logs to 
guarantee. 
9 
Q. Anything about that flight stick out In your 
10 
mind? 
11 
A. None. 
12 
0. Such as a fine needing to be paid because It 
13 
left after 10:00 p.m.? 
14 
A. For that was the fight, yes. 
15 
Q. You remember that? 
16 
A. les coming back to me. 
17 
0. And do you remember young girls being on that 
18 
flight? 
19 
A. No. 
20 
Q. AA right. 
21 
A. I remember the tine. 
22 
Q. Do you remember who paid the fine? 
23 
MR. CRITTON: Hold on. Let me object to tan 
24 
of the question. To you remember it suggests 
25 
that there were. So form, predicate. 
1 
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21 
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156 
professional acquaintances of Jeffrey Epstein also 
sexually abusing or exploiting little kids or underage 
girls on your airplane? 
MR. CRITTON: Form. 
THE WITNESS: No. 
BY MR. EDWARDS: 
0. If you had been aware that Mr. Epstein was --
and by this -- this is more in the form of a 
hypothetical, and that I'm not going to suggest to you 
ire a fact that he was. But if you had been aware that 
every single day Jeffrey Epstein's goal was to locate 
underage girls for the purposes of sex, and enter have 
sex with them on the airplane or at some other 
designation that you were destination that you were 
traveling him to, would you have continued to pilot 
those planes? 
MR. CRITTON: Form. 
THE WITNESS: You said It was hypothetical? 
BY MR. EDWARDS: 
0. Right, It is a hypothetical. 
A. Why would I want to answer that? Because 
you're being hypothetical. I mean, it would obviously 
be wrong. 
Q. Sure. Well, a hypothetical question is a 
legal question that I'm allowed to ask. 
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