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Depositions (6,483 documents)
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oO OD Ns TD oO FP WwW NS
~0929104.TXT
already have his phone number room and e-mail.
How about ee: Have you ever
spoken to her about your case?
A.
a
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oOo ODN OO oO eF WwW KH
~0929104. TXT
Q. Now you also tie to the police, don't you?
A. No.
Q. Well, you lied to the police in your
tape-recorded statemen
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on On TO BP WwW LN
~0929104.TXT
THE WITNESS: Can you repeat the question?
MR. LEOPOLD: Let me just state for the
record --
BY MR. TEIN:
Q. Once the police -- isn’t it true that
Mr. Epstein's proc
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oo oO 8B NN DO oO PP & NG
~0929104. TXT
MR. LEOPOLD: Well, that's the impression
you must have made in the courtroom.
| will not be quiet.
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MR. TEIN: That's obnoxious. Stop being
ob
yay
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~0929104. TXT
MR. TEIN: Certify it.
MR. LEOPOLD: Please.
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BY MR. TEIN:
Q. You asked your co-workers --
MR. LEOPOLD: [t's vague and ambiguous.
BY MR. T
~0929104. TXT
14 BY MR. TEIN:
15 Q. So you haven't given anything physical --
16 A. No.
17 Q. -- any item to any prosecutor, police
18 officer or law enforcement agent, correct?
19 A. My cell phone
~0929104. TXT
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1 Mr. Herman in the presence of i:
2 A. None.
3 Q. What discussions did you have in the
4 presence of her aunt?
5 A. Of my aunt?
6 MR. GOLDBERGER: It's the witness's aunt.
7 B
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oO Oo A OD TO SF W DN
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A. Uh-huh.
Q. -- did anyone ever discuss with you that
you could get reimbursement for your damages?
A. No, si
~0929104. TXT
42
3
4 Q. All right. Let's talk about what happened
5 after the massage was over.
6 A. Okay.
7 Q. After the massage you told Epstein that you
8 wanted to bring your twin sister back
~0929104. TXT
18 Q. That's the lawyer who first sued Epstein on
19 your behalf, right?
20 A. Yes.
21 Q. Has Mr. Herman advanced your family any
22 money?
23 MR. LEOPOLD: Any conversations that you'
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oOo O OA NN ODO oO FPF WwW NY
~0929104. TXT
A. | have no idea what you're talking about.
Q. Tell me about when the federal prosecutors
spoke to yo
A J don't know. We never talk about it because |
was -- ] didn't like the whole situation.
Okay. Did he ever touch you?
Yeah.
In what way?
My back and my butt.
Did he ever. did he ever take oul any to
soos
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OAT IN Lote
oe
me
fa MS
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Lie
you upstairs?
A Yeah.
Q. Okay. How does she take you upstairs? How did
vou --
A She just sar follow me.
Q Did she -- did you go up a big staircas
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mo ON DB Vu S&S WY Nf
2007-04-25 [ll ocr
BY MS. BILAFONIA:
Q. Did you ever say anything about, you know, be
careful who you talk to about this or I guess
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Oo ON OD VS Ph WwW Ne
PP ok
NY FE ©
2007-04-25 | gy
Q. what exactly -- what guidance did she give you
A. Yeah.
about recruiting the girls?
A. She didn't give me
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© ON DU F&F wWN BP
al lel ee ee
ON OU RB WN BO
2007-04-2 Sn Tx
Q. And just so you know, | | we're not talking
about necessarily crack cocaine. we're wondering if
anybody was taking a
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Oo Tn Dn uw B WN
He ee Pe BP Pp
N Dm Vw FP W NHN SE OC
2007-04-25 <r
going over there? You said you had a baby and you
changed?
A. Yeah.
Q. what happened?
A. Everything
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po ON Dw BP WwW NY PP
Poe Pe eH
uw PB WN FO
2007-04-25 EE <1
A, Awesome, I love it. I love it.
Q. Yeah, he'll be two in August.
A. Mine will be two in June.
BY MS. BILAFO
a
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oO ON DD VM FR WwW NY
NN NN BOP BRB Be HB BP BP BP BP we
wN FP OCH ON RH PB WDN BO
2007-04-25 FB +x:
expecting that, but they told Jeffrey that, you know,
47
they were comfortable with it.
so
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oO en OD WwW BP WN
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2007-04-25 |
This was before the baby. And I asked him -- I asked him
for like 300. I don't I couldn't
tell you how
po oN DH Lf
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2
Q. What did you say to him? How did you put him
of Ff?
A. I don't know. oh, well, I don't know. No, he
wasn't like begging me or any
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Oo Oo nN DM fF WwW N FH
btn!
uw 8
2007-04-25) <r
Q. Now you said that you had teased Jeffrey about
whether he was getting married. Did you ever know him to
have
f™
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Oo AN Du BS WwW NY BH
2007-04-25 EE. 1x7
was wonderful, great.
Q. And when you would talk to the chef --
A. Yes,
Q. -- would anybody else from the h
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oO BN WD WwW BP WwW NN we
PR
nN FO
2007-04-25 ME <7
available, they'd, you know, he said, the chef or you
know, whoever, said Jeffrey will get back to you. Yeah,
m
i
f \
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Oo CBN DO Ww FP W NN FH
el ee
B WN FB OS
2007-04-25 a |.;
town or would she -- how far in advance would she call
you?
never called me from anywhere else. It
Oo ea nN OD MW Rh WwW NF
NNN NNN BBP eB PP BP eB PR
“Vw BW N BP Ow &BD NOU BW NY BO
2007-04-25 |
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Q. How did you know you screwed up?
A. He doesn't Tike black women, obviously.
Q. So he let you k
cn
nsor & Associates
“Reporting and Trenesiption, Ins,
Q. Ckay. And clearly, you had some debt based
on what your boyfriend had done tao you and you wanted to
get paid for this massage?
A. Correct
: ‘Reporting and Trenserptioa, Tan.
telephone at any time, did you?
A. No.
pen DTarpat yor racy Ts ASAE EE
Q. Thank you.
So I think what I'm hearing you tell me is
DFT ARE CATT
that your going
Page 14
1 Q. And I would assume based on what you've
been telling me, that Mr. Epstein never threatened you in
any way?
A. No.
5 Q. In fact, I think you described him as being
a nice guy, right?
nsor & Associates
< Reporting wud Traseription, Inv.
he may ask me to do other things.
Pace 9
Q. Most importantly though, before you went
over there, no one tried to persuade you to engage in any
32. Plaintiff Brunel continues to own and operate Plaintiff MC2 to this day, their names
never having been cleared from the massive and totally negative media coverage involving
Epstein and his illega
that Fox has placed models with Plaintiff MC2 in the past with absolutely no problems.
However, because of the false internet trafficking links between Plaintiffs and Epstein, Fox states
that it canno
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wife)
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been prepared by the state's attorney's office but he didn't
know. So what happens then with this transcript is, ther
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033628 1 couple of lines above it that do refer to Virginia 0338027 1 A. The lawyer -- look, this is not the first
033633 2 Roberts, put it in the context. 033827 2 time --
033641 3 My question
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osteoo 1 Idon't know.
steco 2 Q. And what they did with the fact that Courtney
o3ste04 3 Love and Donald Trump were circled, you don't know also,
o3t¢08 4 correct?
oste08 | 5 A. That's right. Fai
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Filing # 37201585 E-Filed 01/29/2016 03:47:44 PM
IN THE CIRCUIT COURT OF THE
SEVENTEENTH JUDICIAL CIRCUIT
IN AND FOR BROWARD COUNTY, FLORIDA
CASE NO.: CACE 15-000072
BRADLEY J. EDWARDS and
PAUL G.
300 302
ostz20 41 And rather than say, hey, we don't have any o3ta4t 1 the United States Attorney for the Southern District of
031122 2 such documents, the U.S, Attorney's Office gave us the 03:13:48
312 314
032427 «1 THE WITNESS: Well -- well, who -- I'm sorry. 032602 1 MR. SIMPSON: Okay. I --
032430 2 Who was that? The speaker? I want to know who 032602 2 THE COURT REPORTER: I can't hear.
o3243
Q. Okay. You felt that it furthered her legal break. I appreciate that.
Q. Okay.
MR. SCAROLA: Could you just read back the
02:58:26 03:04:31
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ESQUIRE DEPOSITION SOLUTIONS
(954) 331-4400
268 270
oz3as2 1 believe, please provide me with any such reason. 02:35:33 1 In the context of this case, to say, you have
eras | 2 I am certain I can demo
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