DOJ-OGR-00012946.jpg
Extracted Text (OCR)
be
N
Ww
ws
Oo
OY
~]
oO
WO
Ww
a
OY
20
21
22
23
24
25
Case 1:20-cr-00330-PAE
LC6VMAX6
she was asked to wear a schoolgirl]
Document 751
Filed 08/10/22 Page 195 of 261
OUT ELE.«
And the jury will
know that
that's
true because
Epstein did, in
fact, possess
such outfits;
people
that is a very specific
practice.
to wear them;
that it was his practice to maintain them,
that
what she
to ask
told the jury was true; that
type of
costume,
and that was his
It corroborates her testimony.
The point is not to identify these as the particular
outfits,
his practice and, thus,
credible.
That's why we're of
but to corroborate the
fact
that that was, in fact,
that her testimony on that score was
MR.
practice.
that they are also ignoring the 403 issue.
sort of
trying to boo
There's one person's experience.
EVERDELL:
tLstrap here.
to say anything about a schoolgirl]
fering this evidence,
Your Honor,
your Honor.
the government is really
This is the one witness who's going
outfit. There's no
weight issue;
found
practice cert
show these it
to the witness who act
15 years after the
tainly.
fact,
it goes to prejudice.
I mean,
And I would think
It's not just some
When an item is
it doesn't establish a
And it's extraordinarily prejudicial to
tems to the jury when they ar
about a schoolgirl outfit.
Ee
G
17
COURT:
not even linked up
tually is the one person who has a story
I'm inclined to agree.
sit here, 4
grounds,
0
think it's probably out. I
1/403 grounds -- wel
look at the specific
1, first yes,
but
testimony, I think, as
401/403
don't know whether --
SOUTHERN D
STR
CT REPORTERS, P.C.
(212)
805-0300
1356
DOJ-OGR-00012946