Back to Results

DocumentCloud_Epstein_Docs_p00833.png

Source: DOCUMENTCLOUD  •  Size: 369.9 KB  •  OCR Confidence: 94.6%
View Original Image

Extracted Text (OCR)

Case 18-2868, Document 280, 08/09/2019, 2628232, Page14 of 74 THE WITNESS: Well, beyond companionship, her job, as it related to me, was to find other girls that would perform massages for him and herself.” Ms. Sjoberg also testified about sexual acts that occurred with her, Prince Andrew, and Ms. Giuffre, when she and Defendant were staying at Epstein’s Manhattan mansion: Q. Tell me how it came to be that there was a picture taken. THE WITNESS: I just remember someone suggesting a photo, and they told us to go get on the couch. And so Andrew and Virginia sat on the couch, and they put the puppet, the puppet on her lap. And so then I sat on Andrew’s lap, and I believe on my own volition, and they took the puppet’s hands and put it on Virginia’s breast, and so Andrew put his on mine.* Ms. Sjoberg’s testimony corroborates Ms. Giuffre’s account of how Defendant recruited her (and others) under a ruse of a legitimate job in order to bring them into the household to have sex with Epstein. Ms. Sjoberg’s testimony also corroborates Ms. Giuffre’s account of being lent out to Prince Andrew by Defendant, as even the interaction Ms. Sjoberg witnessed included a sexual act: Prince Andrew using a puppet to touch Ms. Giuffre’s breast while using a hand to touch Ms. Sjoberg’s breast. 2. It is an undisputed fact that Tony Figueroa testified that Defendant would call him to bring over underage girls and that Defendant and Epstein would have threesomes with Ms. Giuffre.° Tony Figueroa testified that Plaintiff told him about threesomes Ms. Giuffre had with Defendant and Epstein which included the use of strap-ons: Q. Okay. And tell me everything that you remember about what Ms. Roberts said about being intimate with Ms. Maxwell and Mr. Epstein at the same time. A. [remember her talking about, like, strap-ons and stuff like that. But, I mean, like I said, all the details are not really that clear. But I remember her talking about, like, how they would always be using and stuff like that. Q. She and Ms. Maxwell and Mr. Epstein would use strap-ons? A. Uh-huh (affirmative). RK 3 See McCawley Dec. at Exhibit 16, Sjoberg Dep. Tr. at 8:5-10; 13:1-3; 12:17-14:3; 15:1-5; 32:9-16; 34:5-35:1; 36:2-15. * See McCawley Dec. at Exhibit 16, Sjoberg Dep. Tr. at 82:23-83:9. > Defendant attempts to discredit Figueroa’s damaging testimony by repeatedly mentioning that he has been convicted for a drug-related offense. Unsurprisingly, in this attack, Defendant does not mention that she has a DUI conviction. See McCawley Dec. at Exhibit 11, Maxwell Dep. Tr. at 390:13-15. (April 22, 2016). 6

Document Preview

DocumentCloud_Epstein_Docs_p00833.png

Click to view full size

Extracted Information

Dates

Document Details

Filename DocumentCloud_Epstein_Docs_p00833.png
File Size 369.9 KB
OCR Confidence 94.6%
Has Readable Text Yes
Text Length 2,612 characters
Indexed 2026-02-04 12:26:34.103955