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Extracted Text (OCR)
Case 18-2868, Document 283, 08/09/2019, 2628241, Page415 of 883
30. Additionally, on 8 January 2015, agents reportedly acting on behalf of Ms.
Maxwell made statements that the allegations against her were a “web of lies and deceit”,
which are similar to the statements made against Ms. Giuffre in the message from Mr. Gow.
31, Similarly, on | February 2015, like statements were quoted as “These allegations
714 which are similar to the statements made against Ms. Giuffre in
are untrue and defamatory
the message from Mr. Gow.
32. Based on my investigation and research, news stories, articles, and postings
containing direct reference to or quotes from the statements made against Ms. Giuffre appeared
the same day (i.e., 2 January 2015) as the email from Mr. Gow, with several news organizations
and other sites publishing other articles containing direct reference to or quotes from the
statements made against Ms. Giuffre in the immediately following days. News articles
containing direct reference to or quotes of the statements made against Ms. Giuffre have
continued to appear in news articles and other postings nearly up to the date that I submitted this
report.
33. A timeline of events relating to the dissemination of the statements made against
Ms. Giuffre is shown in Figure 2.
34. Figure 2: Timeline of events relating to the dissemination of the statements
made against Ms. Giuffre from 2 January 2015 onwards.
B https://www.thesun.co.uk/archives/news/6754/prince-andrews-pal-ghislaine-groped-teen-girls/
' http://www.mirror.co.uk/news/uk-news/prince-andrews-pal-ghislaine-maxwell-508 1971
14
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Dates
Document Details
| Filename | DocumentCloud_Epstein_Docs_p01382.png |
| File Size | 243.8 KB |
| OCR Confidence | 94.0% |
| Has Readable Text | Yes |
| Text Length | 1,619 characters |
| Indexed | 2026-02-04 12:28:53.870279 |