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Extracted Text (OCR)
DCDOMADUBWNHROWOWDAADUBWNHEH
Case 1:15-cv-07433-LAP Document 1320-29 Filed 01/03/24 Page 4 of 6
Page 126
R. Rizzo - Confidential
fired abruptly at this point, right?
A. Correct.
Q. You went and retained counsel to
sue the Dubins, their entity and
all of them, right?
A. Correct.
Q. I take it you were deposed in
connection with that litigation, correct?
A. Correct.
Q. Now, during that litigation, that
litigation meaning the reference in Exhibit
3, 13-cv-8864, did you ever tell anyone about
the interactions with Mr. Epstein that you
described here today?
A. No, I did not.
Q. That was not a part of your
lawsuit, correct?
A. Could you restate the question? I
don't understand what --
Q. You didn't raise that as an issue
as to why you were suing the Dubins in 2013,
right?
A. No, I did not.
THE VIDEOGRAPHER: The time is
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Page 128
R. Rizzo - Confidential
Q. The lawsuit with the Dubins
referenced in Exhibit 3 was settled, I take
it?
A. Correct.
Q. That was pursuant to a confidential
settlement agreement?
A. Correct.
Q. And I am assuming that you received
a sum of money to settle that litigation, is
that correct?
A. Correct.
Q. And I'm not going to ask you the
details about that, but in case I need to do
something, let me put it this way. IfI
choose to subpoena that settlement agreement
from the Dubins, are you going to have any
objection to that, or is it all right if we
do that as far as you are concerned?
A. I would have to discuss it with my
lawyer.
MR. PAGLIUCA: I can talk to you
about that, if we decide to do it.
Q. [just want to turn now, and this
is the last series of questions I have, what
Page 127
R. Rizzo - Confidential
12:41. We are going off the record.
(Recess.)
THE VIDEOGRAPHER: The time is
12:47 p.m. We are back on the record.
This begins DVD No. 3.
BY MR. PAGLIUCA:
Q. Ijust have a few more questions.
I'm going to finish off with your employment.
So after this lawsuit was
concluded, referenced in Exhibit 3, have you
worked since then?
A. No, I have not.
Q. Has your wife worked since then?
A. On and off, yes.
Q. How is it that you are currently
supporting yourself?
A. I'mon disability.
Q. That's as a result of your back
injury?
A. Yes, and my hip injury.
Q. I didn't realize you had a hip
injury, I'm sorry. Is that Social Security
disability?
A. Yes, it is.
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R. Rizzo - Confidential
you did in advance of coming here today.
Have you talked to Mr. Edwards
before?
A. Yes.
Q. And when have you talked to Mr.
Edwards?
A. I don't recall the exact date and
time.
Q. Did Mr. Edwards call you or did you
call Mr. Edwards first?
. [called him.
. When did you call Mr. Edwards?
. I don't recall the exact date and
. Years ago, days ago, months ago?
. It's been at least over a year.
. Why did you call Mr. Edwards?
At the time I was having a very
hard time with my attorney. My wife and I
had discussed the issue. As my wife put it,
we needed an attorney with balls and she had
been keeping track of the Jeffrey Epstein
issue, and basically in our conversation --
MR. LEWIS: Let me stop you there.
MAGNA® 33 (Pages 126 to 129)
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Document Details
| Filename | Giuffre_Maxwell_Batch1_p00629.png |
| File Size | 525.3 KB |
| OCR Confidence | 93.7% |
| Has Readable Text | Yes |
| Text Length | 3,179 characters |
| Indexed | 2026-02-04 12:34:55.757675 |