Giuffre_Maxwell_Batch1_p00819.png
Extracted Text (OCR)
Case 1:15-cv-Agted? Bian dm GonettRe porting Se Wieop/Erc.Page 19 of 89
Page 65 Page 67
1 record. 1 Mar-a-Lago?
2 MR. PAGLIUCA: We sure can. 2 A Correct.
3 So if we're all participating, maybe I'll 3 Q_ Okay. I'm going to show you an exhibit
4 have a few questions at the end of this. I think we 4 marked as Defendant's Exhibit 13.
5 should limit this to one lawyer. And your statement 5 (Exhibit 13 marked.)
6 about two lawyers participating in the last 6 Q_ (BY MS. MENNINGER) Okay. All right,
7 deposition is wrong. 7 Ms. Giuffre, do you recognize this document?
8 MS. McCAWLEY: Well, I recall that she got 8 A Yes, I do.
9 a microphone because she said she was going to be 9 Q_ What is this document?
10 objecting. So -- 10 A __ This is a resume that I created myself.
11 MR. PAGLIUCA: I know. She put ona 11 Q_ Allright. And what address did you put
12 microphone and didn't speak through the whole thing. 12 at the top of your resume?
13 MS. McCAWLEY: Well, we can take a look 13 A Po
14 back at the record. You know, it's not a problem. 14 |
15 Brad can make the objections. 15 Q_ And when did you live at that address?
16 MR. PAGLIUCA: Okay. Let's take care of 16 A I believe from 2013 to 2014.
17 _ it that way, then. 17 Q_ Okay. And you said you created this
18 MR. EDWARDS: Can you tell me when you're 18 document, correct?
19 at a good stopping point? 19 A Yes.
20 MS. MENNINGER: I was about to say it's 20 Q_ And did you send it out to any employers?
21. ~-been an hour. 21 A Do you have any attachments that this goes
22 MR. EDWARDS: Yeah. 22 ~ with to say that I have? Because I'm not too sure.
23 MS. MENNINGER: So this would be a good 23 I've created a lot of resumes.
24 time to take a break. 24 Q_ Okay. And hold on, I'll see if we do.
25 MR. EDWARDS: Okay. Thanks. 25 MS. MENNINGER: All right. I'll mark this
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1 THE VIDEOGRAPHER: We're off the record at 1 next as Defendant's Exhibit 14.
2 10:12. 2 (Exhibit 14 marked.)
3 (Recess taken from 10:12 a.m. to 3 A Thank you.
4 10:27 a.m.) 4 Q (BY MS. MENNINGER) All right. Do you
5 THE VIDEOGRAPHER: We're back on the 5 recognize this document?
6 record at 10:27. 6 A Yes.
7 Q. (BY MS. MENNINGER) All right. 7 Q_ What is this document?
8 Ms. Giuffre, you testified that you first became 8 A __ This is me replying to ads for jobs.
9 aware that you -- your employment at Mar-a-Lago began| 9 Q_ Okay. And you were communicating with --
10 in 2000, in mid-2015, correct? 10 by your e-mail, correct?
11 MR. EDWARDS: Object to the form. 11 A Yes.
12. Mischaracterizes her testimony. 12 Q_ Allright. And I apologize. This one
13 A I don't know exactly when. It could be 13. actually has the resume attached to an e-mail.
14 towards the end of 2015. It could be towards the 14 A Um-hum.
15. beginning of 2016. I just know that I've learned 15 Q___—Do you see that, towards the back of the
16 about it recently. I'm not too sure exactly what 16 document?
17 date I did learn about it. 17 A Yes, I do.
18 Q_ (BY MS. MENNINGER) Okay. But to your 18 Q Okay. So --
19 mind, it's been within the last 6 to 12 months; is 19 A __ Sorry.
20 ‘that fair? 20 Q. To whom -- to whom -- with whom were you
21 A I wouldn't say 12 months, no. I would 21 communicating about a job at this time?
22 just say up until -- I don't know when I was shown 22 A Well, on the very top, Phil or Gary, and
23. that, when I actually first saw it, but it wasn't a 23 that was for a bartending position.
24 ~~ =year ago. 24 Q_ Okay.
25 Q = Saw your employment records from 25 A Um --
VIRGINIA GIUFFRE 5/3/2016
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Extracted Information
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Document Details
| Filename | Giuffre_Maxwell_Batch1_p00819.png |
| File Size | 460.3 KB |
| OCR Confidence | 88.5% |
| Has Readable Text | Yes |
| Text Length | 3,566 characters |
| Indexed | 2026-02-04 12:36:00.339414 |