Giuffre_Maxwell_Batch1_p00818.png
Extracted Text (OCR)
Case 1:15-cv-Agted? Bian dm GonettReporsin g fe Wines /EAc.Page 18 of 89
Page 61 Page 63
1 Q_ Okay. If I can direct your attention back 1 documents that you met Ghislaine Maxwell in '98 or
2 to Defendant's Exhibit 12 at page 15. And under the 2 ‘99, correct?
3 heading Response to Interrogatory Number 9, do you | 3 A Yes.
4 see that where it says -- 4 Q_ And you do admit that you told members of
5 A Yes. 5 the media that you met Ghislaine Maxwell in '98 or
6 Q_ -- Ms. Joffrey (pronouncing) -- Giuffre, 6 ‘99, correct?
7 excuse me, responds as follows? 7 MR. EDWARDS: Form.
8 A Yes. 8 A __ That was my closest approximation to what
9 Q_ Okay. It says you worked as a locker room 9 I could actually remember, so --
10 attendant for the spa area, correct? 10 Q_ (BY MS. MENNINGER) You told the media
11 A Yes. 11 ‘that you met her in '98 or '99?
12 Q And it says records produced in this case 12 MR. EDWARDS: Form.
13 identify the date of employment as 2000, correct? 13 A _ Again, yes, as close as I can remember.
14 A Yes. 14 Q_ (BY MS. MENNINGER) And the media
15 Q_ What records that were produced in this 15 published in the newspapers that you met Ghislaine
16 case cause you to believe that the employment began |16 Maxwell in '98 or '99, correct?
17. in 2000? 17 MR. EDWARDS: Form.
18 A Uhm, is this going back to another 18 A Yes, they did.
19 question that I'm not allowed to answer? 19 Q_ (BY MS. MENNINGER) And the news media
20 Q_ No. 20 published in the newspapers what you told them, which
21 A Ihave seen the documents, and I know that 21 is that you were 15 when you met Ghislaine Maxwell,
22 my employment now was in 2000. 22 correct?
23 Q What documents did you see that caused you | 23 MR. EDWARDS: Form.
24 to make that answer? 24 A Which is what I truly thought at the time,
25 A The Mar-a-Lago employment documents. 25 yes.
Page 62 Page 64
1 Q_ Are they your Mar-a-Lago employment 1 Q_ (BY MS. MENNINGER) Okay. And it is not
2 documents? 2 true that you were 15 when you met Ghislaine Maxwell,
3 A Um-- 3. correct?
4 MR. EDWARDS: Object to the form. 4 A __ It was a mistake that I made, yes.
5 A My name is on there. 5 Q_ So that the printing in the newspaper that
6 Q_ (BY MS. MENNINGER) Okay. Do you believe 6 you met Ghislaine Maxwell when she was -- when you
7 them to be your Mar-a-Lago employment documents? | 7 were 15 is not a true statement of fact, correct?
8 A __ As far as I can tell. 8 A __ Itis an incorrect statement as I have now
9 Q_ Okay. So you were able to review your 9 found out, that my employment started in 2000.
10 Mar-a-Lago employment documents -- 10 Q_ Allright. And to the best of your
11 MR. EDWARDS: Object to the form. 11. recollection, you found that out in the middle of
12 Q_ (BY MS. MENNINGER) -- and respond to the 12 2015, correct?
13. question, as it says right there that you respond, 13 MS. McCAWLEY: Objection.
14 correct? 14 A__ To the best of my recollection. I mean, I
15 A Yes. 15 can't pinpoint an exact date I found out. But, yes.
16 Q_ When did you review the documents that you | 16 Q_ (BY MS. MENNINGER) About a year ago?
17. ~reviewed to cause you to respond to that answer that |17 MR. PAGLIUCA: Are we all participating in
18 way? 18 this deposition or just --
19 A I don't think I found out till sometime 19 MS. McCAWLEY: Same way you guys did.
20 mid -- mid last year, I believe. 20 MR. PAGLIUCA: We did not.
21 Q_ Okay. 21 MS. MENNINGER: I did not.
22 A I'm really not too sure. You know, I'm 22 MS. McCAWLEY: You both objected.
23 sorry, dates and documents, there's too many to 23 MS. MENNINGER: No.
24 remember. But -- 24 MR. PAGLIUCA: No, we didn't.
25 Q_ Okay. You do admit that you filed in many 25 MS. McCAWLEY: We can go back through the
VIRGINIA GIUFFRE 5/3/2016
16 (61 - 64)
Extracted Information
Dates
Document Details
| Filename | Giuffre_Maxwell_Batch1_p00818.png |
| File Size | 480.0 KB |
| OCR Confidence | 88.3% |
| Has Readable Text | Yes |
| Text Length | 3,769 characters |
| Indexed | 2026-02-04 12:36:00.807505 |