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Case 1:15-cv-Agted? Bian dm GonettReporsin g fe Wineop/Erc.Page 20 of 89
Page 69 Page 71
1 Q_ Was that something your brother had 1 you believe the one attached to Defendant's
2 recommended or your father? I don't know who. 2 Exhibit 14 is the one that you sent?
3 A You know, I just looked at that, that's 3 A There are differences, isn't there? Yes,
4 kind of why I giggled. I don't know why my 4 there is.
5 brother -- that's my brother. That's the way we talk 5 Q_ Okay. What are the differences that you
6 to each other: Hi, stupid head. Good luck, smelly, 6 know?
7 XOXOXO, sissie. 7 A __ It starts -- I mean, let me see. The very
8 He's my little brother so you have to 8 top introduction is the same.
9 understand we kind of play around. But subject to my 9 Q. Um-hum.
10 resume for hospitality, I'm not too sure why he would 10 A _ After the experience.
11 have gotten it, but apparently he did. 11 Q. Um-hum.
12 Q_ Okay. And you see that your resume was 12 A That changes. The dates change. And then
13 attached to an e-mail communication you had with your | 13 underneath Employment Training Recruitment is Indigo
14 brother? 14 Bar & Grill on Exhibit 14. On Exhibit 13 it's
15 A Yes, I do. 15 Mannway Logistics underneath Employment Training
16 Q__ Right. And that's also your brother was 16 Recruitment.
17 part of the e-mail chain with respect to an ad placed 17 And then underneath Mannway Logistics on
18 on craigslist for a position, correct? 18 Exhibit 13 is Mar-a-Lago Resort and Spa. And on
19 A He was on -- let me just check the dates, 19 Exhibit 14 is Gemma Catering/Wedding Receptions. So
20 ~~ then. 20 ~ there is quite a few differences.
21 Q_ Sure. 21 Q_ Okay. Great. Do you have any idea when
22 A 1/20/2014, 1/21, so just within a day of 22 you sent out Defendant's Exhibit 13, or if you did,
23 each other, yes. 23 to an employer?
24 Q_ Allright. And then the resume that's 24 A Unless you have something that's attached
25 attached is the address you were living at in 25 to it, I can't be sure that I did.
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1 January -- 1 Q_ Okay. Is the content in Defendant's
2 A Yes. 2 Exhibit 14, that you believe you sent out to an
3 Q__ -- of 2014, correct? 3. employer, correct?
4 A Correct. 4 A Unfortunately, I have to tell you that
5 Qs All right. So you believe you created the 5 they are not correct. Through my experience I was in
6 resume that's attached to Defendant's Exhibit 14, | 6 | the mind-set that I was unemployable. I had been
7 correct? 7 abused for many years and I was told by a job agency
8 A Correct. 8 that I need to show that I've consistently worked at
9 Q_ And you sent it out with respect to this 9 various places and given experience. So it's not
10 employment you saw on craigslist, correct? 10 something that I'm proud of, but I have had to plump
11 A Correct. 11 up my resumes to make it look as though I could be
12 Q_ And you are the one who put into this 12 employed.
13. document the contents of the resume, right? 13 Q_ What do you mean by plump up your resume?
14 A Yes. 14 A Well, I couldn't -- I didn't feel that I
15 Qs All right. 15 could go to an employer and tell them that I had
16 MR. EDWARDS: We're talking about the 16 held, you know, one job in the last 10 to 12 years
17 resume that's attached to Exhibit 14, right? 17. and before that I was trafficked for the purpose of
18 MS. MENNINGER: We are. 18 sex. And that's definitely something you don't want
19 MR. EDWARDS: Okay. Got it. 19 to put down on your resume, which makes you quite
20 MS. MENNINGER: Thank you for clarifying. 20 highly unemployable.
21 MR. EDWARDS: Got it. 21 So I did add places in, such as Indigo Bar
22 MS. MENNINGER: Although, I don't know 22 &Grill, Calmao Flamenco Bar & Restaurant.
23 there are any differences with Defendant's 23 Q_ Wait, wait. Which one?
24 ~~ Exhibit 13. 24 A On Exhibit 14.
25 Q_ (BY MS. MENNINGER) But just to be safe, |25 Q_ Um-hum.
VIRGINIA GIUFFRE 5/3/2016
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