Giuffre_Maxwell_Batch3_p00068.png
Extracted Text (OCR)
Case 1:15-cv-07433-LAP Document 1327-5 Filed 01/05/24 Page 8 of 17
MR. BOIES: Then instruct not to answer.
MR. PAGLIUCA: I am giving you the opportunity to say why you are asking the
questions, and why I’m telling her not to answer and I am entitled to know that.
MR. BOIES: You are not entitled to know why I’m asking the question. You are only
entitled to know that it relates to the subject matter that I am entitled to inquire about, and
I don’t think the judge is going to think that, you know, where Mr. Epstein shipped Maria
Farmer off to is outside the scope of what I’m entitled to inquire about.
See Schultz Decl. at Composite Exhibit 7, Excerpts from July 22, 2016 Deposition of Ghislaine
Maxwell at pg. 99:6-101:20.
Defendant’s counsel also stopped a line of questioning in which Defendant was asked if
she recalled several girls Tony Figueroa brought over to give a “massage” to Epstein. The Court
will recall that Mr. Figueroa previously testified in this case that he brought underage girls to
Epstein at Defendant’s behest, and that Defendant called him, asking him to bring the girls.
Accordingly, at Defendant’s recent deposition, Ms. Giuffre’s counsel attempted to follow up on
this subject:
Q. Have you ever heard the name of Carolyn Andriamo, A-N-D-R-I-A-M-O?
A. I don't recollect that name at all.
° Tony Figueroa testified that Defendant called him and asked him to bring girls over, and that
there were no “legitimate” massages: “Q. Any of the girls that you are aware of having gone to
the house - either because you brought them or Virginia - as you sit here today, do you believe
any of them were brought over to be legitimate masseuse? A. Nope.” See Schultz Decl. at
Composite Exhibit 2, Excerpts from June 24, 2016, Deposition of Tony Figueroa at pg. 245:1-8.
“Q. And how long would you and one of these girls sit there and have this small talk with Ms.
Maxwell? A. No more than 10 or 15 minutes. Q. All right and what were you waiting for? A.
Pretty much her to take them upstairs. And then I would leave. Like I would have to wait for
them to be like, “All right. Well we’re ready.’ And I would be like ‘All right. See you later.’ And
then I’d leave. And they would go do whatever.” /d. at pg. 193:14-25. “Q. During this 2001
period, if you were driving Virginia and other girl to the house, what type of girls would you be
driving? A. Pretty much like young looking teenagers 16, 17. Really pretty. You know.” Jd. at
pg. 182:4-10.
Extracted Information
Document Details
| Filename | Giuffre_Maxwell_Batch3_p00068.png |
| File Size | 359.4 KB |
| OCR Confidence | 95.1% |
| Has Readable Text | Yes |
| Text Length | 2,470 characters |
| Indexed | 2026-02-04 12:38:48.821216 |